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D. Anderson, Western Fuels 06 -Jun -2013 <br />C- 2010 -089 / MR -05 PAR Page 2 of 2 <br />1. For the Table of Contents submitted on May 31, 2013, the name for the existing <br />Appendix 2.05.3(3) -1 is incorrect. Please revise the name to read, "SEDCAD Runs for <br />Culverts ". <br />2. We have an additional comment regarding the TOC, which is unrelated to MR -04. Under <br />the section "2. Support Facilities ", please add "Surface and Subsurface Man -Made <br />Features... 4" to the end of the list. <br />At the bottom of the TOC page, please include a footer showing the month and year of its <br />latest revision — in this case, June 2013. <br />4. Section 2.05.3(3) of the permit includes 14 pages. With this application, although it <br />appears that the only text being revised is the Domestic Water paragraph at the top of <br />Page 3, all 14 pages have been submitted, with the page footers indicating that each page <br />was revised in May 2013 (MR 05). The Division strongly recommends that for a minor <br />revision such as this, that only the page actually being revised (Page 3, in this case) be <br />submitted with the new footer, and that the font and /or pagination be adjusted to confine <br />the change to the single page. It is misleading, and can become confusing over time, to <br />regenerate an entire section each and every time smaller changes are made to the text. <br />In the Domestic Water paragraph, the text refers to the incorrect Appendix number. <br />Please change the reference to be Appendix 2.05.3(3) -2, as shown in the Table of <br />Contents. <br />6. On Map 2.05.3(3) -1, there are thin green lines on the map, and thin red lines with half - <br />solid circle symbols at the ends. The legend does not identify these symbols. Please <br />review and revise as appropriate. A "Weil" is shown, but it would be helpful to clarify <br />whether this is the Domestic Water Well. <br />This concludes the Division's preliminary adequacy review of the MR -05 application. Please <br />respond to these items at your earliest convenience, and ensure that the bond amount is increased <br />sufficiently to cover reclamation of the well. <br />Sincerely, <br />Marcia L. Talvitie, P.E. <br />Environmental Protection Specialist <br />Enclosure <br />cc: Doug White, P.E. Western Fuels Association (via Email) <br />Ben Langenfeld, Greg Lewicki and Associates (via Email) <br />Sandy Brown, DRMS (w /o Enclosure) <br />