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C -2010 -089 PARNos. 1- 1A -1B, 2- 2A -2B, 3 <br />New Horizon North Mine Page 46 of 60 <br />analysis of soil availability, based on information presented in the table on Map 2.04.9 -3. <br />The results are tabulated here; for your review.. <br />*Includes 78UT, Rock Outcrop, Ponds, Ditches, DC -1, Roads <br />The 81/82 Progresso soils (in green) comprise the largest soil type within the proposed <br />permit area: nearly 109 acres. These soils are markedly thicker (at 34.2" on average) than <br />are the 77/78 Pinon soils (88 acres, at 12.1 ") or the previously redistributed REC soils (-75 <br />acres, at 17.2"). <br />Western Fuels' proposed justification for single -lift salvage is provided beginning on page <br />12 of Section 2.05.4(2)(d). The reasons given include the "relatively shallow" soil <br />thicknesses, and the large equipment that will be used in salvage operations. The next <br />paragraphs refer to reclamation research conducted by CSU, and others. The Division does <br />not believe the referenced research is relevant to the issue of topsoil salvage and <br />replacement for reclaimed pasturelands, and that the three research papers should be <br />removed from the application. <br />While single -lift salvage may be appropriate for the thinner 77PIN, 78PIN, and REC soils <br />the Division remains unconvinced that salvaging 81PRO and 82PRO soils in a single lift, <br />and mixing them with the other soils, will ensure that the reclamation plan and post mining <br />land use will create a productive irrigated pasture. The requirements of Rule 2.05.5(1) <br />require, "a detailed narrative of the proposed use, following reclamation of the land. In <br />accordance with land use categories established in the narrative, the plan shall include a <br />discussion of the utility and capacity of the reclaimed land to support a variety of alternative <br />uses; and the relationship of the proposed use to existing land use policies and plans." Sub- <br />paragraph (iii) requires an explanation of the consideration which has been given to the <br />landowners' plans and programs. Furthermore, Rule 4.16.1(1) requires that, "the reclaimed <br />lands shall be restored to conditions that are capable of supporting the uses which they were <br />capable of supporting before any mining ". The Division believes the deeper, more <br />productive Progresso soils should be managed separately during topsoil salvage and <br />replacement to ensure that the reclaimed lands, regardless of laird use (irrigated or not) <br />throughout the liability period, will be restored to conditions capable of supporting the <br />productive irrigated pasture that existed before mining. Please address how the topsoil <br />Volume <br />Average <br />Combined <br />Net <br />Soil <br />Area <br />Area <br />(Bank <br />Thickness <br />Area / <br />Thickness <br />Type <br />(S'q. Ft.) <br />(Acres) <br />Cu. Yds.) <br />(inches) <br />Thickness <br />(inches) <br />3.76 Acres <br />ACLU <br />163,695 <br />3.76 <br />15,995 <br />31.7 <br />31.7 <br />67 Acres <br />74.1T.2" <br />REC <br />3,252,709 <br />74.67 <br />173,007 <br />17.2 <br />280.83 <br />3,483,742 <br />79.98 <br />130,414 <br />Acres <br />350,924 <br />8.06 <br />12,460 <br />r y i iz s <br />j <br />81PRO <br />4,267,046 <br />97.96 <br />447,226 <br />34.0 <br />108.98 Acres <br />34.2" <br />22.1" <br />82PR0 ' <br />480,049 <br />11.02 <br />54,092 <br />36,5 <br />5.39 Acres <br />Other* <br />234,622 <br />5.39 <br />0 <br />0 <br />0.0" <br />*Includes 78UT, Rock Outcrop, Ponds, Ditches, DC -1, Roads <br />The 81/82 Progresso soils (in green) comprise the largest soil type within the proposed <br />permit area: nearly 109 acres. These soils are markedly thicker (at 34.2" on average) than <br />are the 77/78 Pinon soils (88 acres, at 12.1 ") or the previously redistributed REC soils (-75 <br />acres, at 17.2"). <br />Western Fuels' proposed justification for single -lift salvage is provided beginning on page <br />12 of Section 2.05.4(2)(d). The reasons given include the "relatively shallow" soil <br />thicknesses, and the large equipment that will be used in salvage operations. The next <br />paragraphs refer to reclamation research conducted by CSU, and others. The Division does <br />not believe the referenced research is relevant to the issue of topsoil salvage and <br />replacement for reclaimed pasturelands, and that the three research papers should be <br />removed from the application. <br />While single -lift salvage may be appropriate for the thinner 77PIN, 78PIN, and REC soils <br />the Division remains unconvinced that salvaging 81PRO and 82PRO soils in a single lift, <br />and mixing them with the other soils, will ensure that the reclamation plan and post mining <br />land use will create a productive irrigated pasture. The requirements of Rule 2.05.5(1) <br />require, "a detailed narrative of the proposed use, following reclamation of the land. In <br />accordance with land use categories established in the narrative, the plan shall include a <br />discussion of the utility and capacity of the reclaimed land to support a variety of alternative <br />uses; and the relationship of the proposed use to existing land use policies and plans." Sub- <br />paragraph (iii) requires an explanation of the consideration which has been given to the <br />landowners' plans and programs. Furthermore, Rule 4.16.1(1) requires that, "the reclaimed <br />lands shall be restored to conditions that are capable of supporting the uses which they were <br />capable of supporting before any mining ". The Division believes the deeper, more <br />productive Progresso soils should be managed separately during topsoil salvage and <br />replacement to ensure that the reclaimed lands, regardless of laird use (irrigated or not) <br />throughout the liability period, will be restored to conditions capable of supporting the <br />productive irrigated pasture that existed before mining. Please address how the topsoil <br />