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1999-04-06_GENERAL DOCUMENTS - C1981017 (2)
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1999-04-06_GENERAL DOCUMENTS - C1981017 (2)
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Last modified
3/17/2021 6:45:47 AM
Creation date
5/3/2012 9:33:37 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1981017
IBM Index Class Name
GENERAL DOCUMENTS
Doc Date
4/6/1999
Doc Name
Response to DMG's interrogatories
From
US District Court
To
Mid-Continent Resources, Inc. & DMG
Permit Index Doc Type
General Correspondence
Media Type
D
Archive
No
Tags
DRMS Re-OCR
Description:
Signifies Re-OCR Process Performed
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the reclamation plan upon which you relied in making the allegation or which relates to the <br /> allegation and the basis for alleging that the task is in violation of the reclamation plan. <br /> ANSWER NO. 13: DMG's activities under the Huntsman and Dutch Creek Diversion <br /> projects have impaired or interfered with road access which needs to be restored on the road <br /> leading to the Lamp House and also on the road leading to the eastern portion of the old refuse <br /> pile remaining in MidCon's ownership because of the lack of an adequate low water stream <br /> crossing. Failure to complete reclamation properly will diminish the value of the property. <br /> The DMG documents from Grand Junction provide specific information on the tasks <br /> undertaken during the Dutch Creek diversion and Huntsman projects. There is a question of the <br /> stability of the old refuse pile after removal of material and the ability of CDMG to control <br /> erosion from a 2:1 slope with the type of material present and the revegetation techniques they <br /> have employed in the past. <br /> INTERROGATORY NO. 14: Identify each document which was referred to or relied <br /> upon to respond to the above Interrogatory no. 13. <br /> ANSWER NO. 14: See response to Interrogatory No. 13, above. <br /> INTERROGATORY NO. 15: In the second claim for relief in the LLC's Third-Party <br /> Complaint, the LLC alleges that it has been damaged by the Division's actions. In its Rule 26 <br /> disclosure,the LLC states that it is not requesting damages per se. State the factual or legal basis <br /> and explanation for this allegation, pleading, statement, belief or contention including an <br /> explanation of what type of damages the third-party plaintiff seeks and whether it is only seeking <br /> the court to determine the credits and/or expenditures to be made on reclamation of the mine site <br /> or whether it is seeking a payment of money from the Division. <br /> ANSWER NO. 15: MidCon is not requesting money damages from DMG at this time. <br /> MidCon is seeking to hold DMG to its obligations under the reclamation plan and properly <br /> perform reclamation on MidCon's property. If that reclamation is properly performed, MidCon <br /> will suffer no damages. If the reclamation is improperly performed, MidCon will suffer <br /> damages. By way of example, should DMG damage or destroy some or all of the improvements <br /> identified in paragraph 25 of MidCon's Third-Party Complaint, MidCon will suffer damages. <br /> INTERROGATORY NO. 16: Identify the date on which the LLC acquired title to the <br /> Coal Load Out Facility referred to in paragraph 42 of the LLC's complaint. <br /> ANSWER NO. 16: MidCon acquired title to the Coal Load Out Facility via special <br /> warranty deed dated June 15, 1998. <br /> INTERROGATORY NO. 17: What was the consideration paid by the LLC or any <br /> other entity for the Coal Load Out Facility? If an entity other than the LLC paid all or a portion <br /> of the consideration, include the identity of each entity and a specific allocation of how much the <br /> LLC paid and how much each entity other than the LLC paid. <br /> 6 <br />
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