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Response to DRMS Adequacy Review (1) — Cotter JD -9 Mine Reclamation Plan Amendment <br />14. On page E -5 item i., it is stated that Map C -2B shows the 50'x 50' ore pad area. The <br />referenced figure was not submitted with the application. Please provide 2 copies of the <br />mentioned figure. <br />Page E -5 item i. should state that Figure C4 shows the 50' z 50' ore pad area. <br />15. On page E -5 section i., it is stated that pad material will be placed inside the mine and <br />that interaction with water is not a concern since the majority of the water in the mine is <br />from the ore zone. Will the ore pad material be in contact with water when it is placed in <br />the mine? <br />See response to comment #7. <br />16 Per Rule 3.1.10(6) methods of weed control shall be employed for all prohibited noxious <br />weed species. In the event that noxious weeds become present on the site what methods of <br />weed control will be implemented? Please submit a weed control plan for the site. <br />Cotter's weed control plan for this site is included in Attachment 6. <br />Exhibit T <br />17. On page T -1 it states Cotter is working on a notarized damage agreement between Cotter <br />and the San Miguel Power Association. Please provide a copy of the notarized <br />agreement. <br />A notarized agreement between Cotter and San Miguel Power Association is <br />included as Attachment 7. <br />Exhibit U <br />18. Addressing Rule 6.4.21(6)(b)(W), please describe how Cotter Corp. will prevent adverse <br />off -site impacts during periods of Temporary Cessation. <br />The stormwater control structures will be inspected once per month during <br />periods of Temporary Cessation. Cotter will maintain stormwater control <br />structures as necessary to minimize adverse off -site impacts. <br />19. Addressing Rule 6.4.21(7), the EPP states that a radiometric survey will be completed <br />prior to mining in order to document baseline conditions at the site. Baseline conditions <br />