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~ III IIIIIIIIIIIIIIII ~ <br />PARCEL, MAURO, HULTIN & SPAANSTRA, P.G. <br />ATTORNEYS AT LAW <br />SUIT[ 3600 <br />~9OI ULIfORNIA STREET <br />DENVER. COLORADO 80202 <br />TELEPNONE130312926900 <br />DEAN R. MASSEY TELECOPiER ~3o 3iz9e~aoao <br />January 9, 1990 <br />Mr. Neal Cohen <br />Ireland, Stapleton, Pryor & Pascoe, P.C. <br />1675 Broadway, Suite 2600 <br />Denver, Colorado 80202 <br />Re: Battle Mountain Resources Permit <br />Amendment Application <br />File No. N-88-112 <br />Dear Mr. Cohen: <br />We have been advised by the Colorado Mined Land :Reclamation <br />Division that you have filed a request for party status in the <br />above referenced matter. That notification indicated that your <br />request for party status was not received prior to the deadline <br />established in the Prehearing Order issued by the Mined Land <br />Reclamation Board. On the basis of that notification we understand <br />that your party status in that proceeding must be subsequently <br />determined by the Mined Land Reclamation Board. Nevertheless, we <br />are forwarding a copy of Battle Mountain's adequacy response in <br />accordance with the obligations established in t:he Board's <br />Prehearing Order. Our transmittal of the adequacy response <br />document should not be interpreted as acknowledgement of your party <br />status and we specifically reserve our right to chal:Lenge party <br />status when that issue is debated before the Mined Land :Reclamation <br />Board. <br />Q C <br />5 2 <br />