Epa Copper Mining
Epa Copper Mining
Epa Copper Mining
1.5
This section describes several of the wastes and materials that are generated and/or managed at copper
extraction and beneficiation operations and the means by which they are managed. As is noted in the
previous section, a variety of wastes and other materials are generated and managed by copper mining
operations.
Some, such as waste rock and tailings, are generally considered to be wastes and are managed as such,
typically in on-site management units. Even these materials, however, may be used for various purposes
(either on- or off-site) in lieu of disposal. Some quantities of waste rock and tailings, for example, may be
used as construction or foundation materials at times during a mine's life. Many other materials that are
generated and/or used at mine sites may only occasionally or periodically be managed as wastes. These
include mine water removed from underground workings or open pits, which usually is recirculated for on-site
use (e.g., as mill/leaching makeup water) but at times can be discharged to surface waters. As another
example, leaching solutions are typically regenerated and reused continuously for extended periods. On
occasion, however, such during temporary or permanent closure, the solutions are disposed as wastes via land
application or other means. Finally, some materials are not considered wastes at all until a particular time in
their life cycles. These include spent ore at dump leaching operations: here, only when active leaching for
copper recovery ends is the spent ore that comprises the dump considered a waste.
The issue of whether a particular material is a waste clearly depends on the specific circumstances
surrounding its generation and management at the time. In addition, some materials that are wastes within the
plain meaning of the word are not "solid wastes" as defined under RCRA and thus are not subject to
regulation under RCRA. These include, for example, mine water or process wastewater that is discharged
pursuant to an NPDES permit. It is emphasized that any questions as to whether a particular material is a
waste at a given time should be directed to the appropriate EPA Regional office.
The first subsection below describes several of the more important wastes (as defined under RCRA or
otherwise) and nonwastes alike, since either can have important implications for environmental performance
of a facility. The next subsection describes the major types of waste units and mine structures that are of
most environmental concern during and after the active life of an operation. Figure 1-16
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Figure 1-16. Schematic of Typical Copper Mining Extraction and Beneficiation Wastestreams
(Source: Modified from U.S. EPA 1985a)
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The subsections below describe many of the wastes and materials generated and managed at copper sites.
Notwithstanding the status of a particular waste or material, it should be noted that a number of
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Wastes and materials that are generated as a result of extraction and beneficiation of copper ore are managed
(treated, stored, or disposed of) in discrete units. For the purposes of this report, waste units are divided into
three groups: (1) waste rock piles or dumps; (2) tailings ponds; and (3) spent ore piles once the leaching
operation ceases in the case of heap leach operations. These units may be exposed to the environment,
presenting the potential for contaminant transport. In addition, mine structures such as pits and underground
workings are described in this section as they may expose constituents to the environment and increase the
potential for transport.
1.5.2.1 RCRA Units
Waste Rock Piles
Waste rock removed from the mine is stored or disposed of in piles onsite. These piles may also be referred
to as mine dumps or waste rock dumps. Often, these units are constructed without liners. Dumps may
generate acid drainage if sulfide minerals, oxygen, and moisture are present in sufficient concentrations, and
if adequate neutralization potential or other controls in the dump itself are not present.
Tailings Impoundments
Tailings impoundments are surface disposal units for tailings generated during flotation. The following
discussion focuses on tailings impoundment design. Slurried tailings may be transported from the mill to the
tailings pond by gravity flow and/or pumping through open conduits or pipes. Tailings slurries (both wet and
thickened) are highly viscous and abrasive. This causes wear during operation of the tailings transport
system. Pipe wear is a significant problem that may be mitigated by the use of rubber-lined steel or HDPE.
In addition, the transport system can become plugged with settling solids if the minimum flow velocity is not
maintained or if provisions are not made for pipe drainage during mill shutdowns. In most cases, water from
the tailings impoundment is recycled to the mill for reuse. The general guidelines detailed below are
applicable to the construction and operation of tailings impoundments.
There are three methods of construction for tailings impoundments: upstream, downstream, and centerline.
