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_GENERAL DOCUMENTS - C1981017 (229)
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_GENERAL DOCUMENTS - C1981017 (229)
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Last modified
11/2/2020 10:05:53 AM
Creation date
6/19/2012 2:58:12 PM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
C1981017
IBM Index Class Name
GENERAL DOCUMENTS
Doc Name
Bid Documents (IMP) 1999 Correspondence
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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MidCon, its heirs, successors and assigns from any further reclamation requirements at the Coal <br /> Load-Out: complete filling of the slot bin depression to ground level, reshape the hillside below <br /> the old scale house adjacent to the railroad tracks until stable; remove the remaining metallic <br /> scrap located throughout the site, including the underground mining equipment and <br /> miscellaneous materials; and remove miscellaneous non-metallic trash and debris scattered <br /> throughout the site. Within fifteen days of receipt of such a document, MidCon will execute and <br /> deliver a document to DMG releasing any claim by MidCon against DMG for any further <br /> reclamation work or obligations by DMG at the Coal Load Out. Such documents shall be <br /> recordable in the real estate records of Pitkin County, Colorado. <br /> 19. MidCon agrees that for the 12 months following complete execution of this <br /> Settlement Agreement, it will use its best efforts to sell, trade or otherwise transfer the real <br /> property it currently owns in Coal Basin to the United States Forest Service ("USFS"). MidCon <br /> further agrees that it will not require, as a condition of such a conveyance, any specific use of the <br /> property after it is obtained by the USFS. The parties agree that if conveyance of the property to <br /> the USFS is not completed, nothing in this Settlement Agreement will require the destruction of <br /> the Improvements listed in paragraph 15, above. <br /> 20. The parties agree to waive all claims they may have to any appellate remedies and <br /> to waive all claims to their expenses incurred in the Lawsuit, including without limitation, their_ <br /> attorneys fees and costs other than the obligations under this Settlement Agreement. <br /> 21. Each of the parties hereto severally represents, warrants and agrees on its own <br /> behalf and on behalf of its respective predecessors, successors, heirs, assigns, executors, <br /> administrators, trustees in bankruptcy and agents as follows: <br /> 10 <br />
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