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designed for world class expert paddlers to use water atl00NcA.The question is where <br />in the middle o[ that spectrum in(he justifiable line to be druvvo." W. Themcru(ns <br />provide fibdberinDruiadoo to determine where iu the middle ofthu1 spectrum the 8]CD <br />claim obooid be to constitute the minimum stream flow for m reasonable recreation <br />experience. For example, the rules require that the applicant specify each reu,no1}nnal <br />opportunity sought at each requested flow amount, and describe why the flow is the <br />ouiuinnuru amount for the desired reasonable recreational experience. By requesting this <br />information, hovvovcr, itia not the intent ufthe board to either second guess the propriety <br />of the applicant's choice of recreational experience for which flows are sought or to <br />dictate n pohioo|mx flow rn1c for that experience. <br />d. Tile changes to Rule 7(Nare based outhe need to analyze the impacts associated <br />with construction and deVioonfRICD structures. These factors. inparticular, are based <br />on Mondn]uioengineecing` engineering ' principles, hydraulics, boating principles oud <br />existing ' laws orrules. bmucx Such as the slope, length, width and depth of the stream <br />reach, the water velocity and the effects oo the Ooodp(miu all relate to whether the <br />applicant chose an appropriate reach of strearn and must be considered in analyzing that <br />factor. The changes tm Rule 7(e) are premised upon cxye,ioocca gained by the board to <br />date in the adjudication nf the DlCIJ cuaca. <br />7. It is important to note that the definition of}l{Cl] must be applied whenever that <br />term appears io rule oc statute. Although these rules may use abbreviated or modified <br />versions of this definition for brevity m clarity, this will not mean that the definition has <br />changed in any way from the full definition. <br />