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<br />i <br />• • III IIIIIIIIIIIIIIII <br />PARCEL, 1•lAURO, HULTIN & SPAANSTRA, P Ci- <br />ATTORNErS AT LAW <br />SUITE 3600 <br />1601 ULIfORNIA STREET <br />DENVER, COLOR400 60202-26]6 <br />TELEPHONE 13031292-6400 <br />TELECOPIER 13031295-3040 <br />June 12, 1992 <br />VIA HAND DELIVERY <br />Dr. James A. Pendleton <br />Technical and Scientific Coordinator <br />Colorado Mined Land Reclamation Division ("Division") <br />Colorado Department of Natural Resources <br />1313 Sherman Street, Room 215 <br />Denver, Colorado 80203 <br />~d ~w, ~ <br />dN i ~ l~gz <br />MinQd <br />R~cla~,,,;~ ~~ d <br />"`~n <br />Re: Battle Mountain Resources ("BMR")-San Luis Project <br />Permit No. M-88-112 <br />Response to Adequacy Comments on Technical Revision No.1006 <br />Sampling and Analytical Protocol <br />Dear Dr. Pendleton: <br />Enclosed with this letter you will find three copies of BMR's response to the above- <br />referenced adequacy comments on Technical Revision No. 006. BMR's response to the <br />adequacy comments is submitted in compliance with Abatement Reyuiremenrt No. 12 which <br />was imposed pursuant to the enforcement action taken by the Division at the San Luis <br />facility. BMR believes that the enclosed response addresses all of the comnents provided <br />to BMR by the Division on June 1, 1992. BMR intends to commence the Ibrocedures set <br />forth in the sampling and analytical protocol upon receipt of approval from your office. <br />In addition, enclosed with this letter is a statement of qualifications for Water, Waste <br />and Land, Inc. ("WWL"). As you know, to satisfy the third party verification sampling and <br />analysis requirement specified in paragraph 21.c. of the Mined Land Redaghation Board's <br />Notice of Violation and Order, dated May 28, 1992, BMR has proposed that WWL be <br />retained at BMR's expense to conduct periodic sampling and analytical work according to <br />the approved protocol to confirm the results of BMR's ongoing monitoring. The enclosed <br />statement of qualifications clearly illustrates that WWL is fully qualified tp perform the <br />required verification monitoring. BMR believes that this statement of qualifications should <br />