Laserfiche WebLink
.4e,004000=? <br />*4,000 <br />,0 <br />OXBOW MINING, LLC <br />3737 Hwy 133 P.O. Box 535 Somerset, Colorado 81434 USA Tel (970)929-5122 Fax <br />(970)929-5177 <br />May 17, 2011 <br />Mr. Joseph J. Dudash <br />Environmental Protection Specialist celvIeD <br />Colorado Division of Reclamation, Mining and Safety ?? <br />1313 Sherman Street, Room 215 Zp11 <br />Denver, CO 80203 MTV 2- Jy?,,?at+or <br />Re: Permit No. C-1983-059 Terror Creek LLC Terror Creek Loaeauest for Minor <br />Revision No. 26 (MR-26). <br />Dear Mr. Dudash: <br />On behalf of Terror Creek LLC, we are submitting this letter to request Minor Revision No. 26 <br />(MR-26) to the referenced CDRMS Permit. An executed "Application Form for a Revision" is <br />included herein for the Division's review. <br />The primary purpose of this MR-25 is to update the PAP with information in response to the <br />February 23, 2011 Midterm Permit Review. The Division should recall that we had also <br />submitted previous comments and responses by a letter dated March 24, 2011 where we <br />proposed changes to the PAP. The intent of the March 24, 2011 was to address the midterm <br />review comments and ultimately follow-up with a minor revision to formally incorporate the <br />changes into the PAP. Today we submit the earlier proposed changes as the MR along with <br />addressing the remaining Division concerns noted in the Division's recent May 4, 2011 letter. <br />Item 1- A revised Map 1. Surface Ownership is attached along with revised Pap pages 2.03-5, 6, <br />7, 8 and 9. We note on the attached page 2.03-7 that Crestview-Oxbow Acquisition, LLC <br />owns 22.11 % of Oxbow Carbon LLC. There are no other owners with more than a 10% <br />ownership interest. <br />Item 2 - No additional changes are necessary. <br />Item 3 - While the trucking company owns the 10,000 gallon fuel tank, ultimately, as the land <br />owner, TCLLC assumes the initial environmental liability for a tank failure. While TCLLC <br />would settle with the trucking company regarding a failure, the scope of any contractual <br />settlement agreements is secondary to our primary liability. The PAP page 2.05-2b has been <br />modified to reflect this. <br />Item 4 - A revised page 2.05-2C is attached herein describing the storage tanks. <br />Item 5 - AVS checks are routine for the Division. We look forward to completing this exercise. <br />9 Page 1 <br />