HomeMy WebLinkAbout20093762.tiffThomas Honn
From:
Sent:
To:
Subject:
Thomas Honn
Wednesday, April 15, 2009 8:59 AM
'Anne.Johnson@lafarge-na.com'
RE: Greeley 35 Avenue Permit
Anne:
After reviewing the file I find there is a standard that states it will be a wet pit.
Nothing in the file establishes how the wet pit is to operate. We do not restrict the
dewatering operations but it is regulated through the State Engineer and the Mined Land
Reclamation Board. We would generally have such approvals in our files today but as this
is such an old file it does not exist. The operator should have such information and
approvals in order to operate a dewatering operation.
Tom
Original Message
From: Anne.Johnson@lafarge-na.com [mailto:Anne.Johnson@lafarge-na.com]
Sent: Friday, April 10, 2009 7:34 AM
To: Thomas Honn
Cc: Steven.T.Brown@lafarge-na.com
Subject: Greeley 35 Avenue Permit
Anne Best Johnson AICP I AC & A I Land Manager I Lafarge
( Phone (303) 684-2307 I ( Mobile (303) 653-4101 17 Fax (303) 684-2327
* Email anne.johnson@lafarge-na.com
Forwarded by Anne Johnson/Denver/Us/Concrete-Aggregates/Lafarge on
04/10/2009 07:33 AM
Anne Johnson
04/03/2009 02:02
Aggregates/Lafarge@LafargeCorp
PM
To:
cc:
thonn@co.weld.co.us
Steven T Brown/Denver/Us/Concrete-
Subject: Greeley 35 Avenue Permit
Tom,
Thank you for your return call and timely response to my request.
Lafarge obtained 2AmUSR247 in 1996 to extract sand and gravel from our 35th
Avenue site. The heading on the Resolution indicates a wet mining
operation. I spoke with John Pinnelo who indicated the reason it is titled
"wet" is due to our dewatering activities. Lafarge has had someone looking
at our Resolutions lately and is concerned that the term "wet" equates to
the need to keep the pits filled with water and mine via dredge. Could you
please help clarify that the permit is for sand and gravel extraction, the
"wet" term does not necessarily equate to dredging, and that the permit is
valid for sand and gravel extraction with dewatering activities.
1
o?Qo9 -3 742-
Thanks,
Anne
Anne Best Johnson AICP I AC & A I Land Manager I Lafarge
( Phone (303) 684-2307 I ( Mobile (303) 653-4101 17 Fax (303) 684-2327
* Email anne.johnson@lafarge-na.com
i0':r•
11111De.
COLORADO
February 23, 2009
Julie A. Cozad
Land Planning Manager
TETRA TECH Company
1900 South Sunset Street, Suite 1-F
Longmont, CO 80501
DEPARTMENT OF PLANNING SERVICES
Greeley Planning Office
918 Tenth Street
Greeley, Colorado 80631
WEBSITE: www.co.weld.co.us
E-MAIL: kogle@co.weld.co.us
PHONE (970) 353-6100, EXT. 3549
FAX (970) 304-6498
Subject: Substantial Change determination, 2nd AmUSR-247
Dear Ms. Cozad:
The Department of Planning Services is in receipt of your inquiry dated February 3, 2009 on behalf of
Lafarge West, Inc. for a proposed amendment to the existing County permit for a mining operation
located west of 35`I' Avenue and north of "F" Street. It is stated that the current operation is located on 370
acres and this proposal seeks to add an additional 16.3 acres, hereafter, [Brown parcel] more or less to
the existing permit boundary. The current County permit is 2nd AmUSR-247 and the current State permit
provided through the Division of Reclamation, Mining and Safety [DRMS] successor to the Division of
Minerals and Geology, permit number M1977-036.
The request of Lafarge West, Inc. presented to the County for consideration is to amend the current State
and County permits to include these lands. It is also important to note that the Brown parcel is sited within
the municipal limits of the City of Greeley, hereafter [City]. The City has expressed a willingness to allow
the proposed application to move forward through the County permitting process. Discussions have also
included the development of an intergovernmental agreement [IGA] between the City and the County
outlining the specific processes and timelines that would be associated with any proposed amendment.
Should this request be granted, County will require evidence of State approval from the DRMS for any
change in the original permit Additionally, County will require new drawing(s) delineating this proposed
amendment to be recorded in the Clerk and Recorder's office with the appropriate notes and signatures.
