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P0BEF'T DELHI'dE'1' T E L t'dn . Ti=i?-y45-2?ij? =.eP . 25 'al 1 P . 0 <br /> 11he sites along road D and in the vicinity of the the 001 pond are <br /> greater than 100 feet away from any perennial stream. <br /> As to the areas in the channels created by Coal. Creek and Dutch <br /> Creek: <br /> - There is no conflict with requirements of 4 . 05 . 3 and <br /> 4 .05 . 4 as this does not involve stream channel diversion <br /> or reconstruction, nor conveyance of" overland or <br /> groundwater flows. The streams themselves will not be <br /> affected. <br /> There is no conflict with the stream buffer <br /> protection/restoration requirements of 4 .05. 18 (a) - (c) <br /> in that: <br /> (a) Except for removal of the rock debris, the channel <br /> will not be impacted or disturbed, and the stream <br /> itself will not be disturbed at all; <br /> (b) There will be no adverse effect to water quality or <br /> quantity; <br /> (c) There will be no disturbance to riparian <br /> vegetation, as there is none established in the <br /> rock debris . <br /> Further, Mid-Continent does not believe the areas proposed for <br /> removal of rock material fit the definition at 4 .05. 18( 3) for a <br /> biological community in that these debris flows are not flowing <br /> water habitat ( i .e. although deposited by flood event(s) , they are <br /> ordinarily under water) . <br /> Our objective in making this request for MR is to secure the most <br /> suitable rip rap material . The rock tunnel fill area is a source <br /> which we will continue to use, but requirements for size variations <br /> and suitably durable material can best be met from these additional <br /> sources . <br /> Yours truly, <br /> Diane Delaney <br /> Mid -Continent Res. �• <br />