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7. The CWCB shall continue to receive copies of all pleadings in this case so <br />as to ensure compliance with the provisions of this Stipulation. <br />8. The Stipulation shall be binding on the parties, their successors and <br />assigns. <br />9. Each Party shall bear its own costs and attorney's fees. <br />10. The District shall file this Stipulation with the Water Court and may <br />request an Order from the Court approving that Stipulation. This Stipulation shall be <br />enforceable as an agreement between the Parties and, upon Court approval, as an Order <br />of the Court. <br />Dated this 31" day of August 2009. <br />JOHN W. SUTHERs, ATTORNEY GENERAL WEISS AND VAN SCOYK, LLP <br />BALCOMB & GREEN, P.C. <br />By: Isl John 1. Cyran BY: Isl Scott A. Grosscup <br />John J. Cyran, # David C. Hallford, #10510 <br />First Assistant Attorney General Scott A. Grosscup, #35871 <br />1525 Sherman Street, 7 1h Floor P. 0. Drawer 790 <br />Denver, CO 80203 Glenwood Springs, CO 81602 <br />Attorneys for Opposer <br />Colorado Water Conservation Board <br />Attorneys for Applicant <br />Upper Yampa Water Conservancy District <br />4 <br />07CW61 AND 07CW72 (W.D. 6) <br />STIPULATION AND AGREEMENT <br />CWCB <br />