to all parties and to their attorneys of record€¦ · to all parties and to their attorneys of...
TRANSCRIPT
Edward J. Casey (SBN 119571) Andrew Brady (SBN 273675) ALSTON & BIRD LLP 333 South Hope Street, 16th Floor Los Angeles, CA 90071-1410 Telephone: 213-576-1000 Facsimile: 213-576-1100 [email protected] [email protected]
Attorneys for Cross-Defendant NORTHROP GRUMMAN SYSTEMS CORPORATION
SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF LOS ANGELES
Judicial Council Coordination No. 4408 Case No. 1-05-CV-049053 Assigned to The Honorable Jack Komar
CROSS-DEFENDANT NORTHROP GRUMMAN SYSTEMS CORPORATION'S AMENDED DISCLOSURE OF EXHIBITS REGARDING PROVE-UP TRIAL RE: [PROPOSED] STIPULATED JUDGMENT AND PHYSICAL SOLUTION
ANTELOPE VALLEY GROUNDWATER CASES
INCLUDED ACTIONS:
LOS ANGELES COUNTY WATERWORKS DISTRICT NO. 40 v. DIAMOND FARMING COMPANY, et al., Los Angeles Superior Court Case No. BC325201;
LOS ANGELES COUNTY WATERWORKS DISTRICT NO. 40 v. DIAMOND FARMING COMPANY, et al., Kern County Superior Court Case No. S-1500-CV-254-348;
DIAMOND FARMING COMPANY, and W.M. BOLTHOUSE FARMS, INC., v. CITY OF LANCASTER, et al., Riverside Superior Court Case No. RIC 344436 [c/w case no. RIC 344668 and 355840]
DATE:
September 28, 2015 TIME:
10:00 a.m. DEPT:
TBA
NORTHROP GRUMMAN'S AMENDED EXHIBIT DISCLOSURE LEGAL02/35837001v1
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TO ALL PARTIES AND TO THEIR ATTORNEYS OF RECORD:
PLEASE TAKE NOTICE that in accordance with Court's Second Case Management
Order dated March 27, 2015, Cross Defendant Northrop Grumman Systems Corporation
("Northrop Grumman") hereby amends the exhibit labels it will apply to the exhibits designated
on April 27, 2015 by Northrop Grumman to correspond with exhibits designated in the Court's
May 29, 2013 Minute Order admitting certain exhibits into evidence during the Phase 4
proceedings.
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New Exhibit No. Prior Exhibit No. Description In Evidence
4-NORTHRUP-1
[sic]
4-NORTHROP-3 Stipulation Concerning
Land Ownership and
Prior Groundwater
Production
4-NORTHRUP-2
[sic]
4- NORTHROP-1 Declaration of Troy
Gabbard in Lieu of
Deposition
Testimony for Phase 4
Trial
4-NORTHROP-3 4-NORTHROP-3 Response to December,
2012 Discovery Order
for Phase 4 Trial
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1 NORTHROP GRUMMAN'S AMENDED EXE-IMIT DISCLOSURE
LEGAL02/3583700Iv I
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Northrop Grumman hereby withdraws the exhibit designated as 4-NORTHROP-4 in its
April 27, 2014 designation. In addition to the exhibits listed above, Northrop Grumman reserves
the right to further supplement or add to this list of exhibits, if necessary.
DATED: September 4, 2015 EDWARD J. CASEY ANDREW BRADY ALSTON & BIRD LLP
Andrew Brady Attorneys for Cro ndant NORTHROP MAN SYSTEMS CORPORATI
2 NORTHROP GRUMMAN'S AMENDED EXHIBIT DISCLOSURE
LEGAL02/35837001v1
4-NORTHRUP-1
Edward J. Casey (SBN 119571) Neal Maguire (SBN 234531) ALSTON & BIRD LLP 333 South Hope Street, 16th Floor Los Angeles, CA 90071-1410 Telephone: 213-576-1000 Facsimile: 213-576-1100 ed.casey@al stop ,com neal.maguirea alston.com
Attorneys for Cross-Defendant NORTHROP GRUMMAN SYSTEMS CORPORATION.
• SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF LOS ANGELES
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Judicial Council Coordination No. 4408
NORTHROP GRUMMAN SYSTEMS CORPORATION'S APPLICATION FOR APPROVAL OF STIPULATION 'CONCERNING LAND OWNERSHIP AND PRIOR GROUNDWATER PRODUCTION; [PROPOSED] ORDER
Case No. 1-05-CV-049053 Assigned to The Honorable Jack Komar
Trial Date: May 28, 2013 Time: 9:00 a.m.
ANTELOPE VALLEY GROUNDWATER CASES
INCLUDED ACTIONS:
LOS ANGELES COUNTY WATERWORKS 'DISTRICT NO.40 v. DIAMOND FARMING COMPANY, et al., Los Angeles Superior Court Case No. BC325201;
LOS ANGELES COUNTY WATERWORKS DISTRICT NO.40 v. DIAMOND FARMING COMPANY, et al., Kern. County. Superior Court Case No, S-1500-CV-254-348;
DIAMOND FARMING COMPANY, and W.M. BOLTHOUSE FARMS, INC., v. CITY OF LANCASTER, et al., Riverside Superior Court Case No. RIC 344436 [04 case no, RIC 344668 and 355840]
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NORTHROP GRUMMAN SYSTEMS CORPORATION'S A PPLICATION FOR APPROVAL. OF STIPULATION CONCERNING LAND OWNERSHIP AND PRIOR GROUNDWATER. PRODUCTION
cow Ativitcygfpr.CrpsKk NORTIW.11. 0.1.W.1\4MOT OOUVORATION
Pursuara tci. Itia. CourCs Mara 2013 Minute, or 'Nkathrictia Gramm Em Syet9
Corporation submits this Amlime= for Approval of.Stipulatictn Colvern 1.4tud
and PriorGroutufWater Produmiot). Theq001V- -014Alitt atra011erd 01) thi$ aPP1iqati411*
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DATED: April 30,.2013 EDWARD-4: CASEY NEAL. MAGUIRE ALSTON& MAD
NORTHROP GRUMMAN SYSTEMS C..ORPORATION'S APPLICATION FOR APPROVAL OP STIPULATION. CONCERNING LAND OWNERSHIP' AND PRIOR GROUNDWATER PRODUCTION
• ..... • " " - • • • • • • • • • • • • • • • - • • - • - • • • - - • - • ' . . . . . .
