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• <br />STATE OF COLORADO RiC HnRD 0. IAMM. Govern nr <br />DEPARTMENT Of NATURAL RESOURCES <br />D. Monte Pascoe, Executive Director <br />iiiiiiiiiiiiiiiihi <br />999 <br />MINED LAND RECLAMA'T'ION <br />423 Centennial Building, 1313 Sherman Street <br />Denver, Colorado 80203 Tel. (303) 639-3567 <br />David C. Shelton <br />Director <br />TO: Tom Gillis <br />M E M O R A N D U M <br />FROM: Jerry Zimpferl;.,x' <br />DATE: November 17, 1981 <br />RE: Blue Ribbon Coal Mine (October, 1981 submittal) <br />I have completed a preliminary review of Blue Ribbon's latest submittal. The <br />review cannot be completed because it appears that the permit boundary has <br />been incorrectly identified. Comparison of Exhibit A with Exhibit C shows that <br />the permit area includes only the area of surface disturbance and does not in- <br />clude the area located above underground workings (See Rules 1.04(89,7)). The <br />applicant must revise all maps (and other appropriate sections of the permit) <br />to show the correct permit area before we make written findings for this permit <br />application. <br />The applicant has supplied surface water baseline information for Hubbard Creek. <br />However, to make the required written findings for Alluvial Valley Floors and <br />cumulative hydrologic effects, the applicant should provide estimates of average <br />flow and the mean annual yield from the watershed (or the percent of flow <br />contributed on an annual basis to flow in the North Fork of the Gunnison River). <br />If the permit boundary correction shows that other perennial streams are located <br />in or adjacent to the permit area, baseline data must be included for these <br />streams as well. <br />The applicant has not included a site-specific statement of the probable hydroloic <br />consequences of mining as required under Rule 2.05.6(3)(iv). The assessment <br />provided by the applicant (p. 120-123) was taken from the Colorado Westmoreland <br />application. Although it is appropriate to use other applications as a guide <br />for the analysis, the assessment itself must be a site-specific discussion of <br />the probable hydrologic consequences of the proposed mining activities. The <br />applicant should rewrite the statement of probable hydrologic effects to predict <br />during-operation and post-mining effects of their operation (including possible <br />subsidence effects) upon surface and groundwater. <br />The applicant has not supplied sufficient information for the Division to make <br />an alluvial valley floor determination. The information supplied is limited <br />to the incorrectly defined permit area. However, the Division is required to <br />make alluvial valley floor findings for the permit area and adjacent areas. <br /> <br />