HomeMy WebLinkAbout20061027Motions Pro Hac Vice.pdfMary S. Hobson
Attorney & Counselor
999 Main, Suite 1103
Boise, ill 83702
208-385-8666
RECEIVED
2006 OCT 27 PH~: 35
If MhO PUPI ii"
UTILITIES COi~1i'1iSSIOt,
October 27, 2006
VIA HAND DELIVERY
Jean D. Jewell, Secretary
Idaho Public Utilities Commission
472 West Washington
Boise, ID 83702-5983
RE:Docket No. QWE-O6-
Dear Ms. Jewell:
Enclosed for filing with this Commission are an original and seven (7) copies of the Motions
Pro Hac Vice for Doug Nazarian, and Peter Spivack. If you have any questions, please contact
me. Thank you for your cooperation in this matter.
Very truly yours
~~
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Enclosurescc: Service List
Boise-193000.1 0061273-00018
Mary S. Hobson (ISB. No. 2142)
999 Main, Suite 1103
Boise, ID 83702
Tel: 208-385-8666
mary .hobson~qwest.com
RECEIVED
2006 OCT 27 PM L,:
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Douglas R. M. Nazarian
Hogan & Hartson
111 South Calvert Street
Baltimore, MD 21202
Tel: (410) 659-2700
drmnazarian~hhlaw. com
Attorneys for Qwest Corporation
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
AT &T COMMUNICATIONS OF
THE MOUNTAIN STATES, INC.,
Complainant
VS.
QWEST CORPORATION
Respondent
Docket No. QWE-O6-
MOTION FOR ADMISSION PRO HAC VICE
The undersigned Local Counsel petitions this Commission for admission of the
undersigned Applying Counsel, pursuant to Idaho Bar Commission Rule 222 and Idaho
Public Utilities Commission Rule of Procedure 43 , for the purpose of the above-
captioned matter.
MOTION FOR ADMISSION PRO HAC VICE
- 1 -
Applying Counsel certifies that he is an active member, in good standing, of the
bar of the State of Maryland, that he maintains the regular practice of law at the above-
noted address, and that he is not a resident of the state ofIdaho. Applying Counsel
certifies that he has not previously been admitted under IBCR 222.
Both undersigned counsel certify that a copy of this motion has been served on all
other parties to this matter and that a copy of the motion, accompanied by a $200 fee, has
been provided to the Idaho State Bar.
Local Counsel certifies that the above information is true to the best of her
knowledge, after reasonable investigation. Local Counsel acknowledges that her
attendance shall be required at all Commission proceedings in which Applying Counsel
appears, unless specifically excused by the Commission.
Dated this 12th day of October, 2006.
Applying Counsel Local Counsel
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MOTION FOR ADMISSION PRO HAC VICE
- 2 -
Mary S. Hobson (ISB. No. 2142)
999 Main, Suite 1103
Boise, ID 83702
Tel: 208-385-8666
mary .hobson~qwest.com
RECEIVED
200& OCT 27 PM 4: 39
If'('\-(' \Jljbl
UTIU'i-'IES' co'MfAISSIOI'
Peter A. Rohrbach
Hogan & Hartson
555 Thirteenth Street, NW
Washington, D.C. 20004
Tel: (202) 637-5600
parohrbach~hhlaw. com
Attorneys for Qwest Corporation
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
AT&T COMMUNICATIONS OF
THE MOUNTAIN STATES, INC.,
Complainant
VS.
QWEST CORPORATION
Respondent
Docket No. QWE-O6-
MOTION FOR ADMISSION PRO HAC VICE
The undersigned Local Counsel petitions this Commission for admission of the
undersigned Applying Counsel, pursuant to Idaho Bar Commission Rule 222 and Idaho
Public Utilities Commission Rule of Procedure 43, for the purpose of the above-
captioned matter.
MOTION FOR ADMISSION PRO HAC VICE
- 1 -
Applying Counsel certifies that he is an active member, in good standing, ofthe
bar of the District of Columbia, that he maintains the ~egular practice of law at the above-
noted address, and that he is not a resident of the state ofIdaho. Applying Counsel
certifies that he has not previously been admitted under IBCR 222.
Both undersigned counsel certify that a copy of this motion has been served on all
other parties to this matter and that a copy of the motion, accompanied by a $200 fee, has
been provided to the Idaho State Bar.
Local Counsel certifies that the above information is true to the best of her
knowledge, after reasonable investigation. Local Counsel acknowledges that her
attendance shall be required at all Commission proceedings in which Applying Counsel
appears, unless specifically excused by the Commission.
Dated this 16th day of October, 2006.
Applying Counsel Local Counsel
t... (fcC.
MOTION FOR ADMISSION PRO HAC VICE
- 2 -
Mary S. Hobson (ISB. No. 2142)
999 Main, Suite 1103
Boise, ID 83702
Tel: 208-385-8666
mary .ho bson~qwest.com
RECEIVED
2ufi5 OCT 27 PM 4: 39
irhO ''Ur \C ".If'" ,
UTILlT\t.S CQiV\;i
'dS~lUi
Peter S. Spivack
Hogan & Hartson
555 Thirteenth Street, NW
Washington, D.C. 20004
Tel: (202) 637-5600
psspivack~hhlaw.com
Attorneys for Qwest Corporation
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
AT &T COMMUNICATIONS OF
THE MOUNTAIN STATES