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Stipulation 10 was complied with when the augmentation plan was approved for FS water rights within <br />the permit and adjacent area. Stipulation No. 11, attached to Field Minor Revision No. 17, was complied <br />with when BRL supplied the required permit text. Stipulation No. 12 involved the Applicant Violator <br />System computer check and was terminated. <br />Stipulation No. 13 was added to the decision for Permit Revision No. 6. Stipulation No. 13 was <br />terminated upon submission of the requested permits. <br />Stipulation No. 14 was attached to the decision for Permit Renewal No. 1 and was terminated with the <br />approval of Technical Revision No. 48. <br />Stipulation No. 15 was attached to Technical Revision No. 27 and required the submittal of air emissions <br />permits for the coal preparation wash plant. Upon submittal of the air emissions permits, Stipulation No. <br />15 was complied with. <br />Stipulation No. 16 was attached to TR -30 and required a geotechnical report showing that the factor of <br />safety for gob pile no. 2 was 1.5 or greater. When BRL failed to submit the required geotechnical report, <br />Notice of Violation CV- 2005 -002 was issued and Stipulation No. 16 was terminated. <br />Stipulation No. 17 was attached to Technical Revision No. 30 and required the submittal of the NPDES <br />permit, air emissions permits, the Section 7 consultation with the USDA - Forest Service and an agreement <br />from the Deer Trail Ditch Company before coal waste disposal site no. 2 could be constructed or before <br />there was any discharge from Pond F. Upon submittal of the documentation, Stipulation No. 17 was <br />complied with. <br />Stipulation No. 18 attached to Technical Revision No. 31. This stipulation required the submittal of a <br />rockfall report and the construction of a rockfall berm above the facilities area before the mine plan <br />change in the west district could be implemented. Stipulation No. 18 was complied with. <br />Stipulation No. 19 was attached to Technical Revision No. 34 and required the submittal of the necessary <br />air emissions permits before the B -2 coal seam portal bench upland conveyor could be used. The air <br />emissions permits were submitted so Stipulation No. 19 was terminated. <br />Stipulation No. 20 was attached to Succession of Operator No. 2 and required the resolution of one AVS <br />issue before the permit could be transferred from Bowie Resources Limited to Bowie Resources, LLC. <br />Stipulation No. 20 was complied with and terminated. Also attached to Succession of Operator No. 2 was <br />Stipulation No. 21. This stipulation required proof that the BLM coal leases were transferred from Bowie <br />Resources Limited to Bowie Resources, LLC. Stipulation No. 21 was complied with. <br />Stipulation No. 22 was attached to Field Minor Revision No. 52 and required a permit text revision to <br />reflect that BRL could use a pump on a temporary basis to dewater pond B. With the submittal of the <br />permit text changes, this stipulation was complied with. The use of the pump for pond B became <br />permanent through Technical Revision No. 38. <br />The approval of the relocation of one gob vent borehole through Field Minor Revision No. 61 was <br />contingent on the resolution of Stipulation No. 23. This stipulation was complied with when the permit <br />text, map and reclamation cost estimate were submitted. <br />Stipulation No. 24 required the submittal of permits from the Colorado Department of Transportation and <br />the US Bureau of Reclamation before the elevated conveyor could be constructed to gob pile 3. With the <br />