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7.1. SR 04-17-1995
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7.1. SR 04-17-1995
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4/17/1995
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uai~ciaa ta::fz Zr612 559 2202 BA LIESC$ rQo02/OOJ <br />~ LIC~.C <br />B.A, <br />TO: <br />FROM: <br />DATE: <br />• <br />ING. 13400 tSTH AVE. N. MINNEAPOLIS, MN 55441 &121559-1423 FAX: 61 21559-22 02 <br />MEMORANDUM <br />Mr. Steve Rohlf -City of Elk River <br />Mark Olson and John Lichter <br />March 15, 1995 <br />RE: Northern Con-Agg., Inc. Gravel Mining Plan <br />At your request we have completed a review of the Northern Con-Agg application entitled <br />"Conditional Use Permit Update for Mining and Processing at the Existing Northern Con-Agg., <br />Inc. Elk River Gravel Mine." The application was well organized and generally addressed the <br />potential environmetttai concerns identified by the Ells River Sand and Gravel Mining District <br />EIS. The following few comments regarding the proposed water level and quality monitoring <br />are offered for your consideration and use in completing the conditional use permit process. <br />Pages 11 and 12 of the application indicate that gravel training is targeted for a base elevation <br />of 955 which is approximately 10 feet above the water table. however, dependant on market <br />detttand and the quality of the material available, it is stated that mixing may extcnd to a lower <br />elevation which is below the water table. If tttitting is to extend below the water table, two <br />wart:r quality monitoring events for volatile organic compounds (VOCs) are proposed. The <br />sampling events aze to occur before excavation below the water table begins, and again during <br />training activities. It i5 assumed that the proposed monitoring is t0 be protective of the increased <br />potential for impacts to come In contact with the exposed water table from training equipment. <br />It is not stated where the water samples will be collected. <br />Based on the potential source of impacts, which are principally the fluids associated with mining <br />machinery, it tray appear prudent to add Diesel Range Organics (DRO) and Gasoline Range <br />Organics (GRO) to the parameter list. In addition, the sampling locations should include the two <br />shallow on-site we21s (Northern Con-Agg Wells #1 and #2), and the nearby Nemeth residential <br />well. For clamcation, it is noted that Northern Con-Agg Well #1 is the flinch scale house well <br />designated as well "E" in the EIS (see Table 3.3-2 and Figure 3.3-1 in the EIS); and Well #2 <br />is the 16-inch wash water well designated in the EIS as well "F". The Nemeth residential well <br />is located due south of Northern Con-Agg Well #2 {well "F"). <br />With regazd to sampling frequency, it may be desirable to identify that a sampling event occur <br />at the cessation of mining activities for the year. This latter samplitg event could be in addition <br />• to, or in place of, the second sampling event proposed in the document. If a spill should occur, <br />it is stated that floating booms be used to collect the product spilled product. Sampling during <br />training activities may best take place in the event of such a release. <br />
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