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Mr. Pfister <br />Page 12 <br />November 19, 2012 <br />highwalls which exceed 80 degrees from horizontal. During previous monitoring inspections, <br />the Division has observed highwalls that are vertical. <br />6.4.7 Exhibit G — Water Information <br />3. The Operator has provided the Division with a copy of the Gravel Well Permit Application. <br />In addition, the Operator has demonstrated that the 2.22 acre feet of water will be purchased <br />from the Headwater Authority of the South Platte (HASP) through an annual lease <br />agreement. As a condition to the approval of Technical Revision No.1, please commit to <br />providing the Division with copies of the approved Well Permit, Temporary Substitute Water <br />Supply Plan, and the lease agreement with HASP within 180 days of the approval date or as <br />soon thereafter as they are available. <br />6.4.12 Exhibit L — Reclamation Costs <br />4. The Operator has stated that a $3,000 credit has been applied to mobilization/demobilization <br />costs due to the proximity of Alma, CO. However, the location credit was applied under the <br />demolition costs on the bond calculation worksheet. Please clarify if this credit was intended <br />to be applied towards demolition costs or towards mobilization/demobilization costs. <br />5. The Division has reviewed the submitted bond calculation and generally concurs with the <br />Operator's proposed fmancial warranty estimate. Notice of acceptance of the financial <br />warranty estimate will be made once all of the adequacy issues have been addressed. <br />As previously mentioned, if you are unable to provide satisfactory responses to any inadequacies <br />prior to December 3, 2012, it will be your responsibility to request an extension of time to <br />allow for continued review of this application. If there are still unresolved issues when the <br />decision date arrives and no extension has been requested, the application will be denied. <br />If you have any questions, please contact me at (303)866 -3567 x8116. <br />Sincerely, <br />Michael A. Cunningham <br />Environmental Protection Specialist <br />CC: Tom Kaldenbach, DRMS <br />Greg Lewicki, Greg Lewicki and Associates (via email) <br />