Los Angeles County Waterworks District No. 40, Quartz Hill Water District, Littlerock
Creek Irrigation District, Palm Ranch Irrigation District, Palmdale Water District, the City of
Palmdale, the City of Lancaster, and Rosamond Community Services District (the "PWAs") and
Northrop Grumman Systems Corporation ("Landowner") (collectively, the "Stipulating Parties")
enter into this Stipulation Between Certain Public Water Agencies And Landowner Concerning
Land Ownership, Prior Groundwater Production - And Proposed Allocation Of Groundwater
Rights; And Order Thereon ("Stipulation") through their respective counsel of record. This
Stipulation is based on the matters set forth in Section 1, below.
I.
RECITALS
A. Landowner owns land overlying the Antelope Valley Groundwater Basin (the
"AV Basin"). (For purposes of this Stipulation, the term "AV Basin" shall mean the Antelope
Valley Groundwater Basin as determined and defined by the Honorable Jack Komar in his
March 12, 2007 Revised Order After Hearing on Jurisdictional Boundaries.)
B. Landowner served its (1) Response To December 12, 2012 Discovery Order for
Phase 4 Trial and the Non-Expert Witness Designation ("Discovery. Response") and (ii)
Stipulation In Lieu Of Deposition Testimony For. Phase 4 Trial ("Declaration") on all parties in
the instant action_
H.
TERMS OF THE STIPULATION
A. Based on the Landowner's Discovery Response and Declaration, the PWAs have
no objection to the Court making the following findings of fact;
(1) Landowner currently owns land overlying the AV Basin, which land is
comprised of Assessor Parcel No. ("APN") 241-430-05 (the "Subject Property").
(2) As of January 1, 2013, Landowner currently uses the Subject Property as
follows: decommissioning activities associated with prior manufacturing operations.
(3) Landowner used the Subject Property during calendar years 2011 and
2012 as follows: manufacturing operations in 2011 and decommissioning activities occurred in
1 ST/PULATION CONCERNING LAND OWNERSHIP AND PRIOR GROUNDWATER PRODUCTION
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(4) Landowner produced the following quantities 0.f groundwater "from 'WO
AV l ash dtl ritig Oiendar yeart 2011 and 2012:t 1,,a:ltorforri'or yoatr(":AFY"). ih 2031 aid 1
Y. 30012,
(:5) Landowner'or its precteepsso-r:in: intergst-to axe, iillco rtOpelly-OrObeed.
the following qqantities, of groundwater from...AV` fban itioxiog 110/To.d Etpit._:14ituity
200'0'thittt Dcdetribtiv3,1,, 2004 :(the "200044. TiirieTeriaT 3 V 46100)4 3 -AFY 2001,
3: AFY in:2002, 3 and:3 Amain 2004;tera,totaliof15 TfprgaTiM
. tgoutov,mtt of, its gedgeOssor, used the gtoUndwater- 4egerlbed. in this!.
Section II-A. for "reasonable OM bonefidd" 'Uses On the Siltfeet .(1)-cooling•
units in niannfacturing 'operations. and (2)' domestic uses for on employees.
(7) For. purposes of this Stipulation, the term "reasonable- And beneficial" shall
have the theahing as understood in Article X, Section of the:California ConstitUtion:
April 1 201.3 AI:.:!STON & BIRD, LLP
A.IlorneyS fOrN0airOp OttIntrkall.System Corporation
Npir1 2013 :BEST BEST .& KRIEGER LLP
By: JEFFREY V. DUNN
Attorneys for Los Angeles. Comity Waterworks. District N o. '40
April 2013 CHARLTON WEEKS LLP
By.;, BRADLEY T, WaElc.-S
2 STIPULATION CONCERNING LAND OWNERSHIP AND PRIOR GROUNDWATER PRODUCTION
201:2,
2012.
(4) Landowner produced the following quantities of groundwater from the
AV Basin during calendar years 2011 and 2012: 1-2 acre-feet per year ("AFY") in 2011 and 1
AFY in 2012.
(5) Landowner or its predecessor in interest to the Subject Property produced
the following quantities of. groundwater from the -AV Basin during the period from January -1,
2000 through December 31, 2004 (the "2000-04 Time Period"): 3 AFY in 2000, 3 AFY in 2001,
3 AFY in 2002, 3 AFY in 2003, and 3 AFY in 2004, for a total of 15 acre-feet ("AF").
(6) Landowner or its predecessor used the groundwater described in this
Section II-A for "reasonable and beneficial" uses on the Subject Property, *Wing (1) cooling
units in manufacturing operations' nd k2)idomestic:usesloton-isitetmployees.
(7) For purposes of this Stipulation, the term "reasonable and beneficiarshall
have the meaning as understood in Article X, Section 2 of the California Constitution.
ALSTON & BIRD, LLP
By: EDWARD J. CASEY
Attorneys for Northrop Grumman Systems Corporation
BEST BEST & KRIEGER LLP
B
Attorneys for Los Angeles Cciinty Waterworks District No. 40
CHARLTON WEEKS LLP
By: BRADLEY T. WEEKS
2 STIPULATION CONCERNING LAND OWNERSHIP AND PRIOR GROUNDWATER PRODUCTION
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April , 2013
,April 2013
April , 2013
April / 5 200 LEMJETJX & O'NEIL
By:
April , 2013
April , 2013
April , 2013
Attorneys for Quartz Hill Water District
Attorneys for Littlerook Creek Irrigation District and Palm Ranch Irrigation District •
LAGERLOE, SENBCAL, GOSNEY & KRUSE
By; THOMAS BUNN III
Attorneys for Palmdale Water District
RICHARDS, WATSON & GERSHON
By: STEVEN R. ORR
Attorneys for City of Palmdale .
