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-164- <br /> <br />performed for Well 5 and likely addressed as a plan addendum with other City wells <br />constructed in the next two years. <br /> <br />Recommendations (of the commenter): <br /> 6. The statement regarding the City's wellhead protection plan should be <br /> modified to reflect the above information. <br /> 7. Information regarding the location of the anticipated additional well <br /> should be included in the AUAR. <br /> <br />Response: The paragraph on page 13-2 has been modified as follows: <br /> <br />Water SuppJ% The City currently operates five municipal wells in two well fields <br />(Figure t3.2) and anticipates drilling an additional well in the near ft'tture. The <br />first half o~' the wellhead protection plan for both well fields has been completed <br />and approved by the Mitmesota Department of Health (MDH). This half of the <br />wellhead protection plan addresses-WHPAs, DWSMAs and well vulnerability <br />classifications for all municipal wells with the exception of welt number 5. Well <br />5 is not part of the developing plan because it was constructed and activated after <br />the weIlhead delineation project began. A separate wellhead delineation project <br />will be necessary for well 5 which could be performed in coordination as a plan <br />acldendum with other municipal wells that will be constructed within several <br />years. The second part of the City's wellhead protection plan is currently in <br />progress and will address contaminant sources and education initiatives within the <br />site and the City WHPA/DWSMA. Items 19 and 20 further detail the geologic <br />setting and the potential Town Center impacts to the water supply. Appendix F <br />provides a discussion for the potential locations of additional municipal wells." <br /> <br />The location of new wells within the City is currently under study by the City. As stated <br />in the AUAR, three new wells are likely needed to support growth associated with the <br />RTC site and the western portion of Ramsey. Wellhead protection and.appropriation <br />issues.will be add ressed by the Minnesota Department of I-Iealth and DNR as part of the <br />permitting process, as identified in Table 8.1. <br /> <br />Comment 8.23: We concur with the statements on pages 13-7 and -8 that groundwater <br />level monitoring of the surficial aquifer would provide valuable information regarding <br />trends in the availability of shallow groundwater that recharges the deeper aquifer utilized <br />by the City's wells, if it becomes necessary, such wells could be used to test and monitor <br />the quality of the surficial aquifer in the event of a spill other pollution event. <br /> <br />Recommendation (of the commenter): <br /> 8. ]insert discussion considering the installation of surficial monitoring <br /> wells to aid in determining if increased water demand from this <br /> development impacts groundwater availability. Selection of monitoring <br /> well positions should provide for determining gromidwater flow direction. <br /> The materials and construction of the monitoring wells should be <br /> sufficient to utilize, if necessary, as water quality monitoring wells. <br /> <br />34-16 <br /> <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br />I <br /> <br /> <br />