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or may be pumped from the Lowell Pit pursuant to the Consolidated Decree or this Decree. <br /> Nothing in this Decree relieves the current owners of the Lowell Pit site from obligations, if any, <br /> for augmenting out-of-priority depletions from uses of water on that property. <br /> 6.2.3 The Corporate Office <br /> Applicant does not own what was formerly Western Mobile's Corporate Office, <br /> including Gordon Lake. Martin Marietta is not storing water in Gordon Lake or using that water <br /> for landscape irrigation. Neither is Martin Marietta conducting operations at a batch plant using <br /> water from Gordon Lake as projected in the Consolidated Decree. The Corporate Office, <br /> including Gordon Lake, is owned by Digby Family, LLLP. Under these circumstances, Martin <br /> Marietta has no obligation to augment water uses or any out-of-priority depletions that may be <br /> occurring at the former Corporate Office as a result of activities or conduct by the current owner. <br /> Martin Marietta seeks to amend the augmentation plan to remove the Corporate Office from the <br /> augmentation plan under the Consolidated Decree. No pumping, storage of water, or out-of- <br /> priority depletions from Gordon Lake are authorized pursuant to the Consolidated Decree or this <br /> Decree. Nothing in this Decree relieves the current owners of the Corporate Office site from <br /> obligations, if any, for augmenting out-of-priority depletions from uses of water on that property. <br /> 6.2.4 Heritage Square <br /> In the Consolidated Decree, the plan for augmentation replaced out-of-priority depletions <br /> from five tributary wells providing water for commercial and domestic uses, landscape irrigation <br /> and two amusement ponds at the Heritage Square entertainment park. The Consolidated Decree <br /> included depletions at Heritage Square with the replacement of evaporation from Magic <br /> Mountain Reservoir, which is covered under the Spec Agg Quarry above. The scope of the <br /> current uses of water at Heritage Square is consistent with that contemplated under the <br /> Consolidated Decree and therefore the Applicant does not seek any amendment of the <br /> Consolidated Decree with regard to augmentation of water use at Heritage Square. However, the <br /> tributary wells have not been used for at least ten years and all of the commercial and domestic <br /> uses at Heritage Square are currently supplied by potable water from the City of Golden. No <br /> augmentation of that water use is required under this Decree. To the extent the five tributary <br /> wells at Heritage Square described in the Consolidated Decree are used in the future for these <br /> purposes, Applicant will account for its water use and depletions in accordance with the <br /> Consolidated Decree. The accounting form under this Decree will be amended as provided in <br /> Paragraph 26.1.1 to include depletions from those wells, including lagging factors, and total well <br /> pumping will be consistent with the amounts contemplated in Paragraphs 18(a)through (c) of the <br /> Consolidated Decree. <br /> 6.2.5 Fenton Concrete Plant Operation <br /> Martin Marietta seeks to add to its plan for augmentation out-of-priority water depletions <br /> due to withdrawals from the Fenton Pit for concrete batch plant operations at the Fenton Plant as <br /> depicted on the attached Figure 1. <br /> Judgment and Decree <br /> Application of Martin Marietta Materials,Case No. 13CW3053 <br /> Page 7 <br />