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Para. 33. - The last sentence should add: "or any other person or entity." In this way, the CD <br /> makes clear that other persons not specifically bound by the CD may utilize enforcement <br /> mechanisms available to them under the Clean Water Act. <br /> Appendix A - The limitation of compliance monitoring to Zinc only is unacceptable, <br /> especially since the CD does not discuss whether other metals problems may exist (or <br /> increase) as a result of the termination of the current water quality treatment systems. <br /> Although Zinc may be a potential indicator, other metals (and pH) must be part of the <br /> compliance system. <br /> Conclusion <br /> MPC appreciates the opportunity to comment upon these important issues. MPC <br /> respectfully requests that the CD be withdrawn until the above mentioned issues are resolved. <br /> We would welcome the opportunity to meet with you to discuss these matters in person. <br /> Thank you. <br /> Sincerely <br /> Rogef Flynn <br /> Attorney for the Mineral Policy Center <br /> cc: Carol Russell, EPA <br /> Mike Long, Colo. DMG <br /> Aimee Boulanger, MPC <br /> Karen Kishbaugh, Colo. A.G.'s Office <br /> 5 <br />