Laserfiche WebLink
(Deposition of James Tatum) <br />1 traded for one CFS in exchange of the remaining one <br />i <br />2 point five CFS in Maxwell number Nine that we had. <br />3 By that time the defendants in the case were <br />4 repudiating that agreement and it actually cut us <br />5 off from the use of the water from the South Fork. <br />6 Q. At what time are we talking about now? <br />7 A. I guess '90. <br />8 Q. Okay. <br />9 A. So we didn't have irrigation laws so <br />10 they needed to put the air shaft down and we needed <br />11 to get this issue laid to rest, you know, if you <br />12 want to put the air shaft down we want that water. <br />I <br />13 So, I'm saying that we had two separate, distinct <br />14 agreements involving the transfer of one CFS of <br />15 water. <br />16 Q. So, when you net all that out, your <br />17 current claim is that you are entitled, by virtue <br />18 of one of these agreements to a total of one CFS on <br />19 the South Fork? <br />20 A. That is correct. <br />21 Q. The court reporter has handed you <br />22 Exhibit 32. I will represent to you that, based <br />23 upon where this was in KNE files, it appears to me <br />24 that this was sent to you around early 1990. This <br />25 is also where the paper trail seems to die, so I <br />MEEK & ASSOCIATES <br />3016 3rd Ave., Pueblo, Co 81008 (719) 542-1010 <br />35 <br />