Loading...
The URL can be used to link to this page
Your browser does not support the video tag.
Home
My WebLink
About
DAQ-2024-008110
DAQE-GN141690007-24 {{$d1 }} John Eckersley Anfield Resources Holding Corporation 10808 South Riverfront Parkway, Suite 321 South Jordan, UT 84095 johneckersley9@gmail.com Dear Mr. Eckersley: RE: Notification of Company Name and Ownership Change from ‘Uranium One Americas, Incorporated’ to ‘Anfield Resources Holding Corporation’ for Approval Letter dated February 28, 1978 Project Number: N141690007 The Utah Division of Air Quality (DAQ) has received your request on April 26, 2024, for a name and ownership change for the holder of the above-referenced Approval Letter. According to your request, we have noted in our records that the holder and party responsible for complying with the terms and conditions contained in the above-referenced Approval Letter has been changed from ‘Uranium One Americas, Incorporated’ to ‘Anfield Resources Holding Corporation’. This change took effect on the date of this letter. As authorized by the Utah Legislature, the fee for issuing this name change is a one-time filing fee in addition to the actual time spent by the review engineer and all other staff on the project. Payment should be sent to DAQ upon receipt of the invoice. If you have any questions, please contact Katie Andersen, who may be reached at (385) 515-1748 or kandersen@utah.gov. Sincerely, Bryce C. Bird Director {{$s }} Alan D. Humpherys, Manager New Source Review Section BCB:ADH:KA:jg {{#d1=date1_es_:signer1:date:format(date, "mmmm d, yyyy")}} {{#s=Sig_es_:signer1:signature}} 195 North 1950 West • Salt Lake City, UT Mailing Address: P.O. Box 144820 • Salt Lake City, UT 84114-4820 Telephone (801) 536-4000 • Fax (801) 536-4099 • T.D.D. (801) 903-3978 www.deq.utah.gov Printed on 100% recycled paper State of Utah SPENCER J. COX Governor DEIDRE HENDERSON Lieutenant Governor Department of Environmental Quality Kimberly D. Shelley Executive Director DIVISION OF AIR QUALITY Bryce C. Bird Director May 14, 2024 Document Date: 09/29/2016 DAQ-2016-012088 II DAQC-1393-16 Site ID 14169 (Bl) MEMORANDUM TO: FILE - ANFIELD RESOURCES, INC. - SHOOTARING CANYON MILL fka Uranium One USA, Inc. THROUGH: Jay Morris, Minor Source Compliance Section Manager FROM: Chad Gilgen, Environmental Scientist Q (^) DATE: September 29, 2016 SUBJECT: FCE, Minor, Garfield County, AIRS #01700017 INSPECTION DATE: SOURCE LOCATION: SOURCE CONTACT(S): OPERATING STATUS: PROCESS DESCRIPTION: APPLICABLE REGULATIONS: SOURCE EVALUATION: PREVIOUS ENFORCEMENT ACTIONS: September 6, 2016. 48 miles south of Hanksville and just north of Ticaboo, on SR- 276, at the mouth of Shootaring Canyon. Sheryl Garling - Radiation Safety Officer, 307-277-3861 sagarling@rdeinc.biz Temporarily down. This is a NESHAP Subpart W - Radon 222 emissions testing memo. The mill has not operated since 1982 and is on standby until market prices allow for a profitable operation. The mill was acquired by Anfield Resources in 2015 with plans to start back up in within the next few years. The Shootaring Mill was constructed to operate as a typical uranium mining and milling operation. The mine/mill operated for two months during the summer of 1982. Since that time the mine/mill has not operated due to the lack of demand for “yellowcake” which is the mill’s only product. Uranium tailings from past operations are stored on site. 40 CFR Part 61 Subpart W - National Emissions Standards for Radon Emissions from Operating Mill Tailings Annual sampling for 2016 has been postponed by Anfield Resources until October 2016. See Email #2 - #7 for additional information. No enforcement actions in the past five years. COMPLIANCE STATUS & RECOMMENDATIONS:Compliance not determined for 2016. Radon-222 emissions HPV STATUS: testing are tentatively scheduled to take place in October 2016. Not Applicable. RECOMMENDATION FOR NEXT INSPECTION:Ensure that emissions testing took place in October 2016 or that the EPA has issued the waiver requested from Anfield Resources to no longer conduct testing. ATTACHMENTS:Emails #1 through #7. 