Figure 1-17
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ENVIRONMENTAL EFFECTS
Mine pits and underground workings; waste rock piles; tailings and other ponds; spent leach piles are of
particular concern in the copper industry, because these are the areas in which toxic contaminants are most
commonly found. Not all of these are waste management units, but they have the potential to present harm to
the environment and thus, are discussed here. Contaminants associated with these areas may include heavy
metals and, from some, acid drainage. These contaminants may degrade ground water, surface water, soil,
and air quality during mine operation and after mine closure. A discussion of potential environmental effects
associated with copper mining is presented in the following sections, with specific examples included, as
appropriate. Actual release incidents occurring at copper mine sites are described in the Damage Case
Section of this report.
This chapter does not purport to be a comprehensive examination of damage that may occur or that actually
occurred at mining operations. Rather, it is a brief overview of some of the potential problems that can occur
under certain conditions. The extent and magnitude of contamination depends on highly variable site-specific
factors that require a flexible approach to mitigation. EPA is aware that many of the potential problems can
be, and generally are, substantially mitigated or avoided by proper engineering practices, environmental
controls, and regulatory requirements.
1.6.1
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The potential for and impacts of environmental releases from wastes associated with copper mining activities
are a function of many site-specific factors, including climate, geology, hydrogeology, access to and quality of
local surface water, and distance to environmental receptors. Of particular note, many copper mines are
located in scarcely populated, semiarid regions, where contaminant mobility is at least partially limited by
minimal annual precipitation. However, heavy storm events can occur in these areas, which can increase the
potential for releases to surface or ground water.
1.6.3
Affected Media
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Damage Cases
Damages resulting from waste management from mining copper and associated minerals have been
documented. Under the Comprehensive Environmental Response and Liability Act (CERCLA) (Superfund)
and the Clean Water Act (CWA), EPA has documented contamination to ground water, surface water, air,
and soil media.
1.6.4.1 National Priorities List
EPA has reviewed the copper mining sites on the NPL. Four sites on the Superfund NPL have problems
related to copper extraction and beneficiation: the Celtor Chemical Works site in Humboldt County,
California; the Torch Lake site in Houghton County, Michigan; and the Silver Bow Creek and Miltown
Reservoir sites, both associated with the Clark Fork Superfund sites in southwestern Montana. Appendix 1C provides general site descriptions and summaries of the environmental effects associated with these sites.
1.6.4.2 304(l) Sites
Section 304(l) of the Water Quality Act of 1987 requires States to identify bodies of water not meeting
applicable water-quality criteria, to identify point source dischargers to these bodies of water, and to develop
and require implementation of Individual Control Strategies for those point source dischargers that contribute
significantly to exceedance of the water-quality criteria. Anaconda Minerals, Ferri Haggerty Mine, and
Kennecott Utah Copper are sites identified under 304(l) as point source dischargers of contaminants related
to copper mining activities. A summary of each is provided in Appendix 1-D.
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Copper mining activities must meet the requirements of both Federal and State environmental regulations.
Statutes administered by EPA, such as the CWA [33 United States Code (USC) Section 1251 et seq.] and the
Clean Air Act (CAA) (42 USC Section 7401 et seq.), apply to mining sites regardless of their location. The
extent to which other Federal regulations apply depend on whether a mining operation is located on federally
owned land. Federal regulations exist for operations on lands managed by the Bureau of Land Management
(BLM), the Forest Service (FS), the Fish and Wildlife Service (FWS), and the National Park Service (NPS).
In addition, the Army Corps of Engineers has promulgated rules for construction and mining activities that
have a potential impact on wetlands and navigable waters. Finally, operations must comply with a variety of
State requirements, some of which may be more stringent than Federal requirements.
Federal air-quality regulations do not specifically address copper mining, but they do regulate sources of
certain types of air pollution. Federal-water quality regulations, on the other hand, include effluent discharge
standards for specific types of copper operations. Federal land management agencies have regulations that, in
some cases, target particular types of extraction or beneficiation methods (e.g., placer mining turbidity
issues). BLM has a policy for management of mining operations using cyanide and other leaching
techniques. Similarly, State regulations do not usually target specific minerals, but regulate nonfuel mining in
general.
This section summarizes the existing Federal regulations that may apply to copper mining operations. It also
provides an overview of the operational permitting, water-quality, air-quality, waste management,
reclamation, and wetlands protection regulations in the largest copper-producing State, Arizona.
