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<br />applicant in 1990. <br /> <br />26. Matenals reviewed for the initial decision concerning an application for a new permit <br />submitted by the applicant in 1995. <br /> <br />27. All required reports and news letters provided by the permit operator during or after <br />operation of the Program in the original permit year and all subsequent renewal years. <br /> <br />28. Letter dated May 9, 1995 from Keith Lebbin, Manager of the Western Kansas <br />Groundwater District No. 1 regarding the cost of crop insurance for wheat in eastern <br />Colorado and western Kansas. <br /> <br />29. Letter dated May 17, 1995 from Stephen A Hurst, Director of the Kansas Water <br />Office, in support of the 1995 project. <br /> <br />30. Written comments from boards of county commissioners and citizens expressing an <br />interest in last year's application including but not limited to: <br /> <br />Cardon G. Berry, Kiowa County <br />Burl Scherler, Farmer <br /> <br />June 12, 1995 <br />June 16, 1995 <br /> <br />31. Letters dated May 15,1995 and May 17, 1995 from Bruce A. Boe, Director of the <br />North Dakota Atmospheric Resource Board concerning the overflight distance and <br />risks of producing hail. <br /> <br />, <br /> <br />32. Proceedings from a conference on "Hail Damage Mitigation and Hail Science," held <br />at Bismark, North Dakota, March 19-20, 1996, with particular attention to sessions <br />about the North Dakota Cloud Modification Program and Operational Hail <br />Suppression in North Dakota. <br /> <br />33. Colorado Weather Modification Act of1972, Article 20, Title 36, CRS, as amended. <br /> <br />34. Colorado Weather Modification Rules and Regulations dated August 1, 1986,2 CCR <br />401-1. <br /> <br />FINDINGS <br /> <br />1. An application for a weather modification permit has been properly made by the <br />Western Kansas Groundwater Management District NO.1 ("the District") of Scott <br />City, Kansas. <br /> <br />2. The proposed operational plan for the project submitted by the applicant meets the <br />requirements of 9 36-20-112(1)(d), CRS. <br /> <br />4 <br />