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d. The Applicant must be held to strict proof that it is complying with the five <br />statutory factors, as listed in Section 37- 92- 102(5), and the sixth factor as explicitly <br />provided in the CWCB's RICD rules. <br />e. The application does not present sufficient information to fully evaluate the <br />extent to which the CWCB's natural lake level water right may be injured. <br />f. The CWCB is unable to determine from the application whether additional <br />grounds for opposition exist, and therefore reserves the right to assert other grounds <br />for opposition as they become known. <br />4. This statement of opposition is continuing in nature and is intended to apply to <br />any and all future amendments to the original application. <br />Dated this 27th day of April, 2006. <br />JOHN W. SUTHERS <br />Attorney General <br />E -filed pursuant to C.R.C.P. 121. Duly signed original on file at <br />the Office of the Attorney General. <br />/s/Snsart Schgeitfer <br />SUSAN SCHNEIDER, <br />Assistant Attorney General <br />Natural Resources and Environment Section <br />Attorneys for CWCB <br />*Counsel of Record <br />AG File: P:`NR \NRFitil II DM \S "FA7EME.NTOFOPPO -SOP Durango (ss) -7.doc <br />2 <br />