1.7.1
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Daily
Maximum
BAT
30-Day
Average
Daily
Maximum
NSPS
30-Day
Average
Daily
Maximum
30-Day
Average
Mine Drainage (see 40 CFR 440.132 for definition) [40 CFR 440.102(a), 440.103(a), 440.104(a)]
Cadmium
N/A
0.10
0.05
0.10
0.05
Copper
0.30
0.15
0.30
0.15
0.30
0.15
Lead
0.6
0.3
0.6
0.3
0.6
0.3
0.002
0.001
0.002
0.001
0.002
0.001
Zinc
1.5
0.75
1.5
0.75
1.5
0.75
TSS
30
20
30
20
Mercury
pH
N/A
6.0 - 9.0
N/A
6.0 - 9.0
Discharges from mills that employ froth flotation processes alone or in conjunction with other processes to beneficiate copper
ores [40 CFR 440.102(b), 440.103(b), 440.104(b)]
Cadmium
0.10
0.05
0.10
0.05
Copper
0.30
0.15
0.30
0.15
Lead
0.6
0.3
0.6
0.3
0.002
0.001
0.002
0.001
Zinc
1.0
0.5
1.0
0.5
TSS
30
20
Mercury
pH
N/A
6.0 - 9.0
N/A
Process Wastewater from mine areas and mill processes and areas that use dump, heap, in situ, or vat leach processes to
extract copper from ore or ore waste material [40 CFR 440.102(c), 440.103(c), 440.104(c)]:
No discharge is allowed except the volume equal to net precipitation excess (i.e., precipitation on the treatment facility
and surface runoff to the treatment facility minus evaporation). In such cases, the discharge is subject to mine drainage
limits.
Combined waste streams (e.g., mine drainage and froth flotation discharge):
The quantity and concentration of pollutants are calculated as if the waste streams were discharged separately.
Storm exemption:
Regardless of the applicable limitation, if a facility is designed to contain the flow from the 10-year/24-hour storm event plus
normal process wastewater, then discharges resulting from precipitation are allowed to take place, even if they do not meet the
limitations or if they otherwise violate 40 CFR Part 440, provided that the facility takes reasonable steps to maintain treatment,
minimizes the amount of overflow, and notifies EPA/State under "bypass" and "upset" provisions (see 40 CFR 440.131 for the
exact conditions under which discharges are allowed).
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Department of Agriculture
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Under Section 404 of CWA, the U.S. Army Corps of Engineers regulates activities with the potential to
physically restructure wetlands or "navigable waters." In 1986, the Corps and EPA entered into an agreement
(updated in 1990) on the definition of "fill material" for Section 404 permitting. The agreement provided that
jurisdiction of some mining discharges would be determined on a case-by-case basis. Since then, the Corps
has been responsible only for dredge and fill activities accessory to mining operations. These activities can
include construction of sediment ponds and roads and placement of waste materials into "waters of the U.S."
(which can include ephemeral drainages). Mining operations subject to Section 404 are generally regulated
through Nationwide general permits issued by the Corps.
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State Programs
1.7.5.1 Arizona
Arizona's optimal system presented in the Best Available Demonstrated Control Technology (BADCT) Draft
guidance is described below for each type of mining unit. It is important to note that, besides the optimal
technologies, the Arizona BADCT Draft guidance also presents several other less-protective options for each
technology described. In addition, the BADCT Draft guidance presents alternative systems that may be
considered as optimal under the specific conditions described for each scenario. These alternative systems
may be substituted if justified by site-specific conditions. Finally, optimal BADCT recommendations only
represent guidelines, and the specific design for each site is to be based on:
Site suitability
Extent to which site characteristics can function to control discharges
Discharge control performance of other design elements
Chemical characteristics of the discharge.
Arizona Optimal Waste Dump Disposal Technology
As previously stated, only "mining overburden returned to the excavation site, including any common
material which has been excavated and removed from the excavation site and has not been subjected to any
chemical or leaching agent or process of any kind" is exempt from BADCT requirements (Arizona Revised
Statutes 49-250.B.5). However, no specific BADCT recommendations are stipulated for waste rock dumps
in the Arizona BADCT Draft guidance.