2 9/29/2016 State of Utah Mail - Uranium One - Shootaring Mill Uranium One - Shootaring Mill Sheryl Carling <sagarling@rdeinc.biz> Tue, Jun 21, 2016 at 12:29 PM To: cgilgen@utah.gov Cc: Toby Wright <wrightenv@gmail.com>, Corey Dias <cdias@anfieldresources.com>, Roger Garling <ragarling@rdeinc.biz>, Steve Morrill <steve.morrill53@gmail.com> Chad, Scott Schierman, Uranium One, forwarded me your email. On January 29, 2016 Utah Division Of Waste Management and Radiation Control (DWMRC) approved the Transfer of Control for Radioactive Material License (RML) UT 0900480 and Groundwater Quality Discharge Permit UGW 170003 from Uranium One Americas Inc. to Anfield Resources Holding Corporation (Anfield). As the Radiation Safety Officer (RSO) on file, I will be conducting and overseeing radon flux measurements per Subpart W, NESHAPs (40 CFR Part 61), aka Method 115, for 2016. Anfield has not identified the exact dates to perform the measurements, other than we plan on performing late third quarter or early fourth quarter of 2016. We understand that Anfield is required to provide 30 days notice to Utah Division of Environmental Quality - Air Quality and DWMRC prior to commencement of emissions testing. Once we have our schedule identified we will provide notification. Sincerely, https ://m ai I .google.com/mai l/u/0/?ui=2&i k=36f4379b4d&vi ew=pt&q=s hootar i ng&qs=true&search= query&m sg= 15574391 bc8fd302&s i m I=15574391 bc8fd302 1/3 9/29/2016 State of Utah Mail - Uranium One - Shootaring Mill Sheryl Garling Shootaring Mill Project Radiation Safety Officer Anfield Resources Holding Corporation Sheryl and Roger Garling R and D Enterprises, Inc. www.rdeinc.biz PO Box 3321 Casper, WY 82602 Cell 307.277.3861 Land 307.237.4188 sagarling@rdeinc.biz raga rl i ng@ rdei nc. biz From: Chad Gilgen [mailto:cgilgen@utah.gov] Sent: Wednesday, June 15, 2016 3:59 PM To: Scott Schierman (USA - Casper) Subject: Uranium One - Shootaring Mill Hello Scott, I work for the Utah Division of Air Quality and have been assigned the Shootaring Mill facility this year. Jay Morris provided me with your contact information and recommended I contact you to see about participating in the annual NESHAP sampling. When you have a moment, please let me know when you are planning to conduct this sampling and, if my schedule permits, I'll plan to come down. Sincerely, Chad https ://m ai I .googl e.com/m ai l/u/0/?ui=2&i k=36f4379b4d&vi ew=pt&q= shootari ng&qs=true&search=query &m sg= 15574391 bc8fd302&si m I=15574391 bc8fd302 9/29/2016 State of Utah Mail - Radon Flux Proposed Rule - RIN: 2060-AP26 £ Ml $2- Radon Flux Proposed Rule - RIN: 2060-AP26 Chad Gilgen <cgilgen@utah.gov> Sheryl Garling <sagaiiing@rdeinc.biz> Mon, Aug 15, 2016 at 1:26 PM To: Chad Gilgen <cgilgen@utah.gov> Cc: Toby Wright <wrightenv@gmail.com>, Roger Garling <ragarling@rdeinc.biz>, Corey Dias <cdias@anfieldresources.com>, Steve Morrill <steve.morrill53@gmail.com> Chad, I was reading the proposed rule making for NESHAPS, https://www.federalregister. gov/articles/2014/05/02/2014-09728/revisions-to-national-emission-standards-for- radon-emissions~from~operating-mill-tailings#h-31 , Subpart W, and discovered the following: As discussed earlier, we no longer believe that a distinction needs to be made for conventional impoundments based on the date when they were designed and/or constructed. We believe that the existing conventional impoundments at both the Shootaring Canyon and Sweetwater facilities can meet the work practice standards in the current Subpart W regulation. The conventional impoundments at both these facilities are less than 40 acres in area and are synthetically lined as per the requirements in 40 CFR 192.32(a)(1). The existing cell 3 at the White Mesa mill will undergo closure in 2014 and will be replaced with the impoundments currently under construction that meet the phased disposal work practice standard. Therefore, there is no reason not to subject these older impoundments to the work practice standards required for impoundments designed or constructed after December 15, 1989. By incorporating these impoundments under the work practices provision of Subpart W, it is no longer necessary to require radon flux monitoring, and we are proposing to eliminate that requirement. The proposed elimination of the monitoring requirement in 40 CFR 61.253 applies only to those facilities currently subject to the radon flux standard in 40 CFR 61.252(a), which applies to only the three conventional impoundments in existence prior to the original promulgation of Subpart W on December 15, 1989. While we are proposing to eliminate the radon monitoring requirement for these three impoundments under Subpart W, this action does not relieve the owner or operator of the uranium recovery facility of the monitoring and maintenance requirements of their operating license issued by the NRC or its Agreement States. These requirements are found at 10 CFR Part 40, https://mai I.google.com/mai l/u/0/?ui=2&ik=36f4379b4d&view=;pt&q=shootaring&qs-true&search=:query&msg=1568faba1cb17b7a&si ml=1568faba1cb17b7a 1/2 9/29/2016 Appendix A, Criterion 8 and 8A. Additionally, NRC, through its Regulatory Guide 4.14, may also recommend incorporation of radionuclide air monitoring at operating facility boundaries. State of Utah Mail - Radon Flux Proposed Rule - RIN: 2060-AP26 It appears that ERA is removing the 3 conventional operations, Shootaring, Sweetwater and White Mesa cell 3, from performing annual radon flux measurements. It is my understanding that the proposed rule is currently in the approval process and they have a set amount of time to process. Would you provide Anfield Resources a waiver to postpone the 2016 radon flux measurements until the proposed rule is finalized? Sheryl Anfield Resources-Contract Radiation Safety Officer Sheryl and Roger Carling R and D Enterprises, Inc. www.rdeinc.biz PO Box 3321 Casper, WY 82602 Cell 307.277.3861 Land 307.237.4188 sagarling@rdeinc.biz ragarling@rdeinc.biz ■wmw* mmmpm mm https ://mail.google.com/mail/u/0/?ui=2&ik=36f4379b4d/Wiew=pt&q=shcx3taring&qs=true&search=query&msg=1568faba1cb17b7a&simM568faba1cb17b7a 2/2 9/29/2016 State of Utah Mail - Radon Flux Proposed Rule - RIN: 2060-AP26 Chad Gilgen <cgilgen@utah.gov> Radon Flux Proposed Rule - RIN: 2060-AP26 Chad Gilgen <cgilgen@utah.gov>Tue, Aug 16, 2016 at 8:32 AM To: Sheryl Garling <sagarling@rdeinc.biz> Cc: Toby Wright <wrightenv@gmail.com>, Roger Garling <ragarling@rdeinc.biz>, Corey Dias <cdias@anfieldresources.com>, Steve Morrill <steve.morrill53@gmail.com> Hello Sheryl, Unfortunately, the State of Utah does not have the authority to issue waivers related to Federal regulations and