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Skip Navigation LinksHome > History and Archives > Finding Aids and Inventories > State and Local Government Records > Arizona vs California > Briefs and Memoranda

RG 95
Arizona vs California

Records Pertaining to the Supreme Court Case

SG 9
Briefs and Memoranda

Accn. # Unknown

Box: Folder Description Dates
36:513 Brief of Complainant in Opposition to Motions to Dismiss the Bill of Complaint 1930
36:514 Motion for Leave to File Bill of Complaint and Bill of Complaint 1930
36:515 Brief of Complainant State of Arizona in Support of its Motion for Leave to File Bill to Perpetuate Testimony and in Answer to Briefs Filed in Support of Objections Thereto 1933
36:516 Response of Defendant Harold L. Ickes to the Rule to Show Cause, and Brief in Support Thereof 1933
36:517 Return to Rule to Show Cause Why Restraining Order Should Not Issue, Consisting of Affidavit of Governor of Arizona and Motion to Dismiss Bill, with Supporting Brief 1934
36:518 Return of Defendants to Rule to Show Cause and Brief in Support of Return 1952
36:519 Reply to Defendants Answer 1952
37:520 Answer of Defendants to Bill of Complaint 1952
37:521 Motion for Leave to File Bill of Complaint and Bill of Complaint 1952
37:522 Motion on Behalf of the United States for Leave to Intevene and Brief in Support of Motion 1952
37:523 Motion of Colter Water Project Association, Inc., for Leave to File Brief Amicus Curiae 1952
37:524 Appendixes to the Answer 1952
37:525 Response of Arizona to Memorandum of United States Requesting Pre-Trial Conference 1953
37:526 Response of the Complainant the State of Arizona to Motion of State of Nevada for Leave to Intervene 1953
37:527 Memorandum re Issues Affecting the Federal Government 1953
37:528 Brief of New Mexico Opposing Motion of California to Join as Parties the States of Colorado, New Mexico, Utah, and Wyoming 1954
37:529 Response of Complainant State of Arizona to Defendants Motion to Join as Parties the States of Colorado, New Mexico, Utah, and Wyoming 1954
37:530 Special Master's Report on the Motion of the California Defendants to Join as Parties the States of New Mexico, Utah, Colorado, and Wyoming 1954
37:531 Memoradum of Arizona (a) in Reply to the Motionof the US for Preliminary Determination of Questions of Law; and (b) in Reply to California's and Nevada's Exceptions to the Master's Report on the Question of Joinder of Four States 1955
37:532 Petition for Rehearing of Decision Denying Motion to Join the States of Colorado, New Mexico, Utah, and Wyoming 1955
37:533 Pre-Trial Order 1955
37:534 Statement on Behalf of the California Defendants 1955
37:535 Statement of the Issues as Submitted by the California Defenders for the Pre-Trial Conference at San Francisco April 10-13, 1956 1955
37:536 Opening Statement of Mr. John H. Moeur, Chief Counsel, Arizona Interstate Stream Commission 1955
37:537 Answer and Objections to Request for Admissions and Notice 1955
37:538 Response of the State of Arizona to Request of California Defendants for Admissions 1955
37:539 Affidavit in Response to Affidavit in Opposition to Motion 1955
37:540 Motion for Order to Permit Inspection and Copying or Photographing of Documents and Records and Notice 1955
37:541 Interrogatories Addressed to the Complainant, the State of Arizona, by the California Defendants, Sets no. 1 and no. 2 and Answers to Set no. 3 1955
37:542 Amended Answers of the State of Arizona to Interrogatories Addressed to the Complainant, the State of Arizona, by the California Defendants, Sets no. 1 and no. 2 and Answers to Set no. 3 1955
37:543 Notice of Motion and Motion of the California Defendants for Production of Document by the State of Arizona 1955
37:544 Memorandum of Position of Arizona 1955
37:545 Opening Statement on Behalf of Defendant State of California by Northcutt Ely 1956
37:546 Petitioners 1956