Arizona Optimal Leach Dump Disposal Technology
The key minimal BADCT components in copper leaching operations are those design elements that address
natural subgrade bases and surface-water run-off controls. The optimal technologies for these design
elements are similar to those applicable to tailings ponds and heap leach units.
Arizona Optimal In Situ Disposal Technology
Control of the leach solution is the primary consideration. Ground water modelling and pilot-scale testing;
controlled recovery of PLS by overpumping; proper grouting of abandoned exploration, injection, and
recovery wells; and aquifer restoration are the key BADCT design components for in situ leaching operation
design.
Arizona Optimal Tailings Disposal Technology
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REFERENCES
American Conference of Governmental Industrial Hygienists. 1989. Threshold Limit Values and
Biological Exposure Indices for 1988-1989. Cincinnati, Ohio. Second Printing.
American Mining Congress Journal. 1991 (February). "Phelps Dodge Discovers Arizona Copper Deposit."
p. 16.
Anaconda Minerals Corporation. 1987 (September). Mill Creek RI/FS, Final Remedial Investigation
Report, Mill Creek, Montana, Anaconda Smelter Superfund Site, First Operable Unit. Document
prepared for U.S. Environmental Protection Agency.
Arizona BADCT Guidance Document for the Mining Category, Draft Guidance Document. 1990. Arizona
Revised Statute 49-243 B.1., For Permitted Facilities Utilizing BADCT.
Armburst, J., 1988a (December). "Blasting and Dewatering a Drop Art at Morenci Open Pit." Mining
Engineering. p. 1107.
ASARCO. 1991 (February 4). Ray Unit Tailing Impoundment Alternative Analysis. Appendix 11.19.
Submitted to EPA Water Management Division Region IX Wetlands Program.
Bagdad Copper Corporation. Undated. Liquid Ion Exchange and Electrowinning Plant. Bagdad, Arizona.
Banghart, R.W. 1988 (April 14). Winning Copper With Sulfuric Acid - Ray Arizona. Staff ASARCO Ray
Unit, The Sulfur Institute. Washington, DC.
Beard, R.R. 1990 (October). The Primary Copper Industry of Arizona in 1989. State of Arizona
Department of Mines and Mineral Resources, Special Report No. 16.
"Berkeley Study". 1985 (June 13). Mining Waste Study Final Report. Prepared by the University of
California at Berkeley, July 1, 1988.
Betchel Civil and Minerals, Inc. 1981 (July). Chase Creek Drainage Study Phase II, Engineering Feasibility
Report (Draft). Prepared for Phelps Dodge Corporation, Morenci Branch.
Biswas, A.K., and W.G. Davenport. 1976. Extractive Metallurgy of Copper. Pergamon International
Library, International Series on Materials Science and Technology, Vol. 20, Chapter 2.
Builder Architect/Contractor Engineer. 1981 (April). Phelps Dodge Corporation: One Hundred Years of
Progress.
Business Wire Inc, Business Editors. 1989 (August 3). "Phelps Dodge Corporation Announces $112
Million Project."
Crozier, F.D. 1979 (February). "Flotation Reagent Practice in Primary and By-product Moly Recovery."
Mining Magazine. p. 1.
Cumming, A.B. (Chairman of Editorial Board). 1973. SME Mining Engineering Handbook. Society of
Mining Engineers, AIME. New York, New York.
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APPENDIX 1-A
SUMMARY OF COMMENTS AND EPA RESPONSES
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A draft of the Industry Profile: Copper was provided for review and comment to the following
organizations: U.S. Department of the Interior (DOI) Bureau of Mines, the Western Governors' Association,
the Interstate Mining Compact Commission, the American Mining Congress (AMC), and environmental
organizations for their review and comment. A large number of comments were submitted to the U.S.
Environmental Protection Agency (EPA) by the following 10 reviewers: U.S. DOI Bureau of Mines and
Bureau of Land Management; Arizona Department of Environmental Quality (ADEQ); State of New Mexico
Energy, Minerals, and Natural Resources; State of Utah Department of Natural Resources, Division of Oil,
Gas, and Mining; ASARCO Incorporated; Cyprus Minerals Company; Kennecott Corporation; Magma
Copper Company; and Phelps Dodge Corporation. The comments included technical and editorial changes,
as well as comments on the scope of the profile and how it relates to authorities provided under the Resource
Conservation and Recovery Act (RCRA) Subtitle D.
