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a• <br />Mr. Todd Williams <br />G.L. SWSP <br />May 15, 2013 <br />Page 2 <br />depletion model developed by the Integrated Decision Support Group with the following <br />assumptions: <br />• Distance from the gravel pit centroid to the river (x) = 2,000 ft <br />• Alluvial aquifer width (W) = 7,000 ft <br />• Specific Yield (S) = 0.2 <br />• Transmissivity (T) = 160,000 (gpd /ft) <br />You have provided a monthly breakdown of the annual lagged depletions totaling 3.92 <br />acre -feet of evaporative loss. This value includes lagged depletions due to consumptive use <br />from prior approved SWSPs. <br />Replacement <br />The proposed source of replacement water for this pit is a lease of fully consumable <br />water from the Lake Canal Reservoir Company ( "LCRC "). The lease is for the period of June <br />2013 through May 2014 and corresponds with this SWSP approval period. A copy of the LCRC <br />lease, dated April 12, 2013, was provided to this office and is attached to this letter. The <br />replacement water will come from a system of reservoirs owned by LCRC known as the Gray <br />Lakes, which can deliver water to Boxelder Creek and from there to the Poudre River <br />downstream of the GL Pit. The LCRC's pending change case 06CW276 lists augmentation and <br />replacement as a changed use for water stored in the Gray Lakes. The total lease is for 8.85 <br />acre -feet of water of which 3.92 acre -feet represents the consumptive use portion to be used as <br />replacement water, 4.79 acre -feet represents the return flow, and 0.14 acre -feet will be used to <br />cover transit losses assessed at 0.25% per mile along Boxelder Creek. Providing replacement <br />at the confluence of Boxelder Creek and the Poudre River is sufficient for the irrigation season. <br />This replacement location may not be sufficient for the non - irrigation season if the Timnath Inlet <br />canal (WDID 0300924) is drying the river. At times when the Timnath Inlet canal is drying the <br />river, the Applicant shall insure that the LCRC water is instead delivered to the canal. <br />Long Term Augmentation <br />In accordance with the letter dated April 30, 2010 from the Colorado Division of <br />Reclamation, Mining, and Safety ( "DRMS "), all sand and gravel mining operators must comply <br />with the requirements of the Colorado Reclamation Act and the Mineral Rules and Regulations <br />for the protection of water resources. The April 30, 2010 letter from DRMS requires that you <br />provide information to DRMS to demonstrate you can replace long term injurious stream <br />depletions that result from mining related exposure of ground water. The DRMS letter identifies <br />four approaches to satisfy this requirement. In accordance with approach no. 1 and 3, you have <br />obtained a bond for $116,700 through DRMS which may be used for backfilling the exposed <br />ground water in the unlikely event that the mining operator abandons the site. <br />Please note that the approval of this substitute water supply plan does not relieve the <br />Applicant and /or the landowner of the requirement to obtain a water court decree approving a <br />permanent plan for augmentation or mitigation to ensure the permanent replacement of all <br />depletions, including long -term evaporation losses and lagged depletions after gravel mining <br />has ceased. The Applicant has demonstrated that the backfilling of the site will continue, thus <br />an augmentation plan with the Division 1 Water Court to cover long -term evaporation losses at <br />the G. L. Pit site is not required at this time. <br />Conditions of Approval <br />I hereby approve the proposed substitute water supply plan in accordance with §37 -90- <br />