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2004-08-10_REVISION - M1977534
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2004-08-10_REVISION - M1977534
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Last modified
6/15/2021 5:33:19 PM
Creation date
11/21/2007 9:44:31 AM
Metadata
Fields
Template:
DRMS Permit Index
Permit No
M1977534
IBM Index Class Name
Revision
Doc Date
8/10/2004
Doc Name
Objection
From
Hale-Hackstaff-Friesen LLP
To
DMG
Type & Sequence
AM2
Media Type
D
Archive
No
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reference. The Terms of the Permanent Easements aze set forth in Exhibit C, attached hereto and <br />incorporated herein by reference. <br />7. The Petitioner needs [o acquire the water right for 12 cfs decreed to [he Lindstrom <br />No. 2 Ditch by the District Court for the City and County of Denver in Civil Action 60052, by . <br />decree dated May 13, 1936, from the West (a/k/a North, aAc/a Middle) Fork of Clear Creek for <br />irrigation and domestic purposes, with an appropriation date of 1876, having Cleaz Creek Priority <br />73-A and Administration Number of 16718.09862, together with all ditch rights, easements, rights <br />of way, permits, headgates, diversion dams, control gates and diversion and delivery structures and <br />rights incident and related thereto (hereinafter the "Water Right"). <br />8. The Property is located in Cleaz Creek County, Colorado. <br />9. The Petitioner is informed and believes that Sally A. Buckland, Phil Buckland <br />and Glenda M. Guanella are the fee owners of the Property and owners of the Water Right <br />(hereinafter the '`Respondent-Landowners"). <br />10. The fol3owing aze also named as Respondents in this matter: <br />a. Aggregate Industries-WCR, Inc., is named as Respondent because it may <br />claim a leasehold interest in the Property. <br />b. The Board of County Commissioners of Clear Creek County is named as <br />Respondent because it may claim an interest in the Property by virtue of a document <br />recorded on October 12, 1998 in Book 572 at Pages243 and 249 and documents recorded on <br />February 13, 1447 in Book 546 at Pages 461, 469 and 473 of the records of the Clerk and <br />Recorder of Clear Creek County. <br />c. Colorado Department of Transportation is named as Respondent because <br />it may claim a leasehold interest in the Progeny. <br />d. Emrick & Hill, Inc., is named as Respondent because it may claim a <br />leasehold interest in the Property. <br />e. Robert Martinez is named as Respondent because he may claim an interest <br />in the Property by virtue of a document recorded on June 5, 2002 in Book 642 at Page 730 <br />of the records of the Clerk and Recorder of Clear Creek County. <br />f. Mountain Aggregates, Inc., is named as Respondent because it may claim <br />an interest in the Property by virtue of a document recorded on April 27, 2001 in Book 613 <br />at Page 601 of the records of the Clerk and Recorder of Clear Creek County. <br />g. Public Ser~~ce Company of Colorado is named as Respondent because it <br />may claim an interest in the Property by virtue of a document recorded on August 10, 1992 <br />in Book 491 at Page 755, a document recorded on April 15, 1976 in Book 359 at Page 210, <br />a document recorded on August 20, 1968 in Book 307 at 700, a document recorded on <br />
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