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the Lamphouse, roadways through the property, stream crossings, ponds, water wells, water <br /> pipeline from the Lamphouse to Prep Plant area, and remaining building at Prep Plant area. <br /> He does not mention a water tank. Mr. Delaney then states in the letter that he anticipates <br /> "discussing these items in more detail with Mr. Renner." Except as specifically admitted, the <br /> Division denies the allegation in paragraph 27. <br /> 28 through 30. The Division denies the allegations of paragraphs 28, 29, and 30. <br /> 31. The Division admits that at present time the reclamation plan requires demolition <br /> of certain buildings and structures as set forth in the Division's answer to paragraph 25. The <br /> Division denies that it is required to pay any compensation to MidCon Realty, LLC. <br /> 32 through 34. The Division denies the allegations of paragraph 32, 33, and 34.. <br /> SECOND CLAIM FOR RELIEF <br /> (Breach of Contract for Reclamation Work) <br /> 35. The Division incorporates all of its previous reponses in the Answer as if set forth <br /> in full. <br /> 36. The Division denies the allegations of paragraph 36. <br /> 37. The Division denies the allegations of paragraph 37. <br /> 38. The Division denies the allegations in paragraph 38. <br /> 39. The Division denies the allegations in paragraph 39, except that the Division <br /> admits that it plans to perform reclamation in Coal Basin to the extent that available funds <br /> allow. <br /> 40. The Division denies the allegations in paragraph 40. <br /> THIRD CLAIM FOR RELIEF <br /> (Declaratory Judgment regarding Coal Load Out) <br /> 41. The Division incorporates all of its previous responses in the Answer as if set <br /> forth in full. <br /> 5 <br />