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2 <br /> In summary: <br /> Rule 2 . 03 .4 (3) requires that the permit include <br /> information regarding "each person who owns or controls <br /> the applicant under the definition of 'owned and <br /> controlled' and 'owns and controls' in 1. 04 (83a) ". <br /> Rule 1. 04 (83a) (a) (1) defines ownership and control as, <br /> "any other relationship which gives one person authority <br /> directly or indirectly to determine the manner in which <br /> an applicant, an operator, and other entity conducts <br /> surface coal mining operations" . <br /> Rule 1. 04 (132) defines "surface coal mining operations" <br /> as, "activities conducted on the surface of lands in <br /> connection with a surface coal mine or activities subject <br /> to the requirements of Section 34-33-121 of the Act and <br /> Rule 4 which involve surface impacts incident to an <br /> underground mine". <br /> By administering the payroll and providing required workmen's <br /> compensation coverage for employees at the mine, Pitkin Iron <br /> Corporation indirectly determines the manner in which Mid-Continent <br /> Resources Inc. conducts surface coal mining operations. Therefore, <br /> Pitkin Iron Corporation meets the regulatory definition regarding <br /> ownership and control. Rule 2 . 03.4 requires that identification of <br /> interest information regarding Pitkin Iron Corporation and the <br /> appropriate associated individuals be included in the Coal Basin <br /> permit. MCR should submit this information as an amendment to MR- <br /> 42 by October 30, 1993 in order to abate NOV C-93-108. <br /> If you have any questions, please contact me or Tony Waldron. <br /> Sincerely, <br /> v <br /> Larry P. Routten <br /> Environmental Protection Specialist <br /> enclosure <br /> c: Tony Waldron <br /> m: \coal\lpr\101393 <br />