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HomeMy WebLinkAbout2021CV30425 - Save The Poudre And No Pipe Dream Coporation V. Northern Colorado Water Conservancy District, Northern Integrated Supply Project Water Activity Enterprise, The City Of Fort Collins - 017 - Motion To Prepare And Certify Administrative Record Larimer County District Court 201 La Porte Ave, Suite 100 Fort Collins, CO 80521 SAVE THE POUDRE, and NO PIPE DREAM CORPORATION Plaintiffs v. NORTHERN COLORADO WATER CONSERVANCY DISTRICT, NORTHERN INTEGRATED SUPPLY PROJECT WATER ACTIVITY ENTERPRISE, THE CITY OF FORT COLLINS, a Colorado home rule city and municipal corporation, Defendants. COURT USE ONLY John M. Barth, Attorney at Law P.O. Box 409 Hygiene, CO 80533 (303) 774-8868 (fax and phone) barthlawoffice@gmail.com Counsel for Save the Poudre and No Pipe Dream Corp. Case Number 2021CV030425 Division 5B ________________________________________________________________________ MOTION TO PREPARE AND CERTIFY THE ADMINISTRATIVE RECORD ________________________________________________________________________ Pursuant to Colo.R.Civ.Pro. 106 (a)(4)(III), Plaintiffs move this Court for an Order directing Defendant Northern Colorado Water Conservancy District (“District”) to prepare and certify the administrative record pertaining to its actions of August 12, 2021 and adoption of Resolution D-1367-08-21. Plaintiffs request that the Court order the DATE FILED: August 31, 2021 10:43 AM FILING ID: B7801230FFEDF CASE NUMBER: 2021CV30425 2 District to include in a certified administrative record documents that include, but are not limited to he following: a. a copy of the Enterprise’s SPAR land use application filed with the City of Fort Collins; b. a copy of all relevant provisions of the City’s Land Use Code pertaining to SPAR applications and any relevant definitional terms; c. a copy of the City’s denial of the Enterprise’s SPAR permit application. d. the administrative record from the City’s Planning & Zoning Commission related to the Enterprise’s SPAR permit application; e. the administrative record for the District’s August 12, 2021 overturn proceeding; f. Resolution D-1367-08-21; g. a complete transcript of the District’s August 12, 2021 overturn proceeding related to the Enterprise’s SPAR application denial by the City and Resolution D-1367-08-21. h. a copy of any procedural regulations that apply to overturn proceedings under C.R.S. §31-23-209 that were adopted by the District prior to the August 12, 2021 overturn proceeding. If no such regulations exist, the District shall state as such in its certification. i. a copy of any substantive regulations containing standards and/or criteria to be applied by the District Board in an overturn hearing under C.R.S. §31-23-209 that were adopted by the District prior to the August 12, 2021 overturn proceeding. If no such regulations exist, the District shall state as such in its certification. 3 j. a copy of any public notice published in a newspaper of local circulation in the City of Fort Collins regarding the District’s August 12, 2021 overturn proceeding. k. Ay other document considered by the District Board in its actions of August 12, 2021 related to C.R.S. §31-23-209. A proposed order is being filed with this Motion. Respectfully submitted this 31st day of August 2021. /s/ John M. Barth John M. Barth Attorney at Law P.O. Box 409 Hygiene, CO 80533 barthlawoffice@gmail.com 303-774-8868 telephone and fax Counsel for Plaintiffs CERTIFICATE OF DELIVERY I hereby certify that on this 31st day of August 2021, a true and correct copy of the foregoing Motion to Prepare and Certify Administrative was filed via Colorado Courts E-filing System and was served by email to Defendants’ legal counsel. DEFENDANTS CITY OF FORT COLLINS AND PAUL SIZEMORE jduval@fcgov.com John Duval Deputy City Attorney, City of Fort Collins Marni Nathan Kloster Nick Poppe Nathan Dumm & Mayer P.C. MNathan@ndm-law.com NPoppe@ndm-law.com DEFENDANTS DISTRICT and ENTERPRISE- TROUT and RALEY braley@troutlaw.com Bennett Raley pmontano@troutlaw.com Peggy Montaño 4 dwert@troutlaw.com Davis Wert mkruse@troutlaw.com Mirko Kruse (This motion was also personally served with the summons and complaint on Defendant Northern Colorado Water Conservancy District) /s/ John M. Barth John M. Barth