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10 <br />1 and it was argued to the board before. <br />2 So I would only ask that when the <br />3 board -- as the board is reconsidering this issue <br />4 that it include in its reconsideration whether or <br />5 not Basin has standing or had standing to contest <br />6 the vacation of the NOV. Otherwise we could be <br />7 setting ourselves up for another hearing in a month <br />8 or two. <br />9 As I said before, I think this has <br />10 already been covered in the brief and argued to the <br />11 board before, but it wasn't explicitly in the <br />12 board's order. So I would ask the board to include <br />13 that in the its reconsideration motion. <br />14 Our position is that Basin has no <br />15 standing. It's not an adversely affected party and <br />16 it had no standing to contest the vacation of the <br />17 NOV. I would request that the board include that <br />18 in its motion -- amend the motion to include that, <br />19 and I'll stand on our briefs as written. Although <br />20 I can present more argument to the board if it <br />21 desires. <br />22 MR. PAULIN: Mr. Brown -- this is Ira <br />23 Paulin. Mr. Brown are you saying that in the <br />24 motion that we just had that either -- I guess it <br />25 would appear to me that if we vacate our order of <br />