Falco Resources Ltd. (TSX.V: FPC) (“
Falco” or the
“
Company”) announces today that it has received a
letter from the Direction de l’évaluation environnementale des
projets industriels et minières, at the Ministère de
l’Environnement, de la Lutte contre les changements climatiques, de
la Faune et des Parcs (the “
Ministry”) regarding
the Horne 5 Project (the “
Project”).
This letter includes observations regarding the
application of section 197 of the Clean Air Regulations
(“CAR”), and identifies certain issues related to
the Project further to the analysis of the environmental
acceptability of the Project. A comprehensive list of comments,
questions and requests for additional technical studies is also
attached to the letter.
Air Quality in
Rouyn-Noranda
The letter sets forth the Ministry’s position
regarding its interpretation of section 197 of the CAR to the
effect that the atmospheric dispersion modeling filed by Falco does
not conform to section 197 of the CAR. The Ministry considers that
according to this modeling, the Project would increase the
contaminant concentration in the air of Rouyn-Noranda.
As previously disclosed by Falco, section 197 of
the CAR stipulates that a project cannot be authorized if it is
likely to add contaminants to the air, the concentration of which
is already higher than the standards in force.
Currently, arsenic and other metals are present
in the ambient air of Rouyn-Noranda at concentrations presumably
higher than the standards in force. As previously disclosed by
Falco, increased public and government attention to air quality in
Rouyn-Noranda have already delayed and impacted the environmental
authorization process for the Project.
The results of the modeling of the projected
atmospheric emissions of the Project, carried out by a firm of
seasoned experts and in accordance with the Ministry guidelines,
demonstrated a maximum contribution more than 2,000 times lower
than the standard for arsenic and similar results for other metals.
Falco is of the opinion that the result of this modeling for excess
metals is zero when this result is rounded to a number with the
same precision as the limit value provided for in Appendix K of the
CAR. Thus, the maximum contribution for arsenic (standard of
0.003 μg/m3) modeled at 0.00000127 μg/m3 should be expressed
as 0.000 μg/m3 and should be considered as resulting in no increase
in the concentration in the atmosphere. The contribution of the
Project to atmospheric emissions would therefore be compliant with
section 197 of the CAR.
The position taken by the Ministry requires that
Falco performs an atmospheric dispersion model demonstrating a
contribution of nil (0.000∞) for metals already in exceedance in
the ambient air in order to conclude that the Project is compliant,
which is scientifically impossible. The Ministry will not recognize
the fact that the Project results in a negative mass balance.
The Ministry maintains its strict interpretation
despite the submissions and arguments presented again recently by
Falco. This strict interpretation therefore means that no
industrial or other project emitting contaminants already in
exceedance in the ambient air could be developed in Rouyn-Noranda
in compliance with section 197 of the CAR. This reasoning would
also apply to the development of any project in other regions of
Québec where contaminants in the ambient air are already in
exceedance.
The BAPE report published on January 7, 2025,
concludes that the strict interpretation of section 197 of the CAR
promoted by the Ministry makes it difficult to envisage the
Project's compliance with this regulation, and recommended that the
Ministry initiate a reflection with respect to a more complete and
adapted integration of environmental impacts and the consideration
of the mass balance of emissions.
All in all, Falco has invested over $150 million
in the Project since its inception, including for technical studies
and other expenses, the school expansion and multipurpose athletic
fields and other diverse initiatives relating to the social
acceptability of the Project.
Project highlights include:
- State-of-the-art
mining operations
- Use and
rehabilitation of already disturbed sites (Quemont and Norbec)
- Economic
benefits and job creation (900 construction jobs and 500 operations
jobs)
- Recovery of
critical and strategic minerals and contribution to the energy
transition and decarbonization of the economy
Issues
As previously communicated, Falco welcomed with
interest the BAPE report in which the commission of inquiry submits
to the attention of the relevant decision-making bodies various
elements that require commitments, actions or modifications, which
are necessary for the issuance of government authorizations. Falco
summarized its main findings in a summary of the highlights
available on its website.
In its latest correspondence, the Ministry
reminded Falco that in addition to compliance with section 197 of
the CAR, the Project involves other major issues that could
compromise its environmental acceptability, including the
preservation of surface and groundwater quality, the impact of the
choice of location of the mine tailings management facilities, the
potential impacts of the drawdown of the water table on soil
subsidence and the possible impact of the project on the radiation
oncology centre located near the mining complex. The correspondence
adds that, in this context, the Ministry asks Falco to indicate its
intentions regarding the continuation of the environmental impact
assessment and review process of the Project.