MURPHY & EVERTZ LIP
By: DOUGLAS I. EVERTZ
Attorneys for City of Lancaster and Rosamond Community Services District
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WAYNE K. LEMIEUX
3 STIPULATION cacumNo LAND OWNIMSHIP AND PRIOR GROUND WATER PRODUCTION
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April /&--, 2013
April , 2013
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April 2013
April 2013
Attorneys for Quartz Hill Water District
LEM1E,UX & O'NEILL
By: WAYNE K. LEMIEUX
Attorneys for Littlerock Creek Irrigation District and Palm Ranch Irrigation District
LAGERLOF, SENECAL, GOSNEY & KRUSE
By: • -t-tizt /frr.( istp-. THOMAS BUNK Ill
Attorneys for Palmdale. Water District
RICHARDS, WATSON & GERSHON
By: STEVEN R. ORR
Attorneys for City of Palmdale
MURPHY & EVERTZ LLP
By: DOUGLAS J. EVERTZ
Attorneys for City of Lancaster and Rosamond Community Services District
3 STIP/ it A.TICIN rillstr.P.RNINn 1.A/sin OWNRIZRPTIP Awn prt t(112 (1120111411WATP.R. PR nnt ECTION
Attorneys for Quartz Hill Water District
LEMIEUX & O'NEILL
By: WAYNE K. LEMIEUX
Attorneys for Littlerock Creek Irrigation District and Palm Ranch Irrigation District
LAGERLOF, SENECAL, GOSNEY & KR.USE
By: THOMAS BUNN III
Attorneys for Palmdale Water District
RICHARDS, WATSON & GERSHON
By: STEVEN R. ORR
Attorneys for City of Palmdale
MURPHY & EVERTZ LLP
Attorneys for City of Lancaster and Rosamond Community Services District -
3 STIPULATION CONCERNING LAND OWNERSHIP AND PRIOR GROUNDWATER PRODUCTION
April .2013
April 2013
April , 2013
April (5T2013
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Rospectft4 subin tiled by!
NEAL MAGUIRE ALSTON &BIRD LIR
• ftgei#60:01:Ciitl*It
On:May , 20 r3, Northrop C'runiniati:-SystCmg. CorpOrdtiOti filed its Appliddion for
pprovai of Stipulation Concerning Land Comenhip. arid Prior. Oroup4water Proc1.1.4*.on..(tht
!4kpplication"), l'Er-wing read and consider0 alL papOrg filed. in. oilifiAeolfon With ttv
tta boa to the ,4,0151itation, and 114V1na:revili,W 1166j:dais:mg ihOretcf,.
IT 'HEREBY ORDERED: THAT: te-faets set forth irt./Se4ipn II :at the Stipulation
are 0040 0014.114
DATED:
IT JKSXYORDERED,
Honorable ..auk Judge of "The Santa Clara Conirty Supettor Court
Attonfeys furOusg-Pir •Nprthrop 'Grumman Systems colporation
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1 l'11,1,1LAT)QN pONopANING LAND. owtsiE4s1i1p AND PRIOR GROUNE WATER PROM/CM-ON
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PROOF $ERVICP,
Yohin 44.S.. :Ramps, declare: : I am envLoyed qotymy. of Angeles, Slae'.4f PAlifetina, J'atri :OV.& the age-
Qi party lo the WiNil:flAtiME bigrit.)eSS. address it Alston & 331 :4q1.1111. Mope glyte0-11*-91%.0 I,o_sikng-Oes; OA 90071.
"Op'May. 20 3":,, 00\4 the; dottnitetigedeoglha itie:NORMOF GRUMMAN sYsTEmS, .CORPORAT101.44, „APPLICATION VOR APPROVAL ;STIPOLATOT CONCERNINO LAI4T)OWN-1001,Try .0)) oitomyRATER, ,PROTAICIVN:;: !EllRoPOsW?) .ORDER 04 the igfrola. par dea 41. This action by 'enclosing do.4-tnoeng in ;•0.: sealed egmelOpeAket5s0d 41.0:41:100;
10!' am 'iNd.14 ii ib:1$ fig ti rls Pitt0t100 idatiA9P #14.• 1Y06*i g 0OrrOpttldefiVef iilail ing wi tlr the UAW ** P.4tEit Si.i vree to
course ni i.)1)0102%. the.-'0:902001*:na -valid,: dO. Po tal Service. t.33Wipe, Calit&hid 90071.Witia:ipojtmEsavv*.
Pt110-1 the tin which cote6g.pai-Ailte NOM placed for- onljeet10. grid [rnktiliit at the firm. Following.ort.linary Business praetloestl: plated for-.collection .001teetft,R.antt matt% With the. United States NSW. Service .such envelope.* Alston & Bird 'UP', 333 .Soigh.. ROO, Sf:t4t. L.A* AP11,010,. CallrOrnia 90071.
1E1 BY ELECTRONIC MAIL: r posting the documentlistedsabove to the Santa Para Superior Court website: www.se.liling.org regarding the ANTELOPE 'VALLEY OROUND:WATER matter.
