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Shares attributable to any parcel deemed by the Division Engineer as not actually being <br />in a dried up condition shall be immediately removed from computations of augmentation <br />credits. <br />The CDWR personnel will also conduct joint field inspections as requested with <br />personnel from Kansas and will coordinate on communication about problems with any <br />dry -up parcels that will affect the H-1 Model input data. <br />B. Role of Plan Proponent and Well Owners <br />Each replacement plan shall designate with the March 1St Plan Application a contact <br />person or person(s) for communications related to dry -up parcels. The contact person <br />shall be responsible for ensuring that all mapping, signage and owner information is <br />provided as described above. The contact person will also be responsible for contacting <br />any owners for parcels with restricted access to arrange periodic field inspections and will <br />be available to participate on field inspections by CDWR field staff upon request. The <br />contact person will be responsible for communicating with owners of tracts where <br />problems with dry -up conditions have been encountered to correct dry -up deficiencies. <br />The plan proponent contact will also be responsible for ensuring that all dry -up affidavits <br />are submitted in a timely manner and with complete documentation as may be required <br />by plan approval conditions. <br />Owners of dry -up parcels will be responsible for notifying CDWR when any spill or <br />irrigation occurs on a parcel that may disqualify the parcel or portions thereof from dry -up <br />crediting. Timely notification will facilitate remediation activities that may preserve most <br />dry -up credit for a parcel. When required by CDWR staff to take corrective actions on a <br />