List of Additional Comments and
Questions
The correspondence received by Falco also
includes several additional questions and comments from the
Ministry, requiring numerous supplemental technical studies despite
the fact that some of these questions relate to new elements which
had not been previously raised to Falco in the past six years, and
that the acceptability of the environmental impact study had been
confirmed. The correspondence reveals an approach where the
Ministry continues to increase its demands through the process by
requiring technical and other documents and studies that have
either already been provided, are not reasonably necessary to
conclude on the issues analyzed at this stage of the Project or
which completion would generate very significant costs and delays
for Falco without certainty of results.
Management Reactions and Next
Steps
Luc Lessard, President and Chief Executive
Officer of Falco, commented: “Falco presented to the Québec
governmental authorities a promising mining development project for
the city of Rouyn-Noranda, the Abitibi-Témiscamingue region and
Québec. Falco completed technical and environmental studies on all
the subjects required by the Ministry prior to the BAPE process,
including air quality and groundwater management, in collaboration
with seasoned experts in the various sectors concerned. The Project
was structured in a way to preserve the quality of life of the
citizens of Rouyn-Noranda and ensure that the contribution of the
Project to the ambient air does not pose a risk to their health.
The population of Rouyn-Noranda significantly supports the Project,
as demonstrated by the numerous briefs and testimonies submitted to
the BAPE.
In the current context of increasing
protectionism in the United States, the Government of Québec must
respond by reducing administrative obstacles to regional and
provincial economic development and job creation. Falco is
disappointed by the limited collaboration from the Ministry and the
government to develop this collective wealth. Far from being
constructive, this approach creates an unpredictable business
climate and imposes undue delays.”
Falco is evaluating with its advisors the
alternatives available to it and will provide an update when
developments warrant it or when required by applicable securities
laws. There is no certainty or guarantee that the Ministry will
change its position regarding the application of section 197 of the
CAR to the Project, that Falco will be able to respond to the
Ministry’s numerous additional requests in a timely manner or that
Falco will be able to raise the funds necessary to pursue the
additional studies requested by the Ministry, which could
significantly delay or prevent the granting of the required
authorizations and therefore have an adverse impact on the
development of the Project and on Falco’s financial position.
The Company will not provide additional comments
at this time and will not grant interviews.
About Falco
Falco Resources is one of the largest holders of
mining titles in the province of Quebec, with a large portfolio of
properties in the Abitibi greenstone belt. Falco holds rights to
approximately 67,000 hectares of land in the Noranda Mining Camp,
representing 67% of the entire camp and including 13 former gold
and base metals mining sites. Falco’s principal asset is the Horne
5 project located beneath the former Horne mine, which was operated
by Noranda from 1927 to 1976 and produced 11.6 million ounces of
gold and 2.5 billion pounds of copper. Osisko Development Corp. is
Falco’s largest shareholder with a 16.0% interest in the
Company.
For further information, please
contact:
Luc LessardPresident and Chief Executive
Officer514 261-3336info@falcores.com
Neither TSX Venture Exchange nor its Regulation
Services Provider (as that term is defined in the policies of the
TSX Venture Exchange) accepts responsibility for the adequacy or
accuracy of this release.
Cautionary Note Regarding
Forward-Looking Statements
This press release contains forward-looking
statements and forward-looking information (collectively,
“forward-looking statements”) within the meaning
of applicable securities laws. These statements include references
to the impact of the Horne 5 Project on air quality in
Rouyn-Noranda, the Ministry’s interpretation of section 197 of the
CAR, the issues identified in the course of the BAPE process and
noted by the Ministry, Falco’s assessment of the alternatives
available to it, the development of the Horne 5 Project and the
granting of environmental authorizations. These statements are
based on information currently available to the Company and the
Company provides no assurance that actual results will meet
management's expectations. The occurrence of such events or the
realization of such statements is subject to a number of risk
factors, including, without limitation, the risk factors identified
in Falco's annual management's discussion and analysis and in other
continuous disclosure documents available at www.sedarplus.com.
Although Falco believes that the assumptions and
factors used in preparing the forward-looking statements are
reasonable, undue reliance should not be placed on these
statements, which only apply as of the date of this press release,
and no assurance can be given that such events will occur in the
disclosed time frames or at all. Except as required by applicable
law, Falco disclaims any intention or obligation to update or
revise any forward-looking statements, whether as a result of new
information.
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