Because several general concerns were raised by a number of commenters, EPA has grouped the comments
into two categories. The first includes five general concerns that were raised by all commenters. These are
addressed in the first section below. The second category of comments includes technical comments on this
profile, which were raised by specific reviewers, rather than the group as a whole. These are addressed in the
second section below. All other comments, including minor technical and marginal notes, have been
incorporated into the revised profile; EPA believes these comments have served to improve the document's
accuracy and clarity. EPA would like to thank all the agencies, companies, and individuals for their time and
effort spent reviewing and preparing comments on the profile.
General Issues Pertaining to All Profiles
1.
Comment: Several commenters objected to the use of hypothetical phrases like "may cause" or "may
occur." Their use was characterized as misleading and inappropriate in describing environmental
impacts in an industry profile of this type.
Response: EPA believes that the descriptions of conditions and impacts that may occur regarding
potential effects is appropriate in many cases, since the intent of the relevant sections of the profiles
is to describe potential impacts that may occur as a result of extracting and beneficiating ores and
minerals. As noted in the responses to related comments below, EPA has extensively revised the
sections of the profiles addressing environmental effects. They are now more focused and direct;
they describe, in general terms, a number of specific types of impacts that can occur under particular
conditions or in particular environments.
2.
Comment: A related issue raised by commenters was that EPA did not balance the profiles by
describing environmental protection practices currently followed by the mining industry. Instead, the
commenters were critical that EPA selected the worst sites to describe, which represent only a small
number of mines.
Response: EPA believes the profile (and related site reports) represents current environmental
management practices as described in the current literature. EPA discusses current waste
management practices in specific site visit reports, which are part of the Copper Technical Report.
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Comment: Reviewers were concerned that the sites described in the discussion of environmental
effects were under some other regulatory authority [e.g., the Comprehensive Environmental
Response, Compensation, and Liability Act (CERCLA)].
Response: As noted above, the relevant sections of the profiles have been revised extensively.
However, EPA believes that, with proper qualification, sites under other regulatory authorities,
including CERCLA, are relevant to any examination of actual or potential environmental effects.
4.
Comment: Commenters were concerned that the profiles considered materials other than those
considered "wastes" under RCRA.
Response: EPA believes it is proper to consider in the profile both wastes and materials that have
the potential to pose risks to human health and the environment.
5.
Comment: Many commenters recommended that the mitigating measures used to control potential
environmental impacts be discussed.
Response: As noted above, EPA has revised the relevant sections of the profiles, including the
addition of language that emphasizes the site-specific nature of potential environmental impacts.
The regulatory section of the Profile discusses permit requirements, which often establish specific
mitigation requirements.
Comment: The details of the flowsheet in Section 1.4 are out of date.
Response: Information for the Profile was assembled from publicly available information. A generic
copper flowsheet showing extraction and beneficiation was not located for this draft.
7.
Comment: Expand discussion of State regulations by including more information and expanding the
number of States covered.
Response: As noted in the text, EPA has described regulations in the Nation's largest copperproducing State. The description of Arizona regulations has been revised to reflect Arizona DEQ
comments.
8.
Comment: In the section on the Ray mine (Appendix B), it was requested that the discussion
pertaining to settlement cracks in tailings disposal ponds be deleted.
Response: The company did not explain their rationale for this request. Consequently the brief
discussion regarding the tailings dam remains in the current text.