The Department of Planning Services has consulted with two other county departments, the Department
of Public Works and the County Attorney's office. Discussion between representatives associated with
these departments for this request has resulted in the non -precedent determination that the proposed
addition of lands previously identified as the Brown parcel into the County's 2nd AmUSR-247 does not
constitute a substantial amendment to the existing permit. Therefore, County requests written evidence of
approval to the addition of these lands from the State.
Further, the City /County IGA will require adoption in the form of an agreement signed by the elected
officials or their designees for both the City of Greeley and Weld County. In this instance, this IGA will
allow the County to manage the permitting of a Lafarge sand and gravel operation which includes both
City and County property.
County will require an amendment to the existing Flood Hazard Development Permit which may
substantially affect the current operations associated with this facility. Lafarge West, Inc , or their
consultant should coordinate all efforts on this issue through the Department of Public Works; Clay Kimmi,
P.E., and David Bauer, P E., are available to assist on this issue. As Tetra -Tech may be aware, Weld
County will be utilizing the Army Corps of Engineers study to establish the locations of the floodplain and
floodway, with documentation, including elevation certificates, requested for all of the buildings and batch
plants on the site. The Department of Public Works will be requesting an updated Long -Term
Maintenance agreement and Improvements agreement to address the travel on the County's roadways
including but not limited to all an update to the haul routes within the existing agreements of record.
Weld County further requests that written approval from the Division of Reclamation Mining and Safety be
submitted to this office for our files. At a minimum, the drawings shall delineate the relationship of the
water features in the Reclamation and Extraction Plans. Further, should this land use application not
proceed through this outlined process, staff will request new mapping of the planned Mineral Extraction
and post mining Reclamation Plans be submitted for recording in the County Clerk and Recorders office.
Coordination of such drawings and related documents shall be coordinated through this office.
Weld County also requests that Lafarge West, Inc., continue to work through the specifics as to process
and requisite documentation to bring this request to a conclusion acceptable by all parties. Should you
have questions or concerns of the actions addressed in this letter please contact Thomas E. Honn,
Director of the Department of Planning Services and Building Inspection for clarification and direction.
Sincerely,
Kim Ogle
Planning Services
ec B Barker, Attorney's Office
T Honn, Planning Services
D Dunker, Public Works
L Dodge, Building
A. Siron, Compliance
File. 2nd AmUSR-247
Property Research
Robert Henry Brown
257 Mary Beth Road
Evergreen, CO 80439
Betty Dee Davee
10026 Allison Ct.
Westminster, CO 80001
February 3, 2009
To Whom It May Concern:
We understand Lafarge North America would like to mine southeast of our property
located at 15560 CR 60 in Greeley, Colorado. We do not have concerns with the
proposed mining operation as it is a continuation of the existing operation.
Sincerely,
Robert H. Brown
Betty D. Davee
TETRA TECH
February 3, 2009
Mr. Tom Honn, Director
Weld County Department of Planning Services
918 10th Street
Greeley, CO 80631
RE: Lafarge 35th Avenue Mining Site, 2nd AmUSR-247
Dear Mr. Honn:
I am writing this letter on behalf of our client, Anne Best Johnson, Land Manager for Lafarge
West, Inc. The purpose is to provide the Weld County Planning Department with information
regarding the Mining Operation located west of 35th Avenue and north of "F" Street, known as
2n AmUSR-247, originally permitted for Western Mobile Inc. and recorded on January 29,
1997. I have attached a copy of the recorded plat and an aerial map exhibit for your use.
There is an active mining operation at the facility, operated by Lafarge, which is located on
approximately 370 acres and is permitted for wet sand and gravel mining operations in the
Agricultural Zone District. As shown on page 3 of 3 of the plat, Phases IX (16 acres), X (15
acres) and XI (12 acres) are shown as cells for sand and gravel extraction.
On December 9, 1999, Lafarge acquired the property west of and adjacent to this portion of the
mining operation from Robert Brown, ("Brown"), Warranty Deed Reception #2737521. The
"Brown" parcel is 16.34 acres and is located in the NE t/4 of the NE %a of Section 34, Township 6
North, Range 66 West of the 6th P.M., Weld County and is due south of the Cache La Poudre
River. This parcel is located within the City of Greeley's municipal boundaries and is currently
zoned Industrial Medium Density (I -M). As you know, there have been several meetings and
discussions with both the City of Greeley and Weld County staff regarding the "Brown" property
and what steps need to take place to mine this parcel. Lafarge would like to mine the property in
the most efficient way possible, preferably when mining the phases referenced above.