requirements. Please contact Sherrie Kinnard at Region VIII ERA regarding your request for a waiver. She can be reached at 303-312-6613. Thanks, Chad Chad Gilgen | Environmental Scientist | Minor Source Compliance 801.536.4237 (office) AIR QUALITY 195 North 1950 West, Salt Lake City, UT 84116 [Quoted text hidden] https ://m ai I .googl e.com/m ai l/u/0/?ui=2&i k=36f4379b4d&view=pt&q= shootari ng&qs=tr ue&search=query&m sg= 15693c479f364566&s i m I=15693c479f364566 1/1 9/29/2016 State of Utah Mail - Radon Flux Proposed Rule - RIN: 2060-AP26 Radon Flux Proposed Rule - RIN: 2060-AP26 Chad Gilgen <cgilgen@utah.gov> Chad Gilgen <cgilgen@utah.gov> Mon, Aug 22, 2016 at 1:45 PM To: Sheryl Garling <sagarling@rdeinc.biz> Cc: Toby Wright <wrightenv@gmail.com>, Roger Garling <ragarling@rdeinc.biz>, Corey Dias <cdias@anfieldresources.com>, Steve Morrill <steve.morrill53@gmail.com> Sheryl, Were you able to get the waiver you were pursuing through the ERA? Please let me know the status of the waiver or if you are planning to conduct the sampling as originally scheduled in mid-September 2016. Thanks, Chad Chad Gilgen | Environmental Scientist j Minor Source Compliance 801.536.4237 (office) Q AIR QUALITY 195 North 1950 West, Salt Lake City, UT 84116 [Quoted text hidden] https ://m ai I .google.com/m ai l/u/0/?ui=2&i k= 36f4379b4d&view=pt&q=shcx)tari ng&qs-true&search= query&m sg= 156b3c8dd9b4a2e5&si m I=156b3c8dd9b4a2e5 1/1 9/29/2016 State of Utah Mail - Radon Flux Proposed Rule - RIN: 2060-AP26 <5ah/ Radon Flux Proposed Rule - RIN: 2060-AP26 Chad Gilgen <cgilgen@iitah.gov> Roger Garling <ragarling@rdeinc.biz> Mon, Aug 22, 2016 at 2:32 PM To: Chad Gilgen <cgilgen@utah.gov>, "ragarling@rdeinc.biz" <ragarling@rdeinc.biz>, Me <sagarling@rdeinc.biz> We are still providing information to ERA. We are keeping the original schedule in place, and have a 48 hour cancellation window at the Ticaboo Resort we will use as our drop dead date. The plan is to start on Monday, 8/12, morning early, staying at the Ticaboo Resort Sunday evening. Sent from my Verizon 4G LTE smartphone -------Original message-------- From: Chad Gilgen <cgilgen@utah.gov> Date: 8/22/16 1:45 PM (GMT-07:00) To: Sheryl Garling <sagarling@rdeinc.biz> Cc: Toby Wright <wrightenv@gmail.com>, Roger Garling <ragarling@rdeinc.biz>, Corey Dias <cdias@anfieldresources.com>, Steve Morrill <steve.morrill53@gmail.com> [Quoted text hidden] https ://m ai I .google.com/m ai l/u/0/?ui=2&i k=36f4379b4d&view=pt&q=shootari ng&qs=tr ue&search=query&m sg= 156b3f4ad4e2353d&si m I=156b3f4ad4e2353d 1/1 9/29/2016 State of Utah Mail - Radon Flux Proposed Rule - RIN: 2060-AP26 6 M&) J 4) 6 Chad Gilgen <cgilgen@utah.gov> Radon Flux Proposed Rule - RIN: 2060-AP26 Sheryl Garling <sagarling@rdeinc.biz>Fri, Sep 2, 2016 at 2:20 PM To: Chad Gilgen <cgilgen@utah.gov> Cc: Roger Garling <ragarling@rdeinc.biz>, Sheryl Garling <sagar1ing@rdeinc.biz>, Toby Wright <WrightEnv@gimail.com> Chad, We received the following response from EPA. At this time, we would like to postpone the radon flux measurement until October, if that works with your schedule. Tellco has a scheduled measurement at the end of September/beginning of October and I am waiting to hear from him as to the best week that would work for him. October's historical average low temperature is ~40°, with an average high of ~60°, which meets the requirement of Method 115: Measurements shall not be performed if the ambient temperature is below 35 °F or if the ground is froze. We look forward to hearing from you regarding the change in the radon flux measurement schedule. Sheryl Sheryl and Roger Garling