Laserfiche WebLink
V <br /> <br />IB61-201 1 <br />W E L`,? 0--0 N T Y <br />April 19, 2010 <br />P-311- <br />Colorado Division of Reclamation, Mining, & Safety <br />Attention: Michael Cunningham //1- <br />1313 Sherman Street, Room 215 <br />IIPnVP_r ro Rngn3 <br />RECE N <br />A ;-R 2 2 42011 <br />Divs;1, n of Reclamation, <br />-io R4Ming and oaf&ty <br />Weld County Public Works has recently become aware of a pending permit amendment <br />for the Western Sugar Reclamation Land Development Project being proposed by Varra <br />Companies. The pit is proposed to be located at or near section 9, T5N, R65W. <br />DMRS Rule 34-32.5-109(3) requires that the mining operator comply with local land use <br />and zoning regulations. Since FEMA and the Colorado Water Conservation Board <br />(CWCB) requires local jurisdictions to administer the Federal and State floodplain <br />regulations, Weld County requests that a condition be added to the reclamation permit <br />requiring a FEMA approved Letter of Map Revision (LOMR) prior to the release/vacation <br />of the DMRS permit. <br />The reason for the above request is that Weld County has recently been informed by <br />FEMA in a letter dated January, 13, 2011, that in order to remain compliant with the <br />National Flood Insurance Program, Weld County has to ensure that LOMRs are <br />submitted to FEMA for gravel pits located in a floodplain (See attached letter). FEMA <br />requires that changes such as 100-year flood water surface elevations, floodplain <br />boundaries, and floodway boundaries be documented and accepted through their <br />LOMR process. Subsequently, Weld County requires evidence of a FEMA approved <br />LOMR prior to vacation of the County's land use permits. The Federal Regulations that <br />apply can be found in 44CFR 60.3 and 65.3. FEMA, the CWCB, and Weld County have <br />floodplain regulations which potentially impact how the site can be used after <br />reclamation. The above mentioned agencies also have regulations in place regarding <br />the erosional stability of any fill that may be left in the floodplain at the completion of <br />mining. <br />Gravel mining activity has potential adverse impacts on the hydrologic balance of the <br />groundwater and surface water systems. The FEMA mapped floodplain is a part of the <br />hydrologic balance and is therefore potentially impacted by gravel mining operations. <br />DRMS Rule 34-32.5-116(4)(h) requires that changes to the hydrologic balance of the <br />affected land be minimized. Since the function of the floodplain is a piece of the <br />PUBLIC WORKS DEPARTMENT <br />1111 H STREET, P.O. BOX 758 <br />GREELEY, COLORADO 80632 <br />WEBSITE: WWW.CO.WELD.CO.US <br />PHONE: (970 :-1:56-4000, EXT. 3750 <br />FAX: (970) 304-6497 <br />Page 1 of 2 <br />MAPLANNING - DEVELOPMENT REVIEW\7-DayCompletenessReviews\2010\PA10-067 Floodplain Comments to DMRS 4-19-11.dccx <br />Dear Mr. Cunningham,