Based on our discussions, on behalf of Lafarge, we are formally requesting a "major change
determination" by the County for mining the "Brown" parcel under Weld County's existing 2nd
AmUSR-247 permit.
Our position is that mining the "Brown" property is not a major change for the following
reasons:
1. Section 23-2-280 describes changes to a Special Review Permit and states, "the Department
of Planning Services is responsible for determining whether a major change exists". The
Weld County Code does not further define what is considered a major change. However, the
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TETRA TECH
Lafarge West, Inc.
35th Avenue Operation; 2nd AmUSR-247
February 3, 2009
Page 2 of 3
definition section of Chapter 23 (Section 23-1-90) does define a substantial improvement
and substantial damage. A substantial improvement is defined as: "any repair,
reconstruction or improvement of a STRUCTURE the cost of which equals or exceeds fifty
percent (50%) of the market value of the STRUCTURE..." and the substantial damage
definition also refers to 50% of the market value of the structure. If the 16 acre "Brown"
parcel was included within the 2nd AmUSR-247 permit boundary, the "Brown" property
would be only 4% of the total permitted area.
2. Impacts to surrounding property owners as a result of mining the "Brown" property would be
negligible. The property with the potential to be most impacted would be the property to the
northwest, because it is immediately adjacent to the "Brown" parcel. This property is still
owned by the Brown family; the Browns are aware of Lafarge's intent to mine the "Brown"
property and are supportive. A letter of support is forthcoming from Mr. Robert Brown and
will be provided to you for your files. There are some other smaller parcels located northeast
of the "Brown" parcel; however, they are immediately adjacent to the existing 2nd AmUSR-
247 permit currently being mined and any mining on the "Brown" property would be further
away from their properties. In addition, many property owners between 35th Avenue and 59th
Avenue have been contacted by Lafarge and most are in negotiations for mining of their
parcels, including a property owned by the City of Greeley.
3. Visual impacts resulting from mining the "Brown" parcel would also be negligible. Existing
vegetation along the Cache la Poudre River would screen mining activity on the "Brown"
parcel from unmined properties to the west and north. In addition, all conditions, operation
standards, performance standards and development standards that are in effect for 2nd
AmUSR-247 will apply to the "Brown" parcel and other details will be outlined in an
Intergovernmental Agreement (IGA) between Weld County and the City of Greeley. The
idea of an IGA was discussed in the meeting on January 30, 2009 with you and Becky
Safarik, Development Director for the City of Greeley.
4. The gravel will be processed on site and will be conveyed to the existing batching operations
on the existing permitted site. There are no additional traffic impacts.
5. The health, safety and welfare of the residents of the County and City were considered upon
approval of 2nd AmUSR-247 and adding the "Brown" parcel to the permitted area will not
result in a new health, safety or welfare issue.
6. The "Brown" parcel is within Greeley's municipal boundary. Discussions with Greeley's
staff indicate a willingness to allow the land use process to go forward through Weld County
administratively, if Weld County determines this is not a major change to the 2nd AmUSR-
247. An IGA between Greeley and Weld County will outline the specific processes and
timelines to be followed for this parcel.
7. As part of this process, we anticipate that maps, legal descriptions and information for the
County and City files will need to be updated to include the "Brown" parcel in 2nd AmUSR-
247.
8. A Division of Reclamation Mining and Safety (DRMS) amendment will be submitted to the
State, with copies to the County and City, if required, and will include the "Brown" parcel.
The current DRMS Permit is M1977-036.
11) TETRA TECH
Lafarge West, Inc.
35th Avenue Operation; 2nd AmUSR-247
February 3, 2009
Page 3 of 3
9. A zone change application will be submitted to the City of Greeley to change the zoning to
Conservation District (C -D) and will meet both Weld County's and the City of Greeley's
current Comprehensive Plans.
Please confirm, in writing, that adding the "Brown" property into the 2nd AmUSR-247 is not a
major change and identify what steps Weld County will require to complete the process. We
appreciate all of the time and effort you have spent with us and we look forward to continuing to
move this project forward through the Weld County and City of Greeley processes. If there is
anything further that you require, please let me know.
