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APP 0= '9E, 12 22Pti FL TH = 20 IriVE <br /> Dane County Zoning and <br /> Natural Resources Committee <br /> April 4, 1996 <br /> Page 2 <br /> maintain the size of the operation at about the same level. We expect, therefore, to meet <br /> the exemption for particulate emissions limitation stated in the Wisconsin Administrative <br /> Code Chapter NR 415.075(1)(b)1, which states that ledge rock quarries with actual <br /> production of less than 25,000.tons per month are exempt, We will comply with the <br /> requirements of NR 415.075(6) that state the requirements for a Fugitive Dust Control <br /> Plan. This plan will be prepared after the approval of CUP 1298. The plan will involve <br /> dust control measures that are described in the CUP application material dated'November <br /> 1995 in Section 6.4. The use of blacktop access roads and the use of a water truck <br /> dedicated to the quarry will be the principal methods of dust control. <br /> The crushing operations for CUP 1298 will be contracted out as they are for CUP 788. <br /> Deconstruction Inc. is the crushing contractor,at CUP 788 and we propose that they be the <br /> crushing contractor for CUP 1298, The crusher currently used at CUP 788 and proposed <br /> to be at CUP 1298 has a capacity of 130 tons per hour. The unit has a spray bar for dust <br /> control. The crushing operation is expected to be exempt from particulate emissions <br /> requirements as stated by NR 415,076(1)(b)2. The crushing contractor has a fugitative <br /> dust control plan on file for the crushing operation, <br /> Sincerely, <br /> Foth & Van Dyke <br /> Marten J. Cieslik, P.E., DEE <br /> Lead Environmental Engineer <br /> MJC1:amb2 <br /> cc; Mr. Steve Nording, Bell Metzner Gierhart & Moore <br /> Mr. Harold Ziegler, HMZ Land Company <br /> AM82195Z004\L•DACOU N\4000 <br />