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HomeMy WebLinkAbout20230728Motion to Set Supplemental Comment Deadline.pdfSTAFF’S MOTION TO SET SUPPLEMENTAL COMMENT DEADLINES - 1 CLAIRE SHARP DEPUTY ATTORNEY GENERAL IDAHO PUBLIC UTILITIES COMMISSION PO BOX 83720 BOISE, IDAHO 83720-0074 (208) 334-0357 IDAHO BAR NO. 8026 Street Address for Express Mail: 11331 W CHINDEN BLVD, BLDG 8, SUITE 201-A BOISE, ID 83714 Attorney for the Commission Staff BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF NOTICE BY MILLENNIUM NETWORKS, LLC TO THE COMMISSION OF THE ASSETS ACQUISITION OF CTC TELECOM, INC. ) ) ) ) ) ) ) CASE NOS. CTL-T-23-03 MNL-T-23-01 STAFF’S MOTION TO SET SUPPLEMENTAL COMMENT DEADLINES STAFF OF the Idaho Public Utilities Commission (“Staff”), by and through its Attorney of record, Claire Sharp, Deputy Attorney General, respectfully requests the Commission establish supplemental public comment deadlines and vacate the reply comment deadlines established for Millennium Networks, LLC (“Millennium”) and CTC Telecom, Inc., (“CTC”) (collectively “Companies”) to reply and set a new reply deadline. This motion is based on the following: 1. Commission Order No. 35852 established a July 27, 2023, deadline for public comments and August 3, 2023 deadline for the Companies’ reply. Staff submitted requests for information of both Companies following the Commission’s Order. The Companies independently reached out to Staff’s Counsel and asked for additional time to respond to Staff’s requests for information. In addition, CTC expressed concerns about the relevance of information requested and wished to discuss those concerns with Staff. Staff is meeting with the Companies on July 31, 2023, to resolve these issues. RECEIVED Friday, July 28, 2023 11:46:25 AM IDAHO PUBLIC UTILITIES COMMISSION STAFF’S MOTION TO SET SUPPLEMENTAL COMMENT DEADLINES - 2 2. On July 27, 2023, Staff filed comments reflecting its position based on the information it had reviewed, but not reflective of the information it would like to review to develop its full position. Staff considers these preliminary comments which it would like to later supplement. 3. Because Staff believes that resolving the discovery issues are necessary to the proceedings and will facilitate an accurate and complete record for the Commission to consider, Staff’s Counsel conferred with the Companies and proposed establishing supplemental public comment and reply deadlines. 4. Staff proposes that the Commission issue an order establishing supplemental public comment and reply deadlines to allow the Parties to fully respond to and review discovery. Staff believes this will help create a robust record for the Commission to make its decision upon. 5. Therefore, Staff respectfully asks the Commission issue an order consistent with this request. Respectfully submitted this 28th day of July 2023. ________________________________ Claire Sharp Deputy Attorney General STAFF’S MOTION TO SET SUPPLEMENTAL COMMENT DEADLINES - 3 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on this 28th day of July 2023, I served the foregoing STAFF’S MOTION TO SET SUPPLEMENTAL COMMENT DEADLINES, in Case Nos. CTL-T-23-03 and MNL-T-23-01 , via Electronic Mail to the following: Cynthia A. Melillo Cynthia A. Melillo, PLLC cam@camlawidaho.com Elizabeth A. Koeckeritz Givens Pursley LLP eak@givenspursley.com ______________________________ Keri J. Hawker Legal Administrative Assistant I:\Legal\TELECOM\CTLT2303_MNLT2301\CTLT2303_MNLT2301_mtn supp comm_cs.docx