37:547 Response by United States, Intervenor, to Motion for Leave to File Representation of Interest and Representation of Interest by the Colorado River Indian Reservation, Arizona and California; [and many other Indian Tribes] 1956
37:548 Appropriative Rights of the California Defendants are not Invalid by Reason of the Navigable Character of the Lower Colorado River 1956
37:549 Legislative History of Sections 4(a), 5 (1st Paragraph), and 8, Boulder Canyon Project Act 1956
37:550 Availability of Article III(b) Waters for Use in California: Legislative history of Section 4(a) of Boulder Canyon Project Act (Limitation Provision); Bills, Amendments, and Debates in Chronological Order 70th Cong., 1st and 2d Sess. (1927-1928) 1956
37:551 General Memorandum re Waste in the Diversion and Application of Water 1956
37:552 Interrogatories Addressed to the Complainant the State of Arizona by the California Defendants Set no. 4 (Aug. 23, 1957) 1956
37:553 General Memorandum re Reserved Powers of United States in Navigable Waters 1956
37:554 Amended and Supplemental Statement of Position by Complainant, State of Arizona 1956
37:555 General Memorandum re Salvage of Water in the Western States 1956
37:556 Memorandum re Authority of Master to Allow Amendments of Pleadings 1957
37:557 Description of Arizona Exhibit 336 (the Arizona Silver City Deposition of August 4, 1958) and the Arizona Exhibits Tendered Therein 1957
37:558 Tentative Outline of Rebuttal Witnesses for Arizona, List no. 2 1957
37:559 bjections of the State of Arizona to New Mexico Exhibits Purporting to be Ex Parte "Declarations of Surface Water Rights Purportedly Perfected Prior to Enactment of the New Mexico Water Code and Memorandum in Support Thereof 1957
37:560 Objections of the State of Arizona to New Mexico Exhibits and Testimony Relating to Lands and Water Rights in the Virden Valley of New Mexico Covered by Arizona's Exhibit 103 in Evidence--The Gila River Globe Equity Decree 1957
37:561 bjections of the State of Arizona to New Mexico Exhibits which are Mere "Permits to Appropriate Underground Waters 1957
37:562 Objections of the State of Arizona to Interrogatories by the California Defendants Set no. 5 1957
37:563 Further Answers by Complainant, State of Arizona, to California Interrogatories B-2, B-6, C-1 and C-2 1957
37:564 Brief in Reply to Briefs Filed by California Defendants and the United States Respecting Arizona's Request for Admissions 1957
37:565 Objections and Answers to Interrogatories and Notice of Hearing 1957
37:566 emorandum of the California Defendants in Answer to Arizona's "Objections and Answers to Interrogatories Dated September 6, 1957 and Notice of Motion and Motion of the California Defendants to Require Further Answers of the State of Arizona to Interrogatory M-2 and Memorandum in Support of Motion 1957
37:567 Objections and Answers to Interrogatories Address to the Defendant Imperial Irrigation District by the Complainant the State of Arizona and Notice of Hearing 1957
37:568 Interrogatories Addressed to the Complainant the State of Arizona by the California Defendants, Set no. 5 (Oct. 23, 1957) 1957
37:569 Notice of Motion and Motion by California Defendants for Order Directing Intervener the United States to Produce and Permit Inspection and Copying or Photographing of Documents and Records and Memorandum in Support of Motion 1957
37:570 Answers by the Defendant Imperial Irrigation District to Interrogatories 2-A and 3-A Dated October 10, 1957 1957
37:571 Request for Admissions of Fact 1957
37:572 Memorandum re Use of the Minutes of the Colorado River Compact Commission as an Extrinsic Aid in Interpreting the Colorado River Compact and Appendix 1957
37:573 Brief of Defendant Imperial Irrigation District on Non-Applicability of Land Limitation Provisions to Imperial Irrigation District 1957