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0 B'y FEDERAL EXPRESS 0 UPS NEXT DAY MR 0 OVERNIGHT DELIVErty: deposited such emielope in. a .facility regularly maintained by O. FEIMAL. aPRESES f:1 UPS Overnight Delltjeryispoeify name of servim :I. with clavery'eetS:1541WTOVidtdifeT Or dellyea54.1.the envelope to a -oolitic' or driver- 1C1 ExPre4s' 'n owaNfOlo DETIVERY E.Speoity..name of sei,Vieel atghopiged.to reofy6:4p:Mettkat .A1a0.i ; &Bard. 11.1.1, 533 Smith FlopoStreet, Los Angeles, Cgifornik90071: i :4-efftry`fees hilly providod
BY FACSIMILE:- 1 .telecopied, :copy. of said :document(SY tO, tho f011owthg. addreSsee.(0 at the follOV.v*,: ntimbeiks.).:in,accorciariee With the written oo-rifirrnation bfootins61'.idtriliftiaion;
[State] -I declare notter, pen-414 of petinry wider. the; Jaws of the state: f c 611failia :that the above 1 s-true:
Tederall r declare.under'penalty of periury that the-foregoing is -true and .eorreet..
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2.8.
Executed on May 1, 201.3, at Los Angeles, C i:fo in.
/OP Oak._
YOL NDA z;'."RA-MOS
I . . 4 . ,••
4-NORTHRUP-2
Edward J. Casey (SEN 119571) Neal Maguire (SBN 234531) ALSTON & BIRD LLP 333 South Hope Street, 16th Floor Los Angeles, CA 90071-1410 Telephone: 213-576-1000 Facsimile: 213-576-1100 [email protected] [email protected]
Attorneys for Cross-Defendant Northrop Grumman Corporation
SUPERIOR COURT OF THE STATE .01? CALIFORNIA
FOR THE COUNTY OF LOS ANGELES
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Judicial Council Coordination No. 4408
DECLARATION 01? TROY GABBARD IN LIEU OF DEPOSITION TESTIMONY FOR PHASE 4 TRIAL •
Case No. 1-05-CV-049053 Assigned to The Honorable Jack Komar
Trial Date: May 28, 2013
ANTELOPE VALLEY GROUNDWATER CASES
INCLUDED ACTIONS:
LOS ANGELES COUNTY WATERWORKS DISTRICT NO.40 v. DIAMOND FARMING COMPANY, et al., Los Angeles Superior Court Case No. BC325201;
LOS ANGELES COUNTY WATERWORKS DISTRICT NO.40 v. DIAMOND FARMING COMPANY, et al., Kern County Superior Court Case No. S-1500-CV-254-348;
DIAMOND FARMING COMPANY, and W.M. BOLTHOUSE FARMS, INC., v. CITY OF LANCASTER, et al., Riverside Superior Court Case No. RIC 344436 [c/w case no. RIC 344668 and 355840]
DI CIARATION OF TROY OM313ARD IN LIEU OP DEPOSMON Temb.tiorry FOR PHASE 4 TRIAL
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DECLARATION1
1, Troy Gabbard, declare:
1. I am the Palmdale Facilities Site Manager for Northrop Grumman Corporation
("Northrop"), a party to this action. In lieu• of depoSition testimony for the Phase 4 trial, I am
providing this declaration. This declaration applies only to the categories I have filled in. The
items left blank or crossed out do not apply to me, I have personal knowledge of each fact herein
and would testify competently thereto under oath.
Property Ownership and Parcel Size
2. Northrop owns property that overlies the Antelope Valley Area of Adjudication as .
decided by this Court. The land is in Kern County and is identified by the following AFN/APNs:
APN 241-430-05. (Copies of the relevant documents evidencing Northrop's ownership of said
land can be provided upon request by any party)
[If additional room is needed, please identify the APNIAPNs in Exhibit Al A true and correct
copy of Exhibit A is attached hereto and incorporated herein.
3. Northrop claims groundwater rights only as to the properties listed in Paragraph 2
and Exhibit A.
4. For each APN/APNs identified above, the total acreage. by parcel is as follows:
18 1415.75.
[If additional room is needed, please identify the APN/APNs and parcel size in Exhibit B.] A
true and correct copy of Exhibit13 is attached hereto and incorporated herein.
5. For each APN/APNs identified above, Northrop owned the property during the
following timer period:
December 1998 to present.
6. The following are all individuals/entities appearing on the title for the above
identified APN/APNS from Jan 1, 2000 to the present:
1 For ease of completing this Declaration, it was converted to a Word document, although all the requested categories of information were kept. A redlined version of this Declaration comparing it against the Stipulated version can be provided upon request.
1 DECLARATION OF TROY CiAl313ARD /N LIEU OF DEPOSITION TESTIMONY FOR PHASE 4 TRIAL
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Northrop.
7. For each individual/entity identified in paragraph 6 that individual/entity appeared
on the title during the following time :
December 1998 to present.
Leases [NOT APPLICABLE]
8.
property that
Adjudication as decided by this court and identified by the following APNS:
9. The total acreage by parcel is:
10. The property is currently leased to:
11. The property was leased on the following dates:
12. The lease provides that. may claim groundwater
rights from the use of water on the leased property. Attached to this declaration is a true and
correct copy of the lease.
[If additional room is needed, please list APN/APNs, acreage by APN, Lessee by APN and dates
for each Lessee by APN for each parcel in Exhibit C.] A true and correct copy of Exhibit C is
attached hereto and incorporated herein.
13. leases property from which
overlies the Antelope Valley Area of Adjudication as decided by this court and is identified by .
the following APNS:
14. The total acreage by parcel is:
2 DECLARATION OF TROY GABBARD IN LIEU OP DEPOSITION TESTIMONY FOR PHASE. 4 TRIAL
(declarant or party affiliated with declarant) leases
own and that overlies the Antelope Valley Area of
15. The Lease provides that may elaim groundwater rights from
use of water on leased property. Attached to this declaration is a true and correct copy of the
lease.
[lf additional room is needed, please attach APN/APNs, Name of the Lessor and acreage by
APN for each parcel list in Exhibit D to this declaration.] A true and correct copy of Exhibit D is
attached hereto and incorporated herein.