R and D Enterprises, Inc. www.rdeinc.biz PO Box 3321 Casper, WY 82602 Cell 307.277.3861 Land 307.237.4188 sagarling@rdeinc.biz ragariing@ rdeinc. biz Iittps://mail.google.com/mail/u/0/?ui=2&ik=36f4379b4d&view=pt&q=shootaring&qs=true&search=query&msg=156ec8fe41d1e2b7&siml=156ec8fe41d1e2b7 1/4 9/29/2016 State of Utah Mail - Radon Flux Proposed Rule - RIN: 2060-AP26 From: Wilwerding, Joseph [mailto:Wilwerding.Joseph@epa.gov] Sent: Thursday, September 01, 2016 10:59 AM To: Sheryl Garling; ragarling@rdeinc.biz Subject: RE: Radon Flux Proposed Rule - RIN: 2060-AP26 Hi Sheryl, responses are taking a bit longer here, so don't think you'll see a responses from us this week. Thanks, Joe Joseph L. Wilwerding USEPA Region 8, Office of Enforcement, Compliance & Environmental Justice 1595 Wynkoop Street, Denver, CO 80202-1129 (303) 312-6729, wilwerding.joseph@epa.gov From: Sheryl Garling [mailto:sagarling@rdeinc.biz] Sent: Monday, August 29, 2016 10:08 AM To: Wilwerding, Joseph <Wiiwerding.Joseph@epa.gov>; ragarling@rdeinc.biz; Me <sagariing@rdeinc.biz> Subject: RE: Radon Flux Proposed Rule - RIN: 2060-AP26 Joe, your time and efforts are greatly appreciated. We are still out on the road returning this week. Thank you! Sheryl Sent from my Verizon 4G LTE smartphone —— Original message------- From: "Wilwerding, Joseph" <Wilwerding.Joseph@epa.gov> Date: 8/29/16 8:36 AM (GMT-06:00) To: Sheryl Garling <sagarling@rdeinc.biz>, ragarling@rdeinc.biz Subject: RE: Radon Flux Proposed Rule - RIN: 2060-AP26 Hi Sheryl, yes, I received your email, and I've had additional discussions with Office of Regional Counsel here in Region 8 as well as with Office of General Counsel in DC. I should be able to get back to you later this week with the results of that discussion. https://mail.google.com/mail/u/0/?ui=2&ik=36f4379b4d&view=pt&q=shootaring&qs-true&search=query&msg=156ec8f©41d1e2b7&siml=156ec8fe41d1e2b7 2/4 9/29/2016 State of Utah Mail - Radon Flux Proposed Rule - RIN: 2060-AP26 Best, Joe Joseph L Wilwerding USEPA Region 8, Office of Enforcement, Compliance & Environmental Justice 1595 Wynkoop Street, Denver, CO 80202-1129 (303) 312-6729, wilwerding.joseph@epa.gov From: Sheryl Garling [mailto:sagarling@rdeinc.biz] Sent: Friday, August 26, 2016 9:01 AM To: Wilwerding, Joseph <Wilwerding.Joseph@epa.gov>; ragarling@rdeinc.biz; Me <sagarling@rdeinc.biz> Subject: RE: Radon Flux Proposed Rule - RIN: 2060-AP26 Joe, did you receive this email? Sent from my Verizon 4G LIE smartphone -------Original message-------- From: Sheryl Garling <sagarling@rdeinc.biz> Date: 8/23/16 8:34 AM (GMT-05:00) To: "Wilwerding, Joseph" <Wilwerding.Joseph@epa.gov>, ragar1ing@rdeinc.biz, Me <sagarling@rdeinc.biz> Subject: RE: Radon Flux Proposed Rule - RIN: 2060-AP26 Joe, we are traveling and I was unable to respond immediately. If I understand your question, the less than 2 acre impoundment is currently maintained with an interim cover, the Flux measurement meets the "standard", the facility is currently in standby status, and the State of Utah has accepted the current operation as being compliant. What additional information do we need to provide to request a waiver on performing radon flux measurements in 2016? Sheryl https://mail.google.com/mail/u/0/?ui=2&ik=36f4379b4d&view=pt&q=shootaring&qs=true&search=query&msg=156ec8fe41d1e2b7&siml=156ec8fe41d1e2b7 9/29/2016 State of Utah Mail - Radon Flux Proposed Rule - RIN: 2060-AP26 Sent from my Verizon 4G LTE smartphonejoe, -------Original message ------- From: "Wilwerding, Joseph" <Wilwerding.Joseph@epa.gov> Date: 8/18/16 4:54 PM (GMT-06:00) To: Sheryl Garling <sagarling@rdeinc.biz>, "Kinard, Sherrie" <Kinard.Sherrie@epa,gov> Cc: 'Roger Garling' <ragariing@rdeinc.biz>, Toby Wright' <wrightenv@gmail.com> Subject: RE: Radon Flux Proposed Rule - RIN: 2060-AP26 Hi Sheryl, I’ve inquired within EPA HQ, with our program Director here in R8, and with staff here about your request. I have been told that there is no mechanism for us to delay testing requirements, only to waive testing requirements. Under 61.13{h)(1)(iii), the requirement for emission testing can be waived if “the owner or operator of a source has demonstrated by other means to the Administrator's satisfaction that the source is in compliance with the standard.” Can you provide any additional information demonstrating the source is being operated in compliance with the standard? From the historical monitoring results, it appears the source has been fairly close to the 20 pCi/m2-sec limit within the last few years, and is on an upward trend? Thanks, Joe [cid:image003.png@01 D1 F968.CEC4E420] Joseph L Wilwerding US EPA Region 8, Office of Enforcement, Compliance & Environmental Justice 1595 Wynkoop Street, Denver, CO 80202-1129 (303) 312-6729, wiiwerd!ng.joseph@epa.gov<maiito:wilwerding.joseph@epa.gov> From: Sheryl Garling [mailto:sagariing@rdeinc.biz] Sent: Wednesday, August 17, 2016 11:04 AM To: Wilwerding, Joseph <Wilwerding.Joseph@epa.gov>; Kinard, Sherrie <Kinard.Sherrie@epa.gov> Cc: 'Roger Garling’ <ragar!ing@rdeinc.biz>; Toby Wright' <wrightenv@gmail.com> Subject https ://m ai I .googl e.com/mai l/u/0/?ui=2&i k= 36f4379b4d&vi ew=pt&q= shcx^tari ng&qs=true&search= query&m sg= 156ec8fe41 d 1 e2b7&si m I=156ec8fe41 d 1 e2b7 9/29/2016 State of Utah Mail - Radon Flux Proposed Rule - RIN: 2060-AP26 ^T/%/ ^ 7 Radon Flux Proposed Rule - RIN: 2060-AP26 Chad Gilgen <cgilgen@utah.gov> Chad Gilgen <cgilgen@utah.gov> Tue, Sep 6, 2016 at 9:27 AM To: Sheryl Garling <sagarling@rdeinc.biz> Cc: Roger Garling <ragarling@rdeinc.biz>, Toby Wright <WrightEnv@gmail.com> Hi Sheryl, If the schedule change is OK with the ERA, then that works for us. Thank you for continuing to provide updates. I appreciate it. Thanks again, Chad Chad Gilgen | Environmental Scientist | Minor Source Compliance 801.536.4237 (office) Am QUALITY 195 North 1950 West, Salt Lake City, UT 84116 [Quoted text hidden] https://mail.google.com/mail/u/0/?ui=2&ik=36f4379b4d&view=pt&q=shootaring&qs=true&search=query&msg=157001c8aa1332a0&siml=157001c8aa1332a0 1/1 SPECIAL WARRANTY DEED THIS SPECIAL WARRANTY DEED entered into this 27 day of August, 2015 ("Effective Date"), is from Uranium One Americas, Inc., a Nevada corporation, whose address is 907 No. Poplar Street, Suite 260, Casper, Wyoming, 82601 ("Grantor") to Anfield Resources Holding Corp., a Utah corporation, whose address is 3346 W. Guadalupe Rd., Apache Junction, AZ 85120 ("Grantee"). FOR GOOD AND VALUABLE CONSIDERATION, the receipt and sufficiency of which are hereby acknowledged, Grantor hereby conveys and warrants against all who claim by, through, or under Grantor, but not otherwise, to Grantee all of Grantor's right, title, and interest in and to the fee property described on Appendix A attached hereto ("Property"), subject to Permitted Encumbrances (as defined in that certain Asset Purchase Agreement between Grantor and Grantee dated as of August 14, 2014); TOGETHER with all and singular, hereditaments, buildings, improvements, structures, fixtures and appurtenances located on the Property or thereto belonging, or in any way appertaining, and all right, title, interest, claim and demand whatsoever of Grantor, either in law or equity, of, in