Rather than repeat the work of others in this area, this paper merely cites with approval the recent paper of Michael Booth3 for its presentation of the background and current status of the law, including TCEQ’s regulations and the ongoing case4 challenging the existing TCEQ water call regulations and their application. The Author ex- presses no view regarding the paper’s presentation of Mr. Booth’s views with respect to the legality or appropriateness of these regula- tions or his views on this case. The Author notes in passing that the second sentence in Section D of this paper should read in part, “A priority call made by The Dow Chemical Company (‘Dow’) on No- vember 14, 2012.” Any similarities between the views of Mr. Booth and those of the Author may not be entirely coincidental, but they are both independent and beyond the scope of this paper.
Investment Impact of Water Reliability—Recent Dow Experience,
Tex. A&M J. Prop. L.
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