16. claims groundwater rights only as to the leasehold interests
listed in Paragraph 15 and Exhibit D.
17. claims groundwater rights only as to the properties listed in
Paragraph 2 and Exhibit A and as to the leasehold interests listed in Paragraph 8 and Exhibit C.
18. To the best of my knowledge, only claims groundwater rights as
to the leased parcel(s) identified in paragraph 15 and Exhibit D.
Water Meter Records . [NOT APPLICABLE)
19. measures the groundwater production on the above
referenced properties by water meters. Exhibit E contains the records for these water meters for
the following years:
A true and correct copy of Exhibit E is attached hereto and incorporated herein.
20. Exhibit F sets forth the total yearly production amounts by metered water well on
the above referenced properties for the years 2000-2004, 2011, and 2012. A true and correct
copy of Exhibit F is attached hereto and incorporated herein.
State Water Project Purchases [NOT APPLICABLE]
21. purchases State Water Project water from a State Water
on the properties referenced above. Exhibit G contains true
and correct copies of the invoices for delivery of State Water Project Water to the properties
referenced above.
22. Exhibit H sets forth the total yearly State Water Project water deliveries to the
properties referenced above for the years 2000-2004, 2011, and 2012. A true and correct copy of
3 DECLARATION OF TROY GABBARD IN LIEU OF DEPOSITION TESTIlvIONY FOR PFIASP. 4 TRIAL.
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Contractor for use by
Exhibit H is attached hereto and Incorperated herein,
Pump Tests! Electric Records P4OT• APPLICABLE1
23. ..In order to calculate groundwater pumped and used on the properties referenced
above, relied on pump tests and electric records. Exhibit I contains true
and comet copies of the pump test records and electrical records for wells on the properties
referenced above. The electric records attached to this declaration as Exhibit I do not include
electric use on the properties referenced above for anything other than pumping groundwater.
24. Exhibit .1 sets forth the amount of total yearly groundwater. that
estimates was pumped and used on the properties referenced above for the years 2000-2004,
2011, and 2012 based on the attached pump test records and electrical records for the wells on
the properties referenced above. A true and correct copy of Exhibit .1 is attached hereto and
incorporated herein.
25, Pimp tests were performed on the following dates:
26. is not producing pump test records for the following dates
because:
27. I am not aware of any other pump tests having been performed on the properties
referenced above.
Pump Tests/Diesel Records INOT APPLICABLE)
28. In order to calculate groundwater pumped and used on the properties referenced
above, relied on pump tests and diesel fuel records. Exhibit K contains
true and correct copies of the records pertaining to pump tests and diesel fuel purchases for the
properties referenced above, The diesel fuel records attached to this declaration as Exhibit K do
not include diesel fuel used on the properties referenced above for anything other than pumping
groundwater.
29. Exhibit L sets forth the amounts of total yearly groundwater pumped and used on
the properties referenced above for the years 2000-2004, 2011, and 2012. A true and correct
4 DECLARATION OF TROY CIAI3BARD IN 455 OP DEPOSITION TESTIMONY FOR PHASE 4 TRIAL
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copy of Exhibit L is attached hereto and incorporated herein.
30. Pump tests were performed on the following dates:
31, is not producing pump test records for the following dates
because:
32. I am not aware of any other pump tests having been performed on the properties
referenced above.
Crop Duties and Irrigated Acres [NOT APPLICABLE]
33. In order to calculate water use on the properties referenced above,
relies on the amount of acres in irrigation on the properties referenced above
multiplied by the crop duty identified in the Summary Expert Report, Appendix D-3: Table 4.
34. The total amount of irrigated acres and type of crops on the properties referenced
above by APN for the years 2000-2004, 2011 and 2012 are described in Exhibit N. A true and
correct copy of Exhibit N is attached hereto and incorporated herein.
Other Sources of Water 'NOT APPLICABLE'
35. On the properties referenced above, received water from sources
other than groundwater pumped within the Basin or State Water Project Water. Exhibit 0 sets
forth the source of the water and the amounts received for the years 2000-2004, 2011, and 2012.
Use of Water .(Complete for each APN. If water for used for multiple imposes, identify
the amount of water for each use.)
36. Northrop used three acre feet of water on APN# 241-430-05 in 2000. The water
was used for the following:
(I) cooling units in manufacturing operations and (2) domestic uses for on-site employees.
[State the crop type and number of acres of that crop. If not used for irrigation, describe the use.
In lieu of answering this question, a crop map may be attached that shows the date, crop type,
irrigated acreage and parcels.)
37. Northrop used three acre feet of water on APN# 241-430-05 in 2001. The water
was used for the following:
5 DECLARATION OF TROY GABBARD 11+I LIEU OF DEPOSITION/ TESTIMONY FOR PHASE 4 TRIAL
(1) cooling units in manufacturing operations and (2) domestic uses for on-site employees.
[State the crop type and number of acres of that crop. If not used for irrigation, describe the use.
In lieu of answering this queStion, a crop map may be attached that shows the date, crop type,
irrigated acreage and parcels.]
38. Northrop used three acre feet of water on APN# 241-430-05 in 2002. The water
was used for the following:
(1) cooling units in manufacturing operations.and (2) domestic uses for on-site employees.
' 39. Northrop used three acre feet of water on APN# 241-430-05 in 2003. The water
was used for the following:
(1) cooling units in manufacturing operations and (2) domestic uses for on-site employees.
[State the crop type and number of acres of that crop. If not used for irrigation, describe the use.
In lieu of answering this question, a crop map may be attached that shows the date, crop type,
irrigated acreage and parcels.]
40. Northrop used three acre feet of water on APN# 241-430-05 in 2004. The water
was used for the following:
(1) cooling units in manufacturing operations and (2) domestic uses for on-site employees.
[State the crop type and number of acres of that crop. If not used for irrigation, describe the use.