Sincerely,
TETRA TECH
1
Julie A Cozad
Land Planning Manager
cc: Anne Best Johnson, Land Manager, Lafarge West, Inc.
file
\\rmccfss0l\prolects\23511\133-23511-08005\Communications\Correspondence\Letters\Substantial change 2ndAmUSR2471tr020209 doc
E MORISON
DWG LAYOUT BROWN P
N
Project No.: 133-23511.08005
SEC. 27
1l3(EST 0 STREET
el
TETRA TECH
www tetratech corn
1900 S Sunset Street, Ste 1-F
Longmont, Colorado 80501
PHONE (303) 772-5282 FAX (303) 772-7039
/EST F STREET
Drawhg Description
EXISTING MINING
OPERATION AND
BROWN PARCEL
LAFARGE WEST, INC.
Date: 1-27-09
Copyright: Tetra Tech
Bruce Barker
I County Attorney
Weld County Government
915 10th Street
Greeley, CO 80631
Rick Brady
City Attorney
City of Greeley
100 10th Street, Suite 401
Greeley, CO 80631
Anne Best Johnson
Land Manager
Lafarge West, Inc.
11409 Business Park Circle
Suite 200
Longmont, CO 80504
MEMORANDUM of UNDERSTANDING
BETWEEN
Weld County, City of Greeley and Lafarge West, Inc.
SUBJECT: Lafarge West, Inc., 35th Avenue Facility
1. Purpose and Background. The purpose of this memorandum of understanding is to outline
the land use process for a small, 16.34 acre parcel of land, located in the NE 1/4 of the NE 1/4 of
Section 34, Township 6 North, Range 66 West of the 6th P.M., Weld County, Colorado, Parcel
#0805-34-000080. This parcel is owned by Lafarge Corporation, 10170 Church Ranch Way,
Suite 200, Westminster, CO 80021 and is known as the "Brown/Lafarge property".
The above described parcel is directly adjacent to an existing, permitted operation for Lafarge
West, Inc ("Lafarge"), and known as 2nd AmUSR-247. The Brown/Lafarge property is located
within the boundaries of the City of Greeley, Colorado ("City"). The property is zoned
Conservation District (C -D) and Industrial Medium Density (I -M) in the City of Greeley.
The existing, permitted property described below is 368.966 acres and is located in part of
Section 34 and part of Section 35, Township 6N, Range 66W of the 6th P.M., Weld County,
Colorado and is zoned Agricultural. The property is permitted for wet sand and gravel mining
operations, batching operations facilities and AC storage. The Weld County ("County") permit
for this operation is 2"d AmUSR-247 (Recorded in Book #1589 at the Weld County Clerk and
Recorders Office) and the State of Colorado, Division of Reclamation Mining and Safety,
DRMS permit for the operation is M1977-036.
2. References:
• Exhibit A: Attached map showing existing, permitted area and Brown/Lafarge
property
Additional Contact information:
-Weld County Government (Commissioners, County Attorney and Planning)
915 10th Street, Greeley, CO 80631 970-356-4000
-City of Greeley Government (City Council, City Attorney, City Manager and
Community Development Office)
1000 10th Street, Greeley, CO 80631 970-350-9774;
---- - ---- -------- ----- -- -Lafarge West, Inc. (Contact: Anne Best Johnson)
11409 Business Park Circle Suite 200, Longmont, CO 80504 303-684-2307
i Deleted: <#>Exhtbtt B Portion of 1
i Zoning map from City of Greeley¶
,l ¶
J
l Formatted: Bullets and Numbering j
{ Deleted: ¶
j
3. Statement of Problem. Within the permitted facility there are three areas shown on the
recorded plat for the 2nd AmUSR-247 that are labeled as Phase IX, Phase X and Phase XI. These
areas total approximately 43 acres and were specifically permitted for sand and gravel extraction.
The Brown/Lafarge property is directly adjacent to these areas and Lafarge would like to extend
their mining operations into the Brown/Lafarge property while they are mining Phases IX, X and
XI because of efficiencies in mining practices.
Since the Brown/Lafarge property is annexed into the City, a process that all parties agree upon
needs to be outlined so that mining can be allowed on this parcel. A portion of the property is
currently zoned I -M, which does not permit the mining of gravel. The entire property needs to
be rezoned to C -D to allow gravel mining to occur on the entire Brown/Lafarge property.
It has been determined by Weld County that mining the additional 16 acre Brown/Lafarge
property would not be a substantial change to the existing 2"d AmUSR-247 permit. Therefore, it
was suggested that all land use permitting could be done through the County to streamline the
process, since the parcel is minimal in size and the overall impacts to surrounding property
owners would be no different than mining the Phases identified within the approved 2"d
AmUSR-247. However, in order to do this, a process needs to be defined and agreed upon by
the County, City and Lafarge. This Memorandum of Understanding is meant to serve as a record
referencing that all three parties are in agreement with the process to be followed, to permit the
mining of the Brown/Lafarge property.
