مورد إلكتروني

[Letter regarding Holliday Sand & Gravel LLC ('Holliday') to join the comments submitted on its behalf by Mr. David Shorr of Lathrop & Gage, LLC, and the expert reviews attached to these comments]

التفاصيل البيبلوغرافية
العنوان: [Letter regarding Holliday Sand & Gravel LLC ('Holliday') to join the comments submitted on its behalf by Mr. David Shorr of Lathrop & Gage, LLC, and the expert reviews attached to these comments]
المصدر: 3j-HollidayResp.pdf
بيانات النشر: Holliday Sand and Gravel Company 2020-07-31
نوع الوثيقة: Electronic Resource
وصف مادي: 2845359 Bytes
مستخلص: 4844-1703-2134.1 Holliday Sand and Gravel Company 7355 W. 162nd Terrace Overland Park, Kansas 66085 VIA EMAIL AND U.S. MAIL July 31, 2020 To: Matthew S. Shively Regulatory Project Manager U.S. Army Corps of Engineers Kansas City District 601 East 12th Street Kansas City, MO 64106 From: Mike Odell, Vice President Holliday Sand & Gravel Company, Inc. Email: mike.odell@hollidaysand.com Ph. 913-208-7309 Holliday Sand & Gravel LLC (“Holliday”) writes to join the comments submitted on its behalf by Mr. David Shorr of Lathrop & Gage LLC, and the expert reviews attached to these comments. Those comments, including all attachments thereto, are incorporated by reference herein as if fully provided as the additional responsive comments of Holliday. This letter is, therefore, further in response to your May 29, 2020 request for additional input regarding public comments received by the U.S. Army Corps of Engineers (“USACE”) on the applications submitted by Capital Sand Company Inc.; Hermann Sand & Gravel, Inc.; Holliday Sand & Gravel Company, LLC; Con-Agg of Missouri, LLC; Limited Leasing Company; and J.T.R. Inc. for Section 404 permits. In addition, USACE has provided, for the first time, and in draft format, several documents that will appear to severely impact the dredging application submitted by Holliday for dredging in the St. Joseph and Kansas City reaches. Holliday writes separately to highlight the impacts to its business as a result of the various errors noted by the incorporated comments, to address potential issues in the analysis for the Kansas City reach in particular, and to respond more fully to comments by certain local water districts and the U.S. Environmental Protection Agency (“EPA”). In addition, Holliday is commenting to provide additional context as to why the regulatory and operational context of the permit sought by Holliday emphasize that commercial sand dredging at the levels requested, in particular for this 5-year permit cycle, has no real impacts
مصطلحات الفهرس: Correspondence; Dredging; Sand; Gravel; Public interest; Impact; Navigation; Hearing; Surveys; HEC-RAS (Computer program), Correspondence
URL: http://cdm16021.contentdm.oclc.org/cdm/ref/collection/p16021coll11/id/6286
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الإتاحة: Open access content. Open access content
This document was published by a federal government agency and is in the public domain.
Temporary, destroy when no longer needed. This material is an informational copy. See proponent for official copy.
ملاحظة: United States. Army. Corps of Engineers. Kansas City District
Missouri
Missouri River
pdf
English
أرقام أخرى: AED oai:cdm16021.contentdm.oclc.org:p16021coll11/6286
RN 735-17c
6286
1380671312
المصدر المساهم: US ARMY CORPS OF ENGS LIBR HECSA LIBR
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رقم الأكسشن: edsoai.on1380671312
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