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<br />2. Applicant, CWCB, acknowledges that Mr. Guercio has a decreed water right in <br />Jasper Reservoir that is senior to the water rights applied for in Case Nos. 95CW257, 95CW259, and <br />95CW260 and that the historic depletion of Jasper Reservoir has been 324 acre-feet per year. <br /> <br />3. Mr. Guercio shall remain on the mailing list in these matters and shall receive copies <br />of any proposed rulings or decrees submitted to the court. <br /> <br />4. The CWCB agrees not to seek Referee's Rulings or Decrees with terms that are <br />inconsistent with this stipulation or that are any less restrictive upon the CWCB than those contained <br />in this stipulation <br /> <br />5. The terms of this stipulation shall be enforceable as a contract between the parties and <br />as decrees of the court in these cases, and this stipulation shall be incorporated by reference into the <br />decrees in these cases. This stipulation shall be binding upon the parties hereto, their successors, and <br />assigns. <br /> <br />6. Within 14 days of the date on which both parties have signed this stipulation, the <br />Applicant shall file a motion requesting that the Water Court for Water Division 1 enter an order <br />approving this stipulation. <br /> <br /> <br />h ~. ' <br />Dated this.l1 day of ~ 2002. <br />PORZAK BROWNING & BUSHONG LLP <br /> <br /> <br />Glenn E. 0 ak (#2793) <br />Kevin J. . ear (#28704) <br />929 Pearl Street, Suite 300 <br />Boulder, CO 80302 <br />(303) 443-6800 <br />Attorneys for James Guercio <br />