Laserfiche WebLink
<br />~; <br /> <br />. <br /> <br />. <br /> <br />VII. Experts. <br /> <br />a~ Mr. Eric Wagner (identified above), to testify <br />about his opinion regarding the ability to export more water from <br />Jackson County in the future (referring to physical ability and <br />availability of water under Nebraska v. Wyoming decision). <br /> <br />VIII. Damages. <br /> <br />Not applicable <br /> <br />IX. Statutes. <br /> <br />C.R.S. ~ 37-92-102(3) and subparagraphs thereunder. <br /> <br />X. Stipulation. <br /> <br />Refer to Undisputed Facts above which should be <br />admitted by the applicant. <br /> <br />XI. At the time of preparing this Trial Data Certificate, the <br />parties had not reasonably explored settlement. Prompted by this <br />Certificate, however, the undersigned attorney will contact the <br />attorney for the Applicant to explore those possibilities so that <br />a report can be given at the time of the Pretrial Conference. <br /> <br />XII. Trial Efficiencies. <br /> <br />This attorney estimates that three days will be required to <br />try this case. No benefit is seen to separate trials of any <br />issues, but it is believed that the Applicant's stipulation to <br />the Undisputed Facts (above) would materially reduce anticipated <br />trial time. <br /> <br />DATED this ::l.~ib day of lJc.c..2.Ato-l><.---- , 1982. <br /> <br />Respectfully Submitted, <br /> <br />FISCHER, BROWN, HUDDLESON & GUNN <br /> <br />BY: <br /> <br />~~~. e~/ <br /> <br />Steven B. Ray, No. 5415 <br />P.O. Drawer J <br />Fort Collins, Colorado 80522 <br />(303) 482-1056 <br /> <br />- 4 - <br />