Title: Letter to SWFWMD relating concerns about issuing permits
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Permanent Link: http://ufdc.ufl.edu/UF00051799/00001
 Material Information
Title: Letter to SWFWMD relating concerns about issuing permits
Alternate Title: Letter to SWFWMD relating to Rule 16J-2.13(1) with concerns about issuing permits for terms as little as six years and impact on investment decisions.
Physical Description: 1p.
Language: English
Publication Date: Nov. 1, 1976
 Subjects
Spatial Coverage: North America -- United States of America -- Florida
 Notes
General Note: Box 3, Folder 6C ( WEST COAST REGIONAL WATER SUPPLY AREA B3F6 ), Item 135
Funding: Digitized by the Legal Technology Institute in the Levin College of Law at the University of Florida.
 Record Information
Bibliographic ID: UF00051799
Volume ID: VID00001
Source Institution: University of Florida
Holding Location: Levin College of Law, University of Florida
Rights Management: All rights reserved by the source institution and holding location.

Full Text



est Coast Rtgional Water S pp authority
SR OFIG E RWATER, FLO 33516 813-531-5885

RICHARD J. HESSE
/GENERAL MANAGER


BOARD OF DIRECTORS November 1, 1976
CHARLES E. RAINEY, CHAIRMAN
ROBERT CURRY, VICE-CHAIRMAN
CURTIS L. LAW, TREASURER
DALE TWACHTMANN, MEMBER
CHARLES E. SCHUH, MEMBER / .



Mr. Donald R. Feaster, P.E.
Executive Director
Southwest Florida Water
Management District
P.O. Box 457
Brooksville, Florida 33512

Dear Don:

Reference my letter of 28 September and your reply of
7 October relating to SWFWMD Rule 16J-2.13(1). My concern
is for the possibility that your Board may issue initial
permits for terms as little as six years. It does not seem
likely that we could make investment decisions on such a
short term commitment. It appears that your rules pertaining
to duration of permits should be couched in terms of a mini-
mum duration of 20 years (preferably 30), so that we can make
the appropriate long-term decisions and investments in the
public interest. Thus for paragraph 16J-2.13(5), it would
appear that the issuance of a permit for governmental bodies
for long periods should be mandatory, not discretionary.

I will be discussing this matter with Lou de la Parte and hope
that both of us will have the opportunity to discuss it further
with you and Buddy Blain prior to any final action by the SWFWMD
Board.

Sincerely,



Ri card J. Hesse
General Manager

RJH:pam





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