and to the Property; TO HAVE AND TO HOLD all and singular the Property unto Grantee, its successors, and assigns forever . IN WITNESS WHEREOF, Grantor has executed this Special Warranty Deed as of the Effective Date. URANIUM ONE AMERICAS, INC. , STATE OF ) )ss. COUNTY OF ) The foregoing instrument was acknowledged before me this 27 day of August, 2015, by Gregory Kruse, as Manager, U.S. Operations of Uranium One Americas, Inc., a Nevada corporation, on behalf of the company. WITNESS my hand and official seal. My commi ss ion expires: 2 \2C\ \ 1{, MONICAMARIA'*M H07MYI'UJUC·SOO!CfUIW COMM ISS IONt 6511.1 COMM. EXP. 02·29·20tl 1 I ·· APPENDIX A to SPECIAL WARRANTY DEED FEE PROPERTY Shootaring Mill Township 35 South, Range 11 East, SLB&M Section 33: S/2SW/4SE/4, SE/4SE/4 Section 34: SW/4SW/4, W/2SE/4SW/4 Township 36 South, Range 11 East, SLB&M Section 3: Lot 4 Section 4: Lots 1, 2, N/2S/2NE/4 Located in Garfield County, Utah Consisting of approximately 264.52 Acres B. Patented Mining Claims ' Book/Page of Conveyance into U.S . District State Name County Energy Corp . Lisbon Valley UT Ann San Juan 837/248 Lisbon Valley UT Barcardi San Juan 837/248 Lisbon Valley UT Linda Mujer San Juan 837/248 Lisbon Valley UT MiAima San Juan 837/248 Lisbon Valley UT Mi Amorcita San Juan 837/248 Lisbon Valley UT Mi Vida ( a portion of) San Juan 837/248 Lisbon Valley UT Besame Mucha San Juan 845/522 Lisbon Valley UT Fundadora San Juan 845/522 Lisbon Valley UT Mi Corazon San Juan 845/522 Lisbon Valley UT Mujer Sin Verguenca San Juan 845/522 Lisbon Valley UT Pisco San Juan 845/522 Lisbon Valley UT T eQuiero ( a portion of) San Juan 845/522 Serial# ownership MS 7252 86.27% MS 7251 86.27% MS 7251 86.27% MS 7251 86.27% MS 7251 86 .27% MS 7251 86.27% MS 7251 100.00% MS 7251 100.00% MS 7251 100.00% MS 7251 100.00% MS 7251 100.00% MS 7251 100.00% 1. Survey No. 7251 embraces a pmtion of Sections 2, 10 and 11 in Township 30 south of Range 24 east of the Salt Lake Meridian. 2. Survey No. 7252 embraces a portion of Sections 11 and 14 in Township 30 south of Range . 24 east of the Salt Lake Meridian. 2 3. Includes the herein below, defined portions of the TE QUIERO and MI VIDA patented lode mining claims, Mineral Survey No. 7251, such property being more particularly described as follows: COMMENCING at Corner No.1 of the Pisco lode whence the quarter corner between Sections 2 and 11, Township 30 South, Range 24 East, SLM, bears North 69° 45' East 568.92 feet; thence South 37° 51' East 631.62 feet to Corner No.2 of said Pisco lode; thence South 33° 57' West 138.22 feet to intersect line 4-1 Fundadora lode; thence North 38° 46' East 134.97 feet to Corner No. 1 of said Fundadora lode; thence South 30° 22' East 642.12 feet to Corner No.2 of said Fundadora lode identical with Corner No. 1 of the Te Quiero lode; thence South 22° 30' East 684.24 feet to Corner No. 2 of said Te Quiero lode identical with Corner No. 1 of said Mi Vida lode; thence South 32° 59' East 624.46 feet to Corner No. 2 of said Mi Vida lode; thence South 38° 46' West 100.00 feet along line 2-3 Mi Vida lode common with line 3-4 Linda Mujer lode; thence North 75° 16' West 649.34 feet to intersect line 1-4 Mi Vida lode common with line 2-3 Te Quiero lode;thence North 38° 46' East 103.59 feet along said common line; thence North 74° 58'40" West 241.28 feet; thence South 3° 17' East 329.74 feet to line 1-4 Mi Vida lode common with line 2-3 Te Quiero lode; thence along said common line South 38° 46' West 701.55 feet to Corner No.3 of said Te Quiero lode common with Corner No.4 of said Mi Vida lode; thence North 22° 30' West 684.24 