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<br />for filling or satisfying the CWCB Cattle Creek rights, except as may be required to protect the <br />CWCB from injury in future court decrees or substitute supply plans involving the Consolidated <br />Reservoir. <br /> <br />7. This Stipulation shall be incorporated into the decree entered in this case. Objector <br />consents to entry of a decree that contains terms and conditions no less restrictive on the CWCB than <br />the decree attached as Exhibit A hereto, and that incorporates this Stipulation and is otherwise <br />consistent herewith. CWCB agrees to provide Objector with any and all revised decrees so that <br />Objector can determine whether such decrees are no less restrictive than the one attached as Exhibit <br />A. Objector shall remain a party to this case to ensure compliance with this Stipulation. <br /> <br />8. CWCB shall move the Court for approval of this Stipulation. Objector consent to <br />such motion. <br /> <br />Dated this D!:day of August, 2000. <br /> <br />KEN SALAZAR <br />Attorney General <br /> <br />BARBARA MCDONNELL <br />Chief Deputy Attorney General <br /> <br />MICHAEL E. MCLACHLAN <br />Solicitor General <br /> <br />STEVEN O. SIMS <br />First Assistant Attorney General <br /> <br />~~~ <br /> <br />SUSAN SCHNEIDER, #19961' <br />Assistant Attorney General <br />Natural Resources and Environment Section <br /> <br />Attorneys for Applicant <br /> <br />1525 Sherman Street, 5th Floor <br />Denver, CO 80203 <br />Telephone: (303) 866-5065 <br />'Counsel of Record <br /> <br />Case No. 97CW273 <br />Colorado Water Conservation Board <br />Stipulation <br />Page 3 <br />