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Response to CN-01 Third Adequacy Issues - June 6, 2011 <br />In the event Wildcat Mining is unable to sign a Damage Compensation Agreement with <br />each adiacent landowner, Wildcat Mining presents an engineering analysis in its revised <br />Environmental Protection Plan demonstrating that permanent man-made structures <br />owned by these landowners will not be damaged by activities occurring at the May Dav <br />Idaho Mine Complex. See Attachment J. <br />Exhibit U, Designated Mining Operation Environmental Protection Plan, Rule 6 4 21 <br />Adequacy Issue #32 <br />Please submit the maps required under Rule 6.4.21(2). If the Applicant believes such maps have <br />been submitted, please clarify by providing the figure, exhibit or map title. <br />Response # 32 <br />Wildcat Mining is submitting revised Environmental Protection Plan maps at Attachments <br />C and F as required by Rule 6.4.21(2). <br />Adequacy Issue #33 <br />Please submit a scaled drawing of the mill facility, graphically illustrating and labeling the <br />individual components of the mill facility, including all milling equipment, pipelines, and <br />locations of storage and use of industrial and designated chemicals. <br />Response #33 <br />Wildcat Mining is submitting the scaled drawing requested at Attachments C <br />Adequacy Issue #34 <br />The application indicates the mill tailings will be dewatered and the process fluids will be <br />recycled. Please describe the storage location for the recycled process water and illustrate them <br />on the scaled drawing of the mill facility. Please provide the demonstrations required under Rule <br />6.4.21(7)(f) for the recycled process water storage tank. <br />Response #34 <br />See Response #33. While Wildcat Mining has not vet completed its design for the mill <br />facility, Wildcat Mining commits that the recvcled process water storage tank will be 50% <br />greater than the design flow for the mill. See Attachment J <br />Revised <br />6/6/2011 <br />26 <br />? e ;