District Court, Water Division No. 5, Garfield County, Colorado Garfield County Courthouse 109 8th Street, Suite 104 Glenwood Springs, CO 81601 (970) 928-3065 ! " # CONCERNING THE APPLICATION FOR WATER RIGHTS OF: The Twin Lakes Reservoir and Canal Company for Findings of Reasonable Diligence and to Make Absolute Portions of the Independence Pass Transmountain Diversion System COURT USE ONLY In Pitkin County, Colorado Case Number: Attorney for the Opposer: 15CW3050 Craig V. Corona, #38207 Law Office of Craig Corona, P.C. 420 E Main St., Ste. 210B Aspen, CO 81611 Division Courtroom Phone Number: 970/948-6523 E-Mail: cc@craigcoronalaw.com STATEMENT OF OPPOSITION OF ANTHONY AND TERRI CAINE 1. Name, address and telephone number of Opposers: Anthony and Terri Caine 60 Wildwood Ln. Aspen, CO 81611 Copies of pleadings to: Craig V. Corona, Esq. CORONA WATER LAW 420 E. Main St., Ste. 210B Aspen, CO 81611 (970) 948-6523 2. Facts as to why the application should not be granted or why it should be granted only in part or on certain conditions: A. “Stored direct flow” is an oxymoron. 3. Applicant must be placed on strict proof as to each and every element of Applicant’s claims including, but not by way of limitation, that Applicant has diverted water and placed it to Statement of Opposition Division 5 Water Court Case No. 15CW3050 ______________________________ beneficial use in conformance with the controlling provisions of decrees related to Applicant’s water rights. 4. The Application does not contain sufficient information for Opposers to state more specific grounds for objection. Opposers reserve the right to state additional, more specific grounds for objection as more information becomes available. 5. Opposers request that the Court consider this statement of opposition to be continuing in nature and applicable to any subsequent amendments of the Application in this case so that Opposers shall not be required to file additional or renewed statements of opposition. Respectfully submitted this 30th day of September, 2015. CORONA WATER LAW Craig V. Corona, No. 38207 ATTORNEY FOR OPPOSERS Statement of Opposition Division 5 Water Court Case No- ISCW3050 VERIFICATION AND ACKNOWLEDGMENT OF PERSON HAVING KNOWLEDGE OF THE FACTS STATED IN THIS STATEMENT OF OPPOSITION Being ?rst duly sworn, I hereby state that I have and this Statement of Opposition, that I have personal knowledge of the facts stated and verify its contean to the best of my knowledge. information, and belief. Kg. Gil/30%; Sigmimg; Dad: The foregoing instrument was acknowledged before me in the County of Pitkin, State of Colorado, this My of September, 2015, by the person whose signature appears above. JOI-N A. FORSTER he person Signing this veri?cation IS one of the Opposers. STATE OF COLORADO NOTARY ID 1W1 cm EXPIES m. Z319