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1984-06-15_REPORT - M1978352
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1984-06-15_REPORT - M1978352
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Entry Properties
Last modified
8/11/2022 2:42:30 PM
Creation date
11/27/2007 8:12:29 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M1978352
IBM Index Class Name
Report
Doc Date
6/15/1984
Doc Name
NOTTINGHAM S&G PN 78-352 EAGLE PIT
From
CONOVER MCCLEARN & HEPPENSTALL
To
MLRD
Permit Index Doc Type
ANNUAL FEE / REPORT
Media Type
D
Archive
No
Tags
DRMS Re-OCR
Description:
Signifies Re-OCR Process Performed
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s • III IIIIIIIIIIIIIIII � <br /> CONOVER, MCCLEARN Bc HEPPENSTALL <br /> PROFESSIONAL CORPORATION <br /> ATTORNEYS AND COUNSELLORS AT LAW <br /> 2600 CENTENNIAL PLAZA <br /> I775 SHERMAN STREET TELEPHONE(303) 937-9222 <br /> DENVER,COLORADO 80203 TELECOPIER(303)837-e975 <br /> June 14 , 1984 <br /> MICHAEL S. M[CARTHY <br /> Ms . Carol Russell RECEIVED <br /> Reclamation Specialist JUN <br /> Mined Land Reclamation Division 151984 <br /> 423 Centennial Building MINED LAND RECLA <br /> 1313 Sherman Street Colo. De NATION DIVISION <br /> Pt <br /> Denver, Colorado 80203 of Natural Resources <br /> Re: Nottingham Sand and Gravel/Eagle Pit <br /> Permit No. 78-352 <br /> Dear Carol : <br /> This letter is submitted on behalf of Nottingham Sand and <br /> Gravel Company ( "NS&G" ) in order to respond to the various <br /> concerns and inquiries raised in your letter of May 3 , 1984 , <br /> and further to confirm the resolution of those matters as dis- <br /> cussed in our conference on June 7 , 1984 , all with respect to <br /> the permit amendment application for the NS&G Eagle Pit. <br /> Accordingly, NS&G requests that this letter be considered a <br /> clarification and supplement to its permit amendment applica- <br /> tion currently pending before the Division and Board. <br /> Our responses to the items set forth in your May 3 letter <br /> correspond to the numbering used in that letter. <br /> I . General Information. <br /> In view of the fact that MLRB Rule 1 .56( 5) requires ap- <br /> propriate agreements with owners of man-made structures within <br /> 200 feet of the permit area only if such structures will in <br /> fact be harmed by the conduct of mining operations , together <br /> with the absence of any demonstration that such damage will <br /> occur to any of the structures which you have listed in your <br /> May 3 letter, we understand that no such agreements will be <br /> required of NS&G at this time. <br /> II . Legal Description. <br /> With regard to the access road located on the eastern end <br /> of the property, we are informed by the U .S. Bureau of Land <br /> Management that such road has been used by BLM permittees for <br /> decades in order to obtain access to BLM property located to <br /> the north of the Eagle River; however , the BLM does not assert <br />
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