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<br />• ~ III IIIIIIIIIIIII III <br />Carbon Junction Mine <br />Permit C-92-080 <br />Mid-Term Review Responses: Round 3 <br />Oakridge Energy, Inc. provides this third and presumably final response to Division <br />comments identified during the mid-term review. Division comments are restated for <br />ease of review in bold face from the correspondence dated November 18, 1996. <br />CDMG comments not in the original mid-term review are presented in bold and italic. <br />OEI responses follow the Division comments. Division comments that OEI believes <br />were answered in the initial response are not repeated here. Specific page edits and <br />text modifications have been appended to the end of this letter. <br />1. I inadvertently neglected to Gave Oalcridge Energy verify whetber aU me <br />mfonaa6on currently provided m Section 2.03.4 of the permit is saU accurate. 7Le <br />permit sections tliat need paticu/ar attention aie 2.03.4(3)(a), 2.03.4(3)(6), <br />2.03.4(3)(c), 2.03.4(3)(d), 2.03.4(3)(e), 2.03.4(4)(a), 2.03.4(4)(6), 2.03.4(6), <br />2.03.4(7), and 2.03.4(9). <br />One change has been made to the text in these sections. The mailing address of <br />Oakridge Energy has been changed throughout the applicable text. The remaining <br />information within the current text of the Carbon Junction permit is accurate with <br />respect to the aforementioned regulatory citations. <br />3. Section 2.03.10 of &e Boa's Regulations requires every permit application <br />to contain a list of aU other Greases and penyrits needed by /he app/icaat to conduct <br />the proposed sufface mining activities. 7Lis sectlon of the regulations nequiies this <br />list to identify each type of license or penr>yl; the name and adrbess of the issuing <br />authority, the idenliltca[ion numbers of the applications for those permits or Ucenses <br />(or, if issued, the identiFcalion numbers of W e perffits or licenses), and it a decision <br />was made, ~e dgte of approval or disapproval by each issuing authority. <br />For brevity, the contents of CDMG comments 3a., 3b., 3c., and 3d. will not be <br />repeated here. <br />3a. Well permits are not required for monitoring wells by the Division of Water <br />Resources. CDMG is referred to 18 CR 3,3-95, specifically Rule 3.2 which exempts <br />wells subject to CDMG jurisdiction. Additionally, wells used solely for monitoring, <br />which all the wells within the Carbon Junction Mine permit area currently are, are not <br />required to be permitted. Currently, the only well permit from the Division of Water <br />Resources is as follows: <br />WELL I.D. DWR PERMST NO. APPLICATION DATE <br />842 31082-F 1986 <br />