In lieu of answering this question, a crop map may be attached that shows the date, crop type,
irrigated acreage and parcels.]
41. Northrop used one or two acre feet of water on APN# 241-430-05 in 2011. The
water was used for• the following:
Manufacturing operations.
[State the crop type and number of acres of that crop. If not used for irrigation, describe the use.
In lieu of answering this question, a crop map may be attached that shows the date, crop type,
irrigated acreage and parcels.]
42. Northrop used one acre foot of water on APN# 241-430-05 in 2012. The water
was used for the following:
Decommissioning activities.
6 DECLARATION OF Tim GABBARD IN LIEU OF DEPOS rrioN TESTIMONY FOR PHASE 4 TRIAL
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[State the crop type and number of acres, of that crop. If not used for irrigation, describe the use.
In lieu of answering this question, a crop map may be attached that shows the date, crop type,
irrigated acreage and parcels.]
43. Other than what is declared hervinabove, Northrop did not produce or use water
within the Antelope Valley Area of Adjudication for 2000-2004, 2011, and 2012.
I declare under penalty of perjury under the laws of the State of California that the
foregoing is true and correct. Executed this ZO day of January, 2013, at-Pain, dcit, California.
Troy Gabb 317, PMP Palmdale aci r res Site Manager Northrop Grumman Corporation
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Executed on January 31, 2013, at LOS Angeles;. Califs
DA S. _RAMOS
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PROOFOY: I3VICE
I, Yolanda S. :Ramos). declare:
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am employed in the County- a: Los Angeles,- S:174e0f California. lzutitiat! address is Alston Bird LLP, 333 South. Hive Street, SiXtetntli MOOT; 1:,As ArigeleS, CA 90071.. I ain over the age of eighteen years and not a patty to the action in:which this service is made.
On ,January 31, 20.13, I served the doenrovnt(s) described. as. DECLARATION OF' TROY GABBARD IN LIEU OF DEPOSITION TESTIMONY FOR ERASE 4 TRIAL on the interested parties in Action at:101100s::
D BY MAIL:. am 'readily faniiliae. with thifirin'S praelicelOrthe collection and the processing of correspondence fforP4:11'10,g. with tko,131*00 Sates Postal service; ordinary Wir.keMs thg.P,0110,1040eg, would-dep
be ositedwitthe: Unitgd 014".POStal Set9i0e.at: HOpe Stfeet,
les; attaotnia, 1,001.1 c.i 1).0Stagd :theiton, tally! prepay to sale day. on which the ebiTeaptindence was placed for collection and ,rnalling at the :Following ordinary business -;pragtices; I ptaced for collection gpd inane: with the United .States: Postal Servicc'stichenveiepe-at Alston 311$oruth HopeStreet, Los Angeles, California 90071,
• BY ELECTRONIC MAIL: By posting, the document listed above to the Santa Clara Superibr Court webtite: www:scefiling,org regarding the ANTELOPE VALLEY GROUNDWATER matter.
CI BY FEDERAL EXPRESS 0 UPS NEXT DAY AIR. ❑ OVERNIGHT DELIVERY: I deposited such envelope in a facility.regularly maintained by 0 FEDERAL EXPRESS 0 LIPS 0 Overnight Delivery [specify name. of serve,. ] with delivery fees fully provided for:or delivered the envelope to. e: eetifier: or driver of Cl FEDERAL E'y'.(PR.ESS 0i VPS f cevEemeyrr DELIVERY [specify name of service:] authOrized:toleutive documents at Alston 84,ffird:DL3 , 333 South-Hope. Street„LOS _ATIVItS,:CalifOtnia -90071 with delivery fees fully‘proVided,for:
• BY FACSIMILE: I telea:Opied :a copy of said document(s) .to the following addte:Ssee(s) at the following number(s). in .accordance with : the written confirmation of counsel in this action.
0 [State] J. declare under penalty ofPerjurrunder the,laws.:Of the Stattof Califotnin that flie,above is true and. correct.
0 [Federal] I declare under penalty of perjury under the: laws of the United States of America 'that the foregoing is true and cornet.
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4-NORTHRUP-3
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Edward J. Casey (SEN 119571) Neal Maguire (SEN 234531) ALSTON & BIRD LLP 333 South Hope Street, 16th Floor Los Angeles, CA 90071-1410 Telephone: 213-576-1000 Facsimile: 213-576-1100 [email protected] neal.maguir aftiston.com
Attorneys for Cross-Defendant Northrop GrumMan Corporation
SUPERIOR COURT OF THE STATE OF CALIFORNIA
FOR THE COUNTY OF LOS ANGELES
ANTELOPE VALLEY
Judicial Council Coordination No. 4408 GROUNDWATER CASES
INCLUDED ACTIONS:
LOS ANGELES COUNTY
Case No. 1-05-CV-049053
DIAMOND FARMING COMPANY, et WATERWORKS DISTRICT NO.40 v. Assigned to The Honorable Jack Komar
al., Los Angeles Superior Court Case No. BC325201;
LOS ANGELES COUNTY WATERWORKS DISTRICT NO.40 v. DIAMOND FARMING COMPANY, et al., Kern County Superior Court Case No. S-1500-CV-254-348;
DIAMOND FARMING COMPANY, and W,M. BOLTHOUSE FARMS, INC., v. CITY OF LANCASTER, et al., Riverside Superior Court Case No. RIC 344436 [ciw case no. RIC 344668 and 355840]
Trial Date: February 11, 2013 Time: 9:00 a.m.
RESPONSE TO DECEMBER 12, 2012 DISCOVERY ORDER FOR PHASE 4 TRIAL
RESPONSE TO DECEMBER J2, 2012 DISCOVERY ORDER FOR PHASE 4 TRIAL
Cross-Defendant Northrop Grumman Corporation ("Northrop") responds to the Court's
December 12, 2012 Discovery Order for Phase 4 Trial ("Discovery Order") as follows.