feet to Corner No.4 of said Te Quiero lode common with Corner No.3 ofFundadora lode; thence North 30° 22' West 642.12 feet to Corner No.4 of said Fundadora lode; thence North 38° 46' East 35.26 feet to intersect line 3-4 of said Pisco lode; thence North 37° 51' West 514.09 feet along line 3-4 of said Pisco lode to Corner No.4 of said Pisco lode; thence North 33° 57' East 241.03 feet to Corner No.2 ofBesarne Mucha lode on line 4-1 of said Pisco lode; thence South 89° 36' West 2180.16 feet to Corner No.4 of the Mujer Sin Verguenca lode; thence North 33° 57' East 1500.00 feet to Corner No. 1 of said Mujer Sin Verguenca lode; thence North 89° 36' East 2180.16 feet to Corner No.1 of said Besarne Mucha lode; thence South 33° 57' West 241.03 feet to Corner No. 1 of said Pisco lode, the place of beginning; 3 5/7/24, 9:59 AM State of Utah Mail - Fwd: Name Change for DAQ Permit for Shootaring Canyon Uranium Mill (Site - 14169) https://mail.google.com/mail/u/0/?ik=0900585596&view=pt&search=all&permthid=thread-f:1797439519323692907&simpl=msg-f:17974395193236929…1/2 Katie Andersen <kandersen@utah.gov> Fwd: Name Change for DAQ Permit for Shootaring Canyon Uranium Mill (Site - 14169) 1 message Alan Humpherys <ahumpherys@utah.gov>Fri, Apr 26, 2024 at 4:51 PM To: Katie Andersen <kandersen@utah.gov> Katie, Can you please process this name change? Site ID: 14169 Peer: Christine Thanks, Alan ---------- Forwarded message --------- From: John Howard Eckersley <johneckersley@hey.com> Date: Fri, Apr 26, 2024 at 11:09 AM Subject: Re: Name Change for DAQ Permit for Shootaring Canyon Uranium Mill (Site - 14169) To: <ahumpherys@utah.gov> Cc: Corey Dias <corey_dias@hotmail.com>, Josh Bleak <josh.bleak@gmail.com> Alan, I am resending this because of course, even though you spelled your name for me, I got your name wrong. Regards, John H. Eckersley 480-809-5982 On April 26, 2024, John Howard Eckersley <johneckersley@hey.com> wrote: Alan, Thanks for speaking with me this morning regarding invoice NA3099 (attached) for the 2024 NSR annual fee for the Shootaring Canyon Uranium Mill ("Shootaring") which was issued to Uranium One Americas, Inc. (customer ID VC0000187356) and forwarded to Anfield Resources Holding Corp. (customer ID VC201277). It is not clear why the ownership change for Shootaring has not been reflected in the DAQ system. DAQ has had constructive notice of the ownership change of Shootaring since at least June 21, 2016 (see attached DAQ file). In 2015 Anfield Resources Holding Corp. acquired the Shootaring Canyon Uranium Mill (Site - 4169) from Uranium One Americas Inc. (see Special Warranty Deed attached). On January 29, 2016 the Utah Division of Waste Management and Radiation Control (DWMRC) approved the Transfer of Control for Radioactive Material License (RML) UT0900480 and the Groundwater Quality Discharge Permit UGW170003 from Uranium One Americas Inc. to Anfield Resources Holding Corp. I am attaching a completed Ownership Change/Company Name Change Notification for Anfield. Hopefully I have provided enough backup. Let me know if you need anything else. Regards, 5/7/24, 9:59 AM State of Utah Mail - Fwd: Name Change for DAQ Permit for Shootaring Canyon Uranium Mill (Site - 14169) https://mail.google.com/mail/u/0/?ik=0900585596&view=pt&search=all&permthid=thread-f:1797439519323692907&simpl=msg-f:17974395193236929…2/2 John H. Eckersley 480-809-5982 -- Alan Humpherys Manager | Minor NSR Section P: (385) 306-6520 F: (801) 536-4099 airquality.utah.gov Emails to and from this email address may be considered public records and thus subject to Utah GRAMA requirements.