37:574 Memorandum in Response to Brief of Arizona, Dated Feb. 15, 1958, and Brief of the United States, Dated Feb. 28, 1958, Relating to Arizona's Request for Admissions in Respect of Landownerships in Imperial Irrigation District 1957
37:575 Memorandum in Support of the California Defendants' Objection to US Temporary Exhibits nos. 1 and 2, Maps of the Fort Mohave Indian Reservation, From the Atlas of Maps (Special Master's Exhibit no. 12) 1957
37:576 Memorandum in Support of the California Defendants' Objection to US Temporary Exhibits nos. 3 and 4, Maps of the Fort Mohave Indian Reservation, From the Atlas of Maps (Special Master's Exhibit no. 12) 1957
38:577 California Defendants' Objections to Arizona's Request for Admission of Facts 1957
38:578 emorandum in Answer to "Notice of Hearing and Objections by the United States to Motion to Produce by California Defendants Dated Dec. 23, 1957 1957
38:579 Notice of Motion and Motion for Order Directing the Taking of Depositions of Employees of the United States and Production of Documents 1957
38:580 Brief in Support of California Defendants' Objections to Arizona's Request for Admission of Facts Related to Individual Landownership Within Imperial Irrigation District 1957
38:581 Appendixes to Brief in Support of California Defendants' Objections to Arizona's Request for Admission of Facts Related to Individual Landownership Within Imperial Irrigation District 1957
38:582 Interrogatories Address to the Defendant Imperial Irrigation District by the Complainant State of Arizona 1957
38:583 Opening Brief for Arizona 1958
38:584 Reply Brief of Defendant Imperial Irrigation District on Non-Applicability of Land Limitation Provisions to Imperial Irrigation District 1958
38:585 Memorandum of California Defendants re Fort Mohave Indian Reservation Boundary 1958
38:586 Tentative outline of Witnesses for the California Defendants Fort Mohave Indian Reservation and Colorado River Indian Reservation Boundary Controversies Week of Aug. 11, 1958 1958
38:587 Consent of the California Defendants to the Filing of Amicus Curiae Briefs by Yuma County Water Users Association.... 1958
38:588 Tentative Outline of Witnesses for the California Defendants Rebuttal and Surrebuttal, First List 1958
38:589 Tentative Outline of Witnesses for the California Defendants Rebuttal and Surrebuttal, Second List 1958
38:590 Simon H. Rifkind, Special Master, Draft Report 1959
38:591 Amicus Curiae Brief of Yuma County Water Users Association.... 1959
38:592 Motion to Reopen Trial for the Taking of Evidence re Depletion of the CR at Lee Ferry by the Upper Basin and in Support of Motion 1959
38:593 Reply Brief of the United States of America 1959
38:594 Rebuttal Brief of the United States of America 1959
38:595 Brief in Support of Findings of Fact and Conclusions of Law by the United States 1959
38:596 Findings of Fact and Conclusions of Law Proposed by the United States 1959
38:597 Opening Brief for Arizona 1960
38:598 Arizona's Legislative History of Sections 4(a), 5 (1st Paragraph), and 8 of the Boulder Canyon Project Act 1960
38:599 Reply Brief for the United States 1961
38:600 Answering Brief for the United States 1961
38:601 Reply Brief of the California Defendants to the Answering Briefs of the United States, Arizona, and Nevada 1961
38:602 Contract Between the State of California Department of Water Resources and the Metropolitan Water District of Southern California for a Water Supply 1961
38:603 Opinion of Justice Black 1962
38:604 Dissent in Part of Justices 1962
38:605 Dissent of Justice Douglas 1962
38:606 Memorandum of the United States Respecting Certain Proposals for Inclusion in Decree 1963
38:607 Decree 1964
38:608 New Mexico's Objections to Certain Requested Findings of Fact and Conclusions of Law of Arizona, California, Nevada, and the United States n.d.
38:609 New Mexico's Rebuttal Brief n.d.

 

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Updated:  05/08/2009