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APPENDIX 1-B
CASE STUDIES OF PUBLISHED INFORMATION ON
MINE WASTE MANAGEMENT PRACTICES AT COPPER MINES
1. Kennecott Utah Copper; Bingham Canyon Mine; Salt Lake County, Utah
2. ASARCO Inc.; Ray Complex; Pinal County, Arizona
3. Cyprus Sierrita Corporation; Sierrita Mine; Pima County, Arizona
4. Cyprus Bagdad Copper Company; Bagdad Mine; Yavapai County, Arizona
5. Magma Copper Company, Pinto Valley Mining Division
6. Cyprus Miami Mining Corporation, Cyprus Miami Mine and Smelter, Gila County,
Arizona
7. ASARCO Inc.; Mission Mine; Pima County, Arizona
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Copperton
North
54/74 Gyratory
Secondary Crusher
--
Tertiary Crusher
--
3 7-foot shortheads
54 3,000 (ft3)
16 1,000 ft3
14 500 ft3
20 1,500 ft3
14 500 ft3
22
--
3 400-foot' tailings
1 200-foot conc.
2 180-foot conc.
1 200-foot clarifier
2 75-foot conc.
Primary Crusher
Ball Mills
Mechanical Flotation Cells
Lbs/Ton-Ore
Copper Circuit
Lbs/Ton-Conc.
Molybdenite Circuit
Lime
1.2
2.0
Collector
0.024
--
Sodium Cyanide
0.003
--
Frother (Alcohol)
0.048
--
Fuel Oil
0.026
0.28
Sodium Hydrosulfide
--
6.8
Sodium Silicate
--
0.65
Flocculent
0.02
--
1-104
1-105
1-106
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<200
5,800
1.24
0.75
Thallium
Zinc
Cyanide
Phenol
<100
Silver
3,000
Lead
100
100,000
Copper
Selenium
12,000
Chromium
9,900
<25
Cadmium
Nickel
150
Beryllium
2.0
5,000
Arsenic
Mercury
<500
Arthur Tailings
3/13-3/19/78
(in g/l)
Antimony
Substance
(Total)
0.325
0.10
3,600
<200
<100
200
5,700
1.0
2,500
95,000
6,900
<25
80
5,000
<500
Magna Tailings
3/20-2/26/78
(in g/l)
0.200
0.60
<20
<100
<20
10
20
0.8
<20
260
20
<5
<5
100
100
Tailings Pond
Recycle
3/20-3/26/78
(in g/l)
0.006
<0.02
500
<100
<20
50
<20
__________
400
8,000
80
<5
<5
400
<100
Treatment Plant
Influent
3/20-3/26/78
(in g/l)
Concentration By Sites/Date
0.025
0.08
30
<100
<20
10
70
0.7
<20
60
30
<5
<5
30
<100
Treatment Plant
Effluent
3/20-3/26/78
(in g/l)
---
.2
5,000
1-2
50
50
100
_________
1,300
100
50
100-50
Waterquality
Standards
(in g/l)
Table 1-8.
Table 1-10. Summary Data Sheet for the Kennecott Copper Company - Bingham Canyon
Mine Tailings Pond Analysis
Summary Data Sheet for the Kennecott Copper Company - Bingham Canyon Mine Tailings Pond Analysis
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Reagent Name
Potassium amyl xanthate
0.02
0.0002
Petroleum hydrocarbons
0.004
MIBC
0.08
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Cyprus Miami Mining Corporation, Cyprus Miami Mine and Smelter, Gila County, Arizona
The site is located 6 miles west of Globe, Arizona, between the towns of Claypool and Miami. The
Inspiration operations consist of open-pit copper mines (formerly called Inspiration mines); leach dumps; a
24,000-tpd concentrator that is on stand-by status; an SX/EW plant; a 450,000-tpy electric furnace smelter
and associated acid plant; an electrolytic refinery; and a 135,000-tpy rod plant (Beard 1990). The operations
stretch from the Lower Oxide mine to the confluence of Miami wash, Bloody Tanks wash, and Russell gulch;
a distance of over 7 miles. The Inspiration operations are part of a larger mining district near the Towns of
Miami and Globe that includes Pinto Valley Copper Company's Oxide mine operations and Old Ranchers
Exploration Bluebird mine (U.S. EPA 1987).
The site operation, a mine for leach operation, produces 110,000 short tpy of cathode copper, copper rod, and
blister copper (U.S. DOI, Bureau of Mines 1992). The operation originally consisted of a fully integrated
facility with mine, mill, concentrator, leach plant, and smelter (Weiss 1985). However, the pits are now only
used as holding ponds for leaching solutions; the concentrator and tailings disposal ponds have been shut
down since 1986 (U.S. EPA 1987; U.S. DOI, Bureau of Mines 1990a). Only leaching of oxide ore continues
today (except for processing units).
