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Response to Preliminary County Comments Received on March 17, 2011 <br />Wildcat Minim does not believe the wells are "valuable" under the Minim Rules. Wildcat <br />Mining estimates these wells can be replaced for less than one or two thousand dollars <br />each. Nonetheless, Wildcat Mining has submitted engineering and hydrogeologic <br />evaluations by registered professional engineers and a hydrogeologist who have determined <br />that impacts to manmade structures within 200 feet of the permit area are not reasonably <br />anticipated. <br />In response to the concerns raised by Mr. Linden regarding the transportation of chemicals <br />and fuels near his well, Wildcat Mining has also committed to locate emergency response <br />kits at the entrance of CR-124 and in close proximity to the Juncture of the USFS road and <br />the access road. The emergency response kits will include absorbents, booms, a 55 gallon <br />drum and a fire extinguisher. <br />Exhibit U, Designated Mining Operation Environmental Protection Plan, Rule <br />64.21 <br />Adequacy Issue #32 <br />Please submit the maps required under Rule 6.4.21(2). <br />Response #32 <br />Maps have been submitted required under Rule 6.4.21(2) <br />Adequacy Issue #33 <br />Please submit a scaled drawing of the mill facility, labeling all components of the operation and <br />locations of storage and use of industrial and designated chemicals. <br />Response #33 <br />Maps have been modified to identify mill facility components. <br />Adequacy Issue #34 <br />The application indicates the mill tailings will be dewatered with cyclones and 75% of the <br />process fluids will be recycled. Please describe the storage location for the recycled process <br />water and illustrate them on the scaled drawing of the mill facility. Please provide the <br />demonstrations required under Rule 6.4.21(7)(f). <br />Revised <br />4/14/2011 <br />20