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<br />STATE OF COLORADO <br /> <br />Colorado Water Conservation Board <br /> <br />Department of Natural Resources <br />1313 Sherman Street, Room 721 <br />Denver, Colorado 80203 <br />Phone: (303) 866-3441 <br />FAX: (303) 866-4474 <br />www.cwcb.state.co.us <br /> <br /> <br />MEMORANDUM <br /> <br />Bill Owens <br />Governor <br /> <br />TO: <br />PROM: <br />DATE: <br />SUBJECT: <br /> <br />Colorado Water Conservation Board Members <br />Ted Kowalski, Manager RICD Program <br />July 11,2005 <br />Agenda Item 19, July 18-19,2005 Board Meeting-- <br />Upper Gunnison River Water Conservancy District (RICD) - <br />Consideration of Request Prom the Applicants Relating to the <br />Remanded Hearing <br /> <br />Russel George <br />Executive Director <br /> <br />Rod Kuharich <br />CWCB Director <br /> <br />Rick Brown <br />Acting Deputy <br />Director <br /> <br />Background <br /> <br />In March 2005, the Supreme Court remanded the Upper Gunnison River Water Conservancy District RICD case <br />back to the water court with instructions for the water court to remand the case back to the CWCB to make <br />appropriate findings and recommendations consistent with the Supreme Court decision. There were several <br />disagreements between the Applicant and the CWCB about how the CWCB should handle the remanded case. The <br />matters were fully briefed by the parties, which resulted in an order from the water court. The Court ordered that: 1) <br />the matter is remanded back to the CWCB for factual fmdings on the two contested 1 02(6)(b) factors, consistent <br />with the stipulations of the parties in this case; 2) the CWCB shall make its findings on the existing record, both the <br />original hearing before it in September 2002, and the trial transcript in September 2003; 3) no further evidentiary <br />hearing is required; and, 4) the CWCB shall establish a briefing schedule prior to making its required findings. <br />Then, the Applicant submitted a request to establish a briefing schedule. Both the Applicant's request and the water <br />court's order are attached. <br /> <br />The Applicant, among other things, requests that the CWCB: 1) impose a briefing schedule with simultaneous <br />briefs; and, 2) require that briefs be submitted on or before a date that will give the CWCB adequate time to review <br />the briefs and issue its findings and recommendation by September 14, 2005. As grounds, therefore, the Applicant <br />cites the 90-day time frame that exists for submitting findings of fact and recommendations after the filing of <br />statements of opposition. Further, the Applicant seeks to avoid undue delay. <br /> <br />The Staff cannot agree with the Applicant's requests. First, the statutory language requires the Board to submit its <br />findings and recommendations within 90 days after the statement of opposition period has run. It is impossible for <br />the Board to comply with this statutory language, because that time period ended in 2002. Thus, the Board is <br />operating under the orders of the Supreme Court and the water court. The Supreme Court did not include a timeline, <br />and the water court stated: "that it is inappropriate for the Court to tell the CWCB when it shall issue its findings and <br />recommendations. The Staff would argue that it is more important for the CWCB to issue findings of fact and <br />recommendations that are correct, to the best of the Board's ability, rather than attempt to issue findings of fact and <br />recommendations as quickly as possible. The Staff would further suggest that the Board has a three-day meeting in <br />July (which includes the Silverthorne RICD hearing), another three-day meeting in September (with two rule- <br />making hearings and the continuance of the Chaffee County RICD hearing), and perhaps a special Board meeting in <br />Flood Protection. Water Supply Planning and Finance. Stream and Lake Protection <br />Water Supply Protection. Conservation and Drought Planning <br />