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HomeMy WebLinkAbout20210318Motion for Leave to Withdraw.pdf;r _- -,i1,, llj I' ; lili t i;*!i, ii,liilrrfi l* *Hll:S8 , ..r.i :.', :;;3 i -ir 'i KEN NAGY (I.S.B. No. 6176) ATTORNEY AT LAW P.O. Box 164 Lewiston,Idaho 83501 Telephone: (208) 301 -0126 Facsimile: (888) 291 -3832 E-mail : knagy@lewiston.com ATTORNEY FOR INTERVENOR INTERMOUNTAIN FAIR HOUSING COLTNCIL, D.lC. BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF SUEZ WATER IDAHO INC.'S APPLICATION FOR AUTHORITY TO INCREASE ITS RATES AND CHARGES FOR WATER SERVICE IN IDAHO CASE NO. SUZ-W-20-02 MOTION FOR LEAVE TO WITHDRAW AS PARTY ) ) ) ) ) ) COMES NOW, the lntermountain Fair Housing Council, Lrc. (hereinafter "IFHC") and hereby moves the Idaho Public Utilities Commission (hereinafter "Commission") for leave to withdraw as a party to this proceeding. This motion is submitted pursuant to Rule 56 of the Rules of Procedure of the Idaho Public Utility Commission (IDAPA $31.01.01.56). IFHC hereby seeks leave to withdraw as a party for the reason that the purpose of its involvement in this proceeding has reached a conclusion. As stated in IFHC's Petition for Leave to Intervene previously filed herein, the purpose of IFHC's participation in this proceeding was to allow it to provide input on the possible violations of the federal Fair Housing Act,42 U.S.C. MOTION FOR LEAVE TO WITHDRAW AS PARTY 1 $3601 et seq., and other laws and regulations which prohibit housing discrimination that will result in the event that the proposed rate increase is approved. IFHC has previously submitted to theCommissionitswrittentestimony of ZoeAnnOlson,theExecutiveDirectorof IFHC. As IFHC has now given the input to the Commission that it wished to provide, its participation in this proceeding is no longer necessary. WHEREFORE, IFHC prays that the Commission grant to it the relief sought in this motion and permit it to withdraw as a party to this proceeding. DATED this l-8th day of March 202r Ken Nagy Digtally signed by Ken Nagy DN: <n=Ken Nagy, o=Attorney at Law ou, .mail=kragy€{ewiJton.com, (=U5 Date 2O2 I .O3-1 8 0q5q38 -O7'0O' KEN NAGY Attorney for IFHC CERTIFICATE OF SERVICE I hereby certify that on tt e lEthduy of March 2021,I caused to be served a full, true, and accurate copy of the foregoing by the method/s indicated below, and addressed to the following: JanNoriyuki Commission Secretary Idaho Public Utilities Commission 11331W. ChindenBlvd. Building 8, Suite 201-A P.O. Box 83720 Boise, lD 83720 Michael C. Creamer Preston N. Carter Givens Pursley LLP Attorneys atLaw 601 W. Bannock St. Boise, lD 83702 MOTION FOR LEAVE TO WITHDRAW AS PARTY [ ] Bv U.S. Mail [x ] By Email to: ian.noriwki@puc.idaho.eov matt. hunter@puc.idaho. gov terri. carlock@puc.idaho. eov I By U.S. Mail ] By Email to: mcc(Esivenspursley.com and prestoncarter@ givenspursley.com t lx 2 DavidNjuguna Suez Water Management & Services 461 From Rd., Suite 400 Paramus, N.J. 07052 [ ] Bv U.S. Mail I x] By Email to: David.niuguna@suez.com Dayn Hardie Deputy Attorney General Idaho Public Utilities Commission 11331W. ChindenBlvd. Building 8, Suite 201-A P.O. Box 83720 Boise, D 83720 [ ] Bv U.S. Mail I x] ny Email to: dayn.hardie@puc.idaho.gov Lorna Jorgensen John Cortabitarte Ada County Prosecuting Attomey's Office Civil Division 200 W. Front St., Room 3191 Boise, D 83702 [ ] Bv U.S. Mail I x] By Email to: ljoreensen@,adacounty.id. eov i cortabitarte@ adacounty. id. eov Mary Grant Deputy City Attorney City of Boise 150 N. Capitol Blvd. P.O. Box 500 Boise, ID 83701-0500 [ ] Bv U.S. Mail [x ] By Email to: mrerant(@.cityofboise.ore Norman M. Semanko Parsons, Behle & Latimer 800 W. Main St., Suite 1300 Boise, ID 83702 [ ] Bv U.S. Mail [x] By Email to: NSemanko@.parsonsbehle.com Boisedocket@parsonsbehle. com Marty Durand Piotrowski Durand, PLLC 1020 Main St., Suite 440 P.O. Box 2864 Boise,ID 83701 [ ] Bv U.S. Mail [x] By Email to: marty@,idunionlaw.com Bard M. Purdy 2019 N. 17ft St. Boise, lD 83702 t lx I By U.S. Mail I By Email to: bmourdy@.hotmail.com MOTION FOR LEAVE TO WITHDRAW AS PARTY 3 Austin Rueschhoff Thorvald A. Nelson 555 17m St., Suite 3200 Denver, CO 80202 [ ] Bv U.S. Mail [x ] By Email to: darueschhoff@hollandhart.com tnelson@hollandhart. com aclee@hollandhart. com glsareanoamari@hollandhart. com Jim Swier Greg Harwood Micron Technology, Inc. 8000 S. Federal Way Boise, lD 83707 [ ] Bv U.S. Mail [x] By Email to: iswigt@.micron.com gbharwood@micron.com Ken Nagy Ogtt {y slgmd by K.n tL{D, ONi m-lcn iL€y, @Attomey rt L.w d,miEkmgyelqrlrt6.@, <drs Dah: m2lO3.lam59:la{7m' Ken Nagy MOTION FOR LEAVE TO WITHDRAW AS PARTY 4