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COLORADO WATER CONSERVATION BOARD <br />1313 Sherman Street, Suite 721 <br />Denver, CO 80203 <br />303/866-3441 <br />IN THE MATTER OF THE APPLICATION OF THE CITY OF <br />STEAMBOAT SPRINGS FOR A RECREATIONAL IN-CHANNEL <br />DIVERSION <br />IN ROUTT COUNTY, COLORADO <br />Robert G. Weiss, No. 8521 <br />Weiss and Van Scoyk, LLP Case No. 6-03CW86 <br />600 So. Lincoln, Suite 202 <br />Steamboat Springs, CO 80487 <br />Telephone: 970/879-605 3 <br />Fax: 970/879-6058 <br />E-mail: bweiss@wvsc.com <br />APPLICATION FOR PARTY STATUS <br />CoMES Now the Town of Yampa, Colorado, a Colorado statutory municipality, by and through <br />its counsel Robert G. Weiss of Weiss and Van Scoyk, LLP, and pursuant to Rule 10 of the <br />Recreational In-Channel Diversion rules as adopted by the Colorado Water Conservation Board <br />on November 8, 2001, files this Application for Party Status, and as grounds therefor, states the <br />following: <br />1. Name and Address of Applicant <br />Town of Yampa <br />P.O. Box 224 <br />Yampa, CO 80483 <br />2. Brief Statement of Reasons Why the Applicant is Seeking Party Status: <br />The Town of Yampa ("Town") is a statutory municipality which owns and operates a <br />municipal water system and owns water rights in the Upper Yampa Basin upstream from <br />the proposed Recreational In-Channel Diversion filed by the City of Steamboat ("City <br />RICD"). If granted in the quantities requested, the City RICD will significantly and <br />adversely impact the ability of the Town to change its existing water rights and to finance <br />and develop future water projects for the benefit of the citizens of the Town. <br />RESPECTFULLY SUBMITTED this 18th day of February 2004. <br />S and <br />By: <br />Attorneys for <br />LLP <br />7t8521 \1 <br />Town of Yampa