I. Reservation of Rights
Northrop objects to the Discovery Order's abbreviated discovery period. Until the
December II, 2012, case management conference before the Court, there was no determination
as to the scope of the Phase 4 trial. Prior to the December 11th case management conference,
parties submitted various proposals regarding the scope of the Phase 4 trial, some of which
proposed a trial on discrete issues such as return flows or prescription and would not have
included a "prove-up" of parties' water rights claims. While Northrop responds to its utmost
ability here based on its prior review of its water rights claim and the basis for that claim,
Northrop reserves the right to supplement this response as additional information becomes
available,
II. Response to Section Li of the Discovery Order
A. Northrop owns, occupies, or otherwise controls property in Kern County
identified by the following Assessor Identification Numbers: APN 241-430-05 (6242 Little Oak
Canyon Blvd., Rosamond, CA 93560) (the "Northrop Property").
B. Northrop has been the record title owner for the Northrop Property since at least
2000,
C. A groundwater well existed on the Northrop Property in years 2000-04 and 2011-
12.
D. Two groundwater wells were operated on the Northrop Property in years 2000-04
and 2011-12. These wells are referred to as Ti Upper Well #1 and T.T Lower Well #2.
E. Northrop estimates, based on information currently and reasonably available to it,
its groundwater production for the specified calendar years as provided below. Among other
bases, Northrop's estimate is based on the number, type, and frequency of operation of cooling
units used at the subject property, an estimate flow rate of water from the subject wells of 3 gpm
to 5 gpm depending on the season (summer usage was higher) and the number of employees and
shifts at the subject plant. Northrop's estimated amount of water pumped from the well(s)
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RESPONSE TO DECEMBER I2,2012 D/SCOVERY ORDER FOR PHASE 4 TRIAL
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described above in Section 11,C-D is:
Year AF Y'
2000 3
2001 3
2002 3
2003 3
2004 3,5
2011 1-2
2012 1
F. The water• described above in Section 11.E was utilized for cooling units used in
manufacturing operations at the subject property and domestic uses for on-site employees (e.g.,
restrooms, washing).
G. Northrop does not produce groundwater off-site.
H. The Northrop Property was used for manufacturing operations in 2011 and
decommissioning activities occurred in 2012.
1. The Northrop Property is not utilized for agricultural uses.
J. Northrop claims 3 afy as the reasonable and beneficial use for its property,
III. Response to Section 1.2 of the Discovery Order
A. Northrop does not lease the Northrop Property.
IV. Response to Section 1.3 of the Discovery Order
A. Northrop can make available documents relating to the type and usage of cooling
units, number of employees and shifts, and other equipment and facilities that used water
produced by the subject well(s).
B. Northrop can make available documents relating to the type and usage of cooling
units, number of employees and shifts, and other equipment and facilities that used water
produced by the subject well(s).
/1/
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RESPONSE TO DI3CFNIBE1t 12:2012 DISCOVERY ORDER roll PHASE 4 Ts.[AL
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Dated: December 21, 2012 ALSTON BIRD LL
By: NE L P. MAGUIRE Attorneys for Cross-Defendant Northrop Grumman Corporation.
V. Response to Section V of the Discovery Order
A. Troy Gabbard is the Northrop representative most qualified to testify to the above
facts.
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RESPONSE TO DECEMBER 12.2012 DISCOVERY ORDER FOR PHASE 4 TRIAL,
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T P almdal ilities Site Manager Northrop Grumman Corporation
VERIFICATION
1, Troy Gabbard, declare as fifflows: Ur
o( 6x-uorgi4 S:i=r6 -/KevRactutA.
1 am the f Cross-Defendant Northrop Grumman Corporation and am authorized to
make this Verification on its behalf I have read the foregoing RESPONSE TO DECEMBER
12, 2012 DISCOVERY ORDER FOR PHASE 4 TRIAL ("Discovery Response") and know
the contents thereof. 1 certify that the responses contained in the Discovery Response are true of
my own knowledge, except as to the matters which are therein stated. upon my information and
belief, and as to those matters, I believe them to be true.
I declare under penalty of perjury under the laws of the State of California that the
foregoing is true and correct.
Executed this 20th day of December, 2012 at Palmdale , California.
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PROOF OF SERVICE
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I, Yolanda S. Ramos, declare:
I am employed in the County of Los Angeles, State of California. My business address is Alston & Bird LLP, 333 South Hope Street, Sixteenth Floor, Los Angeles, CA 90071. I am over the age of eighteen years and not a party to the action in which this service is made.
On December 21, 2012,1 served the document(s) described as RESPONSE TO DECEMBER 12, 2012 DISCOVERY ORDER FOR PHASE 4 TRIAL on the interested parties in this action as follows:
❑ BY MAIL: I am "readily familiar" with this firm's practice for the collection and the processing of correspondence for mailing with the United States Postal Service, In the ordinary course of business, the correspondence would be deposited with the United States Postal Service at 333 South Hope Street, Los Angeles, California 90071 with postage thereon fully prepaid the same day on which the correspondence was placed for collection and mailing at the firm. Following ordinary business practices, I placed for collection and mailing with the United States Postal Service such envelope at Alston & Bird LLP, 333 South Hope Street, Los Angeles, California 90071.
Li BY ELECTRONIC MAIL: By posting the document listed above to the Santa Clara Superior• Court website: www.scefiling.org regarding the ANTELOPE VALLEY GROUNDWATER matter.
❑ BY FEDERAL EXPRESS ❑ .UPS NEXT DAY AIR ❑ OVERNIGHT DELIVERY: I deposited such envelope in a facility regularly maintained by ❑ FEDERAL EXPRESS ❑ UPS ❑ Overnight Delivery [specify name of service: ] with delivery fees fully provided for or delivered the envelope to a courier or driver of Cl FEDERAL EXPRESS ❑ UPS ❑ OVERNIGHT DELIVERY [specify name of service:] authorized to receive documents at Alston & Bird LLP, 333 South Hope Street, Los Angeles, California 90071 with delivery fees fully provided for.
