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7. Please edit maps in Appendix L -5 and Appendix M -1 in the PAP so that they do not imply that the access <br />road is not in the permit boundary. This can be done by not closing the boundary polygon at the mine <br />entrance on the maps, and include a note on these maps indicating that the road is still within the permit <br />area. <br />8. Section 2.04.10(2) Reference Areas. This section still indicates that Valent Sand and Osgood Sand <br />reference areas are still used for this permit. The Division agrees that keeping the historic reference to <br />these reference areas has merit. However, the Division believes CEC needs to add a comment to clarify <br />that the reference area comparison was discontinued upon approval on TR37, June 15, 2006. <br />9. Determining final revegetation standards: permit page 116. In the introductory paragraph, the reference <br />of sampling the Osgood Reference area since 1994, implies that sampling of the Osgood Reference area <br />continues. Since sampling of the Osgood reference area was terminated with the approval of TR37, it <br />would be beneficial to define the range of years the Osgood Reference area was sampled; 1994 -2006. <br />Please include the termination of Sampling of the Osgood Reference Area in the permit text in order to <br />clarify that sampling of the Osgood reference area has ceased. <br />The Division is still evaluating the Reclamation Bond in accordance with Rule 3.02.2. Currently, SL6 is still <br />under review which will affect this calculation. <br />Please respond to these questions and issues by the end of July 2011 to ensure a timely permit renewal. If <br />you have any questions, please contact me at 303.866.3567, extension 8113. <br />Sincerely, <br />id 4- r <br />Robert Zuber, P.E. <br />Environmental Protection Specialist <br />