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N�. <br /> NEWMONT Newmont Mining Corporation <br /> 6363 South Fiddler's Green Circle Suite 800 <br /> Greenwood Village CO 80111 <br /> T 719 689-3254 RECEIVED <br /> F 719-689- 254 <br /> mvw newmont com <br /> NOV 0 7 2016 <br /> DIVISION OF RECLAATiON <br /> SENT CERTIFIED, RETURN RECEIPT REQUESTED MINIM- SAFE�gM1 <br /> 7015-1660-0000-0779-7570 <br /> November 3, 2016 <br /> Mr. Timothy Cazier, P.E. <br /> Environmental Protection Specialist <br /> Colorado Department of Natural Resources <br /> Division of Reclamation, Mining and Safety <br /> Office of Mined Land Reclamation <br /> 1313 Sherman Street, Room 215 <br /> Denver, Colorado 80203 <br /> Re: Permit No. M-1980-244• Cripple Creek & Victor Gold Mining Company ("CC&V"); <br /> Cresson Project; - Response to DRMS Technical Revision (TR-82) Preliminary Adequacy <br /> Review for Squaw Gulch Valley Leach Facility SGVLF) Phase I1 Construction Deferment. <br /> Dear Mr. Cazier: <br /> As a follow up to Division of Reclamation, Mining and Safety's (DRMS)November 2, 2016 <br /> letter for preliminary adequacy review comments of technical revision TR-82, please see <br /> Newmont's response to comments in bold and DRMS comments in italics. <br /> Comment 1: General Comment. The permittee for the Cresson Project (M-1908-244) is <br /> Cripple Creek& Victor Gold Mining Company (CC&VGMC or CC&V). It has come to <br /> the Division's attention that the distinction between this permittee name and Newmont <br /> Mining Corporation (Newmont) has become somewhat blurred, especially with <br /> transmittal letters being written on Newmont letterhead, although frequently signed by a <br /> representative of CC&VGMC. This distinction is important to the Division as our <br /> jurisdictional relationship is with the permittee, CC&VGMC, not Newmont. This <br /> becomes all the more important when revisions are incorporated into the permit and <br /> there are commitments by the operator to perform some task or complete a specific <br /> submittal and the permittee is subsequently acquired by another cpmpany. Please ensure <br /> CC&V/Newmont staff are cognizant of this distinction when making commitments in <br /> correspondence, and continue to sign letters as a representative of CC&VGMC. Please <br /> state commitments are from CC&VGMC (CC&V) or provide an affidavit that Newmont is <br /> authorized to act on behalf of CC&VGMC. Comment#2 below is specific to this issue. <br />