21 [State] I declare under penalty of perjury under the laws of the State of California that the above is true and correct.
❑ (Federal] I declare under penalty of perjury under the laws of the United States of America that the foregoing is true and correct,
Executed on December 21, 2012, at Los Angeles, nu
YOLA r A S. RAMO
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THE SUPERIOR COURT OF CALIFORNIA, COUNTY OF SANTA CLARA ELECTRONIC FILING - WWW.SCEFILING.ORG cfo Glotrans 2915 McClure Street Oakland, CA94609 TEL: (510) 208-4775 FAX: (510) 465-7348 EMAIL: Info©Glotrans.com
THE SUPERIOR COURT OF THE STATE OF CALIFORNIA
IN AND FOR THE COUNTY OF SANTA CLARA
Coordination Proceeding Special Title (Rule 1550(b)) ANTELOPE VALLEY GROUNDWATER CASES (JCCP 4408) Included Actions: Los Angeles County Waterworks District No. 40
Plaintiff, vs.
Diamond Farming Co. Superior Court of California County of Los Angeles, Case No. BC 325 201 Los Angeles County Waterworks District No. 40 v. Diamond Farming Co. Superior Court of California, County of Kern, Case No. S-1500-CV-254-348 Wm. Bolthouse Farms, Inc. v. City of Lancaster Diamond Farming Co. v. City of Lancaster Diamond Farming Co. v. Palmdale Water Dist. Superior Court of California, County of Riverside, consolidated actions, Case Nos. RIC 353 840, RIC 344 436, RIC 344 668
Defendant.
Antelope Valley Groundwater Cases (JCCP 4408)
Lead Case No.1-05-CV-049053
Hon. Jack Komar
PROOF OF SERVICE Electronic Proof of Service AND RELATED ACTIONS
I am employed in the County of Alameda, State of California.
am over the age of 18 and not a party to the within action; my business address is 2915 McClure
Street, Oakland, CA 94609.
The documents described on page 2 of this Electronic Proof of Service were submitted via the
worldwide web on Fri. December 21, 2012 at 3:05 PM PST and served by electronic mail notification.
I have reviewed the Court's Order Concerning Electronic Filing and Service of Pleading Documents and
am readily familiar with the contents of said. Order. Under the terms of said Order, I certify the above-described
document's electronic service in the following manner:
The document was electronically filed on the Court's website, http://www.scefiling.org, on Fri. December
21, 2012 at 3:05 PM PST
Upon approval of the document by the Court, an electronic mail message was transmitted to all parties
on the electronic service list maintained for this case. The message identified the document and provided
instructions for accessing the document on the worldwide web.
I declare under penalty of perjury under the laws of the State of California that the foregoing is true and
correct. Executed on December 21, 2012 at Oakland, California.
Dated: December 21, 2012 For WWW.SCEFILING.ORG
Andy Jamieson
THE SUPERIOR COURT OF CALIFORNIA, COUNTY OF SANTA CLARA ELECTRONIC FILING SYSTEM - WWW.SCEFILING.ORG
Electronic Proof of Service Page 2
Document(s) submitted by Edward J. Casey of Alston & Bird LLP on Fri. December 21, 2012 at 3:05 PM PST
1, Response: Response To December 12, 2012 Discovery Order For Phase 4 Trial
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Executed on September 4, 2015, at Los Angeles, Ca
YOL • A S. RAMOS
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PROOF OF SERVICE
I, Yolanda S. Ramos, declare:
I am employed in the County of Los Angeles, State of California. I am over the age of 18 and not a party to the within action. My business address is Alston & Bird LLP, 333 South Hope Street, Sixteenth Floor, Los Angeles, CA 90071.
On September 4, 2015, I served the document(s) described as CROSS-DEFENDANT NORTHROP GRUMMAN SYSTEMS CORPORATION'S AMENDED DISCLOSURE OF EXHIBITS REGARDING PROVE-UP TRIAL RE: [PROPOSED] STIPULATED JUDGMENT AND PHYSICAL SOLUTION on the interested parties in this action by enclosing the document(s) in a sealed envelope addressed as follows:
O BY MAIL: I am "readily familiar" with this firm's practice for the collection and the processing of correspondence for mailing with the United States Postal Service. In the ordinary course of business, the correspondence would be deposited with the United States Postal Service at 333 South Hope Street, Los Angeles, California 90071 with postage thereon fully prepaid the same day on which the correspondence was placed for collection and mailing at the firm. Following ordinary business practices, I placed for collection and mailing with the United States Postal Service such envelope at Alston & Bird LLP, 333 South Hope Street, Los Angeles, California 90071.
El BY ELECTRONIC MAIL: By posting the document listed above to the Santa Clara Superior Court website: www.scefiling.org regarding the ANTELOPE VALLEY GROUNDWATER matter.
❑ BY FEDERAL EXPRESS ID UPS NEXT DAY AIR 0 OVERNIGHT DELIVERY: I deposited such envelope in a facility regularly maintained by 0 FEDERAL EXPRESS CI UPS CI Overnight Delivery [specify name of service: ] with delivery fees fully provided for or delivered the envelope to a courier or driver of 0 FEDERAL EXPRESS 0 UPS ❑ OVERNIGHT DELIVERY [specify name of service:] authorized to receive documents at Alston & Bird LLP, 333 South Hope Street, Los Angeles, California 90071 with delivery fees fully provided for.
O BY FACSIMILE: I telecopied a copy of said document(s) to the following addressee(s) at the following number(s) in accordance with the written confirmation of counsel in this action.
CI [State] I declare under penalty of perjury under the laws of the State of California that the above is true and correct.
O [Federal] I declare under penalty of perjury that the foregoing is true and correct.
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