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<br /> <br />loaned water" is not sufficient. The applicant should be required to submit historical <br />diversion information, and a detailed analysis of the historic consumptive use. with <br />background data supporting the analysis, In addition, UAWCD suggests a rule that <br />requires the applicant to submit proof of legal use within the last two years. to avoid the <br />possibility of reviving water rights that have not historically been used, <br /> <br />8, The CWCB should include in its rule amendments a requirement that the <br />CWeB make a determination that the loaned water is necessary to preserve the <br />environment to a reasonable degree, as required by C.R.S, ~ 37-92-102(3). <br /> <br />Dated: February 5,2004, <br /> <br />MacDougall, Wold ridge & Worley, P,C, <br /> <br />By: ~ U' LDu-..-~ J<1~G,8 -k <br />Julianne M.ONoldridge. #1 772 <br />530 Communication Circle. Suite 204 <br />Colorado Springs, CO 80905 <br />(719) 520-9288 <br /> <br />Attorneys for UAWCD <br /> <br />13972-63C j:\UAWCD\CWCB comments <br />