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Anthony R. Hoch 1010 S. 4th St. Laramie, WY 82070 Susan Licher WHPA, Inc. 320 West Eighth Street Showers Plaza, Suite 201 Bloomington, IN 47404-3700 June 25, 2008 Ms. Licher, I have carefully reviewed May 2008 version of Chapter 3 of the Casper Aquifer Protection Plan (CAPP). I again concur that this chapter reflects the most up-to-date research and that the boundaries are drawn based on sound reasoning as I did in my February 8th 2008 letter. I think the addition of the discussion of the shortfalls of the 75’ line on page 51 is particularly useful in explaining why the boundary line was moved west. I did find one possible typo and problem on page 59, item 5 under what is to be included in site specific investigations: “Section 7.82.070.A”, I believe refers to definitions in Laramie ordinance, Section 17.82.070.A. It is my understanding that the ordinance is to be based on the plan and not the other way around. If so, the definitions should be referenced from within the CAPP (i.e. pp. 37-41, Vulnerability of the Casper Aquifer), rather than from the ordinance, which in theory is based on the CAPP. If I am incorrect please disregard this comment. Sincerely, Anthony R. Hoch. Ph.D., P.G.