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numerous water monitoring wells operating at these mines. EF is not aware of the DRMS requiring <br />permits for any of the water monitoring wells at the former or current mine operations. It seems highly <br />irregular for the DRMS to suddenly change practice and require a permit for the monitor well that is now <br />at issue, MW -NW, at the Southfield mine. <br />CONCLUSION: EF maintains its position, as supported by the DRMS Inspection Report of April 17, <br />2012, that MW -NW serves the purpose of detecting, measuring and sampling water in the Southfield <br />mine workings if water is ever present in those workings prior to MW -NW being reclaimed as part of the <br />approved final reclamation work. <br />Sincerely, <br />George V Patterson <br />Energy Fuels Coal, Inc <br />