The process for permitting mining on the Brown/Lafarge property is outlined below.
4. Permit Process.
a. By signing this document, written verification from Weld County is provided that
mining the Brown/Lafarge property is not a substantial change to 2"d AmUSR-247.
b. Update 2nd AmUSR-247 map to include Brown/Lafarge property and provide
copies to the County and City. By signing this document, the City accepts the mining
permit from the County and understands re -zoning is necessary to permit the land use
as identified in Section 4(c) below.
c. Rezone the entire Brown/Lafarge property within the City of Greeley to C -D to
allow for gravel mining.
d. Amend Permit #M 1977-036 with the DRMS, as required, to include the
Brown/Lafarge property and submit copies of the amended permit to the County and
the City.
5. Understandings, agreements, support and resource needs. It is understood that Lafarge will
fill out all necessary permits and paperwork and pay any required fees associated with items a.
through d. listed above for the permitting of the Brown/Lafarge property. The City will defer to
the updated 2nd AmUSR-247 for the gravel mining permit. The only City process required will
be to rezone the Brown/Lafarge property.
It is understood that gravel will be conveyed from the Brown/Lafarge property to the permitted
batching facilities within 2nd AmUSR-247 for processing.
No stockpiling of material or structures will be located on the Brown/Lafarge property in order
to eliminate any new or amended Flood Hazard Development Permit.
Per the 2nd AmUSR-247, no mining will occur within 50 feet of the Cache La Poudre River or
within 10 feet of the all other boundary lines.
All Development Standards for 2nd AmUSR-247 will be adhered to for the Brown/Lafarge
property.
6. Specify a certain contracting period. This memorandum is valid until completion of items in
#4.
7. Specify monetary and performance terms. All required fees associated with permitting the
Brown Lafarge property will be paid by Lafarge.
8. Termination clause. (We will need language to insert here)
9. Effective date. This agreement becomes effective from the date of execution by all parties.
Signatures Blocks: (we will need to insert the appropriate signature blocks, per all parties) to be
determined at our meeting
Weld County Government
Date:
City of Greeley
Date:
Lafarge West, Inc.
Date:
Bruce Barker
County Attorney
Weld County Government
915 10th Street
Greeley, CO 80631
Rick Brady
City Attorney
City of Greeley
100 10th Street, Suite 401
Greeley, CO 80631
Anne Best Johnson
Land Manager
Lafarge West, Inc.
11409 Business Park Circle
Suite 200
Longmont, CO 80504
MEMORANDUM of UNDERSTANDING
BETWEEN
Weld County, City of Greeley and Lafarge West, Inc.
SUBJECT: Lafarge West, Inc., 35th Avenue Facility
1. Purpose and Background. The purpose of this memorandum of understanding is to outline
the land use process for a small, 16.34 acre parcel of land, located in the NE 1/4 of the NE 1/4 of
Section 34, Township 6 North, Range 66 West of the 6th P.M., Weld County, Colorado, Parcel
#0805-34-000080. This parcel is owned by Lafarge Corporation, 10170 Church Ranch Way,
Suite 200, Westminster, CO 80021 and is known as the `Brown/Lafarge property".
The above described parcel is directly adjacent to an existing, permitted operation for Lafarge
West, Inc ("Lafarge"), and known as 2nd AmUSR-247. The Brown/Lafarge property is located
within the boundaries of the City of Greeley, Colorado ("City"). The property is zoned
Conservation District (C -D) and Industrial Medium Density (I -M) in the City of Greeley.
The existing, permitted property described below is 368.966 acres and is located in part of
Section 34 and part of Section 35, Township 6N, Range 66W of the 6th P.M., Weld County,
Colorado and is zoned Agricultural. The property is permitted for wet sand and gravel mining
operations, batching operations facilities and AC storage. The Weld County ("County") permit
for this operation is 2nd AmUSR-247 (Recorded in Book #1589 at the Weld County Clerk and
Recorders Office) and the State of Colorado, Division of Reclamation Mining and Safety,
DRMS permit for the operation is M1977-036.
