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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 - 054 - Notice To Set DISTRICT COURT, LARIMER COUNTY, COLORADO 201 Laporte Ave., Suite 100 Fort Collins, CO 80521 (970) 494-3500 ▲ COURT USE ONLY ▲ SAVE THE POUDRE, and NO PIPE DREAM CORPORATION Plaintiffs, v. THE CITY OF FORT COLLINS, a Colorado home rule city and municipal corporation; NORTHERN COLORADO WATER CONSERVANCY DISTRICT; and NORTHERN INTEGRATED SUPPLY PROJECT WATER ACTIVITY ENTERPRISE, Defendants. Attorneys for Defendants, Northern Colorado Water Conservancy District and Northern Integrated Supply Project Water Activity Enterprise: Peggy E. Montaño, #11075 Bennett W. Raley, #13429 William Davis Wert, #48722 TROUT RALEY 1120 Lincoln Street, Suite 1600 Denver, CO 80203 Telephone: 303-861-1963 Fax: 303-832-4465 Email: pmontano@troutlaw.com; braley@troutlaw.com; dwert@troutlaw.com Case Number: 21CV30425 NOTICE TO SET PLEASE TAKE NOTICE that on Wednesday, March 16, 2022, at approximately 1:15 PM, the Division Clerk will initiate a call to the Parties/Attorneys to set a hearing in this matter. The Division Clerk can use the following telephone numbers to contact the Parties’ Attorneys: DATE FILED: February 15, 2022 5:24 PM FILING ID: A61E7002D82A8 CASE NUMBER: 2021CV30425 1  Attorney for Plaintiffs: o John M. Barth – 303-774-8868  Attorneys for Defendant, City of Fort Collins: o John R. Duval – 970-290-4200 o Nicholas C. Poppe – 303-951-6614  Attorney for Defendants, Northern Colorado Water Conservancy District and Northern Integrated Supply Project Water Activity Enterprise: o Peggy E. Montaño – 303-868-7628 As stated in the Court’s February 3, 2022, “Order Regarding Defendant’s Motions,” at the hearing to be set, the parties “should present evidence to flesh out the factual background of the authority that the Resolution relies upon to authorize construction” and “should be prepared to present legal argument regarding: 1) the severability of the vested rights issues from the overturning of the City Planning and Zoning Commission’s decision; and 2) whether a third party has standing to asset a claim that another has been improperly granted a vested right.” Order at 4. 2 Respectfully submitted: February 15, 2022. TROUT RALEY s/ William Davis Wert Peggy E. Montaño, #11075 Bennett W. Raley, #13429 William Davis Wert, #48722 1120 Lincoln Street, Suite 1600 Denver, CO 80203 Telephone: (303) 861-1963 Facsimile: (303) 832-4465 braley@troutlaw.com pmontano@troutlaw.com dwert@troutlaw.com Attorneys for Defendants, Northern Colorado Water Conservancy District and Northern Integrated Supply Project Water Activity Enterprise Pursuant to C.R.C.P. 121, a printed or printable copy of the document bearing the original, electronic, or scanned signatures is on file in the offices of counsel. 3 CERTIFICATE OF SERVICE I hereby certify that on February 15, 2022, a true and correct copy of the foregoing NOTICE TO SET was served via the Colorado Courts E-Filing System on the following: Name Attorney Organization City of Fort Collins Marni L Nathan Kloster Nathan Dumm and Mayer PC City of Fort Collins Nicholas Poppe Nathan Dumm and Mayer PC City of Fort Collins John R Duval City Attorneys Office No Pipe Dream Corporation John Mclain Barth John M Barth Attorney at Law Save the Poudre John Mclain Barth John M Barth Attorney at Law s/Britta Petersen E-filed pursuant to C.R.C.P. 121, §1-26 via the Colorado Courts E-Filing System. A printed or printable copy of this document bearing the original, electronic, or scanned signatures is on file at the Offices of Trout Raley.