Laserfiche WebLink
Response to CN-01 Third Adequacy Issues -June 6, 2011 <br />Adequacy Issue #35 <br />The revised Figure C-6 does not provide the information required by Rule 6.4.21(8)(a). Please <br />provide the information required under Rule 6.4.21(8)(a). <br />Response #35 <br />Wildcat Minim is submitting a revised Figure C-6 to provide the information required by <br />Rule 6.4.21(8)(a). See Attachment C. <br />Adequacy Issue #36 <br />The amended application does not provide the information required under Rule 6.4.21(8)(b). As <br />noted by Mr. Bird, the available information is inadequate and the Division is requiring <br />hydrologic testing and analysis for the immediate area. As required under Rule 6.4.21(8)(b), the <br />application must also identify all known aquifers and related subsurface water bearing fracture <br />systems within two miles of the affected lands. Please provide this required information or a <br />detailed plan to ascertain and submit this information. <br />Response #36 <br />Wildcat Mining has presented in its revised Environmental Protection Plan (Attachment J) <br />the available information regarding known aquifers and fracture systems within two miles <br />of the affected lands. Wildcat Mining will supplement this information once the results of <br />the hydrologic testing it has proposed in response to Adequacy Issue Nos. 14 and 28. <br />Adequacy Issue #37 <br />Regarding the characterization of the ground water resources, see the review memorandum <br />provided by Mr. Bird. <br />Response #37 <br />Wildcat Mining is submitting its response to the Bird Memorandum at Attachment M. <br />Adequacy Issue #38 <br />Regarding the parameters and detections limits for hydrologic monitoring, see the review <br />memorandum provided by Mr. Bird. <br />Response #38 <br />Detection parameters and limits for monitoring have been revised and are included in <br />Attachment O. <br />Revised <br />6/6/2011 <br />27 <br />