2. References:
• Exhibit A: Attached map showing existing, permitted area and Brown/Lafarge
property
Additional Contact information:
-Weld County Government (Commissioners, County Attorney and Planning)
915 10th Street, Greeley, CO 80631 970-356-4000
-City of Greeley Government (City Council, City Attorney, City Manager and
Community Development Office)
1000 10th Street, Greeley, CO 80631 970-350-9774
-Lafarge West, Inc. (Contact: Anne Best Johnson)
11409 Business Park Circle Suite 200, Longmont, CO 80504 303-684-2307
3. Statement of Problem. Within the permitted facility there are three areas shown on the
recorded plat for the 2"d AmUSR-247 that are labeled as Phase IX, Phase X and Phase XI. These
areas total approximately 43 acres and were specifically permitted for sand and gravel extraction.
The Brown/Lafarge property is directly adjacent to these areas and Lafarge would like to extend
their mining operations into the Brown/Lafarge property while they are mining Phases IX, X and
XI because of efficiencies in mining practices.
Since the Brown/Lafarge property is annexed into the City, a process that all parties agree upon
needs to be outlined so that mining can be allowed on this parcel. A portion of the property is
currently zoned I -M, which does not permit the mining of gravel. The entire property needs to
be rezoned to C -D to allow gravel mining to occur on the entire Brown/Lafarge property.
It has been determined by Weld County that mining the additional 16 acre Brown/Lafarge
property would not be a substantial change to the existing 2nd AmUSR-247 permit. Therefore, it
was suggested that all land use permitting could be done through the County to streamline the
process, since the parcel is minimal in size and the overall impacts to surrounding property
owners would be no different than mining the Phases identified within the approved 2"d
AmUSR-247. However, in order to do this, a process needs to be defined and agreed upon by
the County, City and Lafarge. This Memorandum of Understanding is meant to serve as a record
referencing that all three parties are in agreement with the process to be followed, to permit the
mining of the Brown/Lafarge property.
The process for permitting mining on the Brown/Lafarge property is outlined below.
4. Permit Process.
a. By signing this document, written verification from Weld County is provided that
mining the Brown/Lafarge property is not a substantial change to 2"d AmUSR-247.
b. Update 2nd AmUSR-247 map to include Brown/Lafarge property and provide
copies to the County and City. By signing this document, the City accepts the mining
permit from the County and understands re -zoning is necessary to permit the land use
as identified in Section 4(c) below.
c. Rezone the entire Brown/Lafarge property within the City of Greeley to C -D to
allow for gravel mining.
d. Amend Permit #M1977-036 with the DRMS, as required, to include the
Brown/Lafarge property and submit copies of the amended permit to the County and
the City.
5. Understandings, agreements, support and resource needs. It is understood that Lafarge will
fill out all necessary permits and paperwork and pay any required fees associated with items a.
through d. listed above for the permitting of the Brown/Lafarge property. The City will defer to
the updated 2nd AmUSR-247 for the gravel mining permit. The only City process required will
be to rezone the Brown/Lafarge property.
It is understood that gravel will be conveyed from the Brown/Lafarge property to the permitted
batching facilities within 2nd AmUSR-247 for processing.
No stockpiling of material or structures will be located on the Brown/Lafarge property in order
to eliminate any new or amended Flood Hazard Development Permit.
Per the 2"d AmUSR-247, no mining will occur within 50 feet of the Cache La Poudre River or
within 10 feet of the all other boundary lines.
All Development Standards for 2nd AmUSR-247 will be adhered to for the Brown/Lafarge
property.
6. Specify a certain contracting period This memorandum is valid until completion of items in
#4.
7. Speck monetary and performance terms. All required fees associated with permitting the
Brown Lafarge property will be paid by Lafarge.
8. Termination clause. (We will need language to insert here)
9. Effective date. This agreement becomes effective from the date of execution by all parties.
Signatures Blocks: (we will need to insert the appropriate signature blocks, per all parties) to be
determined at our meeting
Weld County Government
Date:
City of Greeley
Date:
Lafarge West, Inc.
Date:
USER NAME: MIKE MORISON
LAYOUT: BROWN PARCEL
Wednesday, January 28, 2009 11:07:25 AM
43EC.27
ESTOS RE T
TETRA TECH
www.tetratech.corn
1900 S. Sunset Street, Ste. 1-F
Longmont, Colorado 80501
PHONE: (303) 772-5282 FAX: (303) 772-7039
500' 1000' 2000'
Drawing Description
EXISTING MINING
OPERATION AND
BROWN PARCEL
LAFARGE WEST, INC.
Project No.: 133-23511-08005
Date:
Designed By:
FIGURE
Copyright: Tetra Tech
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