The site and the larger mining district of which it is a part are extremely complex. There are numerous
interrelated units under different ownership. Many changes in ownership and operational status have
occurred, resulting in numerous inconsistencies among the available references.
Extraction
Mining
The mine was an underground block-caving operation, which was converted into two open-pit mines in 1948.
During the active mining period, material was mined from several pits at the Inspiration site, including upper
and lower Oxide pits, Barney north pit, Red Hill pit, Live Oak pit, Bluebird pit, Thorton pit, and Joe Bush pit
(U.S. EPA 1987). Of these, only the Bluebird pit is active. The Bluebird pit was acquired from Ranchers
Exploration and Development Corporation in July 1984. Approximately 80,000 tpd of ore is being mined at
the Bluebird pit. The Live Oak pit is being dewatered (U.S. EPA 1989e).
The ore occurs as a complex mixture of disseminated chalcocite or oxidized copper minerals in an alteration
zone surrounding the monzonite porphyry intrusive (U.S. DOI, Bureau of Mines 1965a). The ore was mined
at a rate of 50,000 tpd with electric shovels and hauled by truck to primary crushers and waste dumps (Beard
1990).
The mine produced approximately 11 million tpy of waste rock, totaling 391 million tons for the life of the
mine. This material was placed in dumps at the edge of the pit for permanent disposal. Figure 1-23
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Figure 1-23. Locations of Cyprus Miami Mine and Smelter Waste Dumps
(Source: U.S. DOI, Bureau of Mines 1990)
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Eleven surface-water-holding reservoirs: Nos. 19, 27, 28, 33, and 35; C; Live Oak; Barney canyon;
Bohme ranch; on-pond collecting; and Davis canyon
Eleven ponds: 001 NPDES; 003 NPDES; 004 NPDES; No. 4 decant; No. 5 decant; Main sewage
disposal; Ellison; aqueous feed; raffinate; acid sump; and LP discard evaporation
Seven water-holding pits: lower Oxide; upper Oxide; Bluebird; Live Oak; Thorton; Barney north;
and Honeyman overflow basin (U.S. EPA 1987).
1-151
1-152
Figure 1-25. Reservoirs and Impoundments at Cyprus Miami Mine and Smelter Operations
(Source: U.S. EPA 1987)
1-153
1-154
1-155
1-156
1-157
1-158
Reagents
Lime
2.0
Pine oil
0.01
0.007
Dithiophosphate
0.006
MIBC
0.05
1-159
1-160
1-161
APPENDIX 1-C
NPL SITE SUMMARIES RELATED TO COPPER MINING ACTIVITIES
1-162
1-163
1-164
1-165
1-166
1-167
1-168
APPENDIX 1-D
304(l) SITE SUMMARIES RELATED TO COPPER MINING ACTIVITIES
1. Anaconda Minerals
2. Ferri Haggerty Mine
3. Kennecott-Utah Copper Division
1-169
1-170
APPENDIX 1-E
ACRONYM LIST
1-171
AAC
AEQA
AMD
amps/m
ANFO
AOC
APP
ARCO
ATSDR
AWQCFAL
AZMMR
BADCT
BMP
CAM
CDC
CERCLA
CFR
cm/s
cm
CMP
CWA
DEQ
DWS
EP
FIT
ft/sec
g/l
gpm
gpm/ft2
GPR
HDPE
ICS
IJC
in/ft
IPCC
km3
l/m2
lbs
LC50
LD50
m3
MCL
MDNR
MDPH
mg/kg
mg/l
MGD
1-172
MIBC
ml
mm
mph
MSHA
MTU
MWD
MWHP
NIPDWS
NOD
NPDES
NPL
NPSP
PCB
PD
PDWS
PLS
ppm
PVC
RAP
RCRA
RI/FS
RI
ROD
RPM
SAIC
SIC
SMCL
SME
STEL
SX/EW
TAT
TCE
TCLP
TDS
tpd
tph
tpy
TSP
TTLC
TWA
USBM
USC
U.S. EPA
USGS
3
1-173