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map to the original location. This will clarify the original area remaining under extended <br />reclamation liability until a post mining industrial land use change is completed for the site. <br />Item # 2 <br />Upon approval of the COGCC permit, OMLLC will obtain a copy from #MWLLC/North Fork <br />Energy and provide a copy of the information to the Division. A cost estimate of the pad by <br />CDRMS is not appropriate as the pad is not a regulated "coal" facility. We do not propose to <br />predict the long term outlook for the pad relative to the gas extraction project and the industrial <br />land use. <br />Item #3 <br />The cited Rule 4.05.5 and SAE'S, etc are unique to the coal rules for surface coal mining <br />activities, but not applicable to non -coal projects such as this proposed project. We anticipate <br />that 3MWLLC/North Fork Energy will install their stormwater sediment control BMP's in <br />accordance with their unique stormwater requirements. <br />Sincerely, <br />James A. Kiger <br />Environmental Manager <br />Enclosures <br />Xc: Mike Ludlow ( OMLLC) <br />Gunnison County Planning Office <br />David Rice, Delta County Planning <br />Paonia Public Library <br />USFS, Paonia Ranger District <br />BLM, UFO <br />Files <br />• Page 2 <br />