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Corazon Mining Ltd T.CZN


Primary Symbol: CRZNF

Corazon Mining Limited is an Australia-based mineral resource and exploration company. The Company is an explorer advancing the Lynn Lake Nickel-Copper-Cobalt Sulfide Project in Manitoba, Canada, as well as the Mt Gilmore cobalt-copper-gold (Mt Gilmore) and Miriam nickel Sulfide projects (Miriam) in Australia. The Lynn Lake Nickel-Copper-Cobalt Sulfide Project is a significant Class-1 nickel resource. The Mt Gilmore Project is located 35 kilometers from the city of Grafton in north-eastern New South Wales. The Company owns an 80% interest in Mt Gilmore. Mt Gilmore is focused on multiple rare, cobalt-rich sulfide deposits, similar to Cobalt Ridge. The Miriam comprises five Prospecting License applications (P15/6135 to P15/6139 inclusive) and is located approximately 10 kilometers south-southwest of Coolgardie on an ultramafic trend, which hosts Auroch Minerals’ Miriam and Nepean Nickel Deposits.


OTCPK:CRZNF - Post by User

Bullboard Posts
Post by Lazer65on May 30, 2015 1:11pm
198 Views
Post# 23780981

Review board Adequacy review of DAR

Review board Adequacy review of DARThe following is the cover letter from the review board to CZN a few days ago. As usual CZN seem to drop the ball the first time around and these things go on and on and on ....... Dear Mr. Taylor, Re: Developer’s Assessment Report DAR adequacy review The Mackenzie Valley Environmental Impact Review Board (the Review Board) has completed its adequacy review of Canadian Zinc Corporation’s (CanZinc) Developer’s Assessment Report (DAR) in support of its proposed Prairie Creek all season road and airstrip project. The Review Board has decided that the DAR does not meet the requirements of the Terms of Reference. The attached report documents the specific items in the DAR that do not adequately respond to the Terms of Reference. To move forward, CanZinc must provide appropriate information for all of the items set out in this report. The environmental assessment cannot proceed until this is done. To ensure an efficient review, CanZinc’s response must be in the form of a stand‐alone DAR Adequacy Supplement document. This document must be organized in a way which shows clear correspondence between the relevant sections in the DAR and the listed adequacy concerns . Given the range of additional information required as a result of the adequacy review, Review Board staff are available to discuss anticipated timelines for the completion of this work. They can also provide further detail about the required information to assist CanZinc, if necessary. Appendix B of the adequacy review describes various baselines studies that are needed. The deadline for those studies should be discussed with the Review Board.
Bullboard Posts