Laserfiche WebLink
2. The applicant will conduct monitoring of surface water in a manner approved <br />by the Division. The monitoring plan was submitted under 2.05.6(3)(b)(iv) <br />and includes the following (4.05.13(2)): <br />and the surface water field and laboratory parameters to be monitored are <br />listed in Table 2 of Section 2.05.6(3)(b)(iv). Surface water monitoring sites <br />are shown on Map 08, "Hydrologic Monitoring Locations ". <br />Upstream and downstream monitoring stations have been established for the <br />Colorado River, Reed Wash and the Loma Drain. At the Division's request, a <br />new downstream monitoring station was established further down gradient of <br />the loadout because the original downstream site was still upgradient of some <br />of the disturbance. Four consecutive quarters of baseline data will be <br />established for the original down gradient site and the new down gradient site, <br />at which time, monitoring of the original down gradient site will cease but <br />monitoring will continue for the new down gradient site. <br />Baseline surface water monitoring consists of at least four consecutive <br />quarters of water quantity and field and laboratory full suite water quality <br />analyses for the upstream and downstream sampling sites on the Colorado <br />River, Reed Wash and Loma Drain. <br />Operational surface water monitoring consists of quarterly field sampling <br />results and semi - annual full suite laboratory analyses for the second and <br />fourth quarters for Reed Wash and Loma Drain. The upstream and <br />downstream surface water monitoring stations on the Colorado River will not <br />be sampled during the operational years except on a quarterly basis for the one <br />year just before bond release so that the PHC predictions concerning the <br />Colorado River can be verified. <br />As required by USFWS conservation measures; all sediment and water that <br />accumulates in the three sediment ponds will be removed from the ponds and <br />disposed of at an approved disposal facility. Since there will be no discharges <br />to Reed Wash from the sediment ponds, CAM chose to withdraw the <br />Colorado Discharge Permit System (CDPS) Industrial Discharge Permit <br />application following discussions with the Water Quality Control Division. <br />CAM has been issued a CDPS General Permit for Stormwater Discharges <br />Associated with Light Industrial Activity and this is adequate to cover all <br />stormwater related discharges during operations. This permit has been <br />included in the PAP in Exhibit 13 Other Permits. CAM will still have to <br />apply for a CDPS Stormwater Construction Permit prior to commencing any <br />construction activity or disturbance at the Fruita Loadout Facility. At the time <br />of this Findings document, CAM has not acquired the Stormwater <br />Construction Permit. This has been stipulated as a condition of this permit <br />application (see Stipulation No. 1). <br />The Annual Hydrology Report will be submitted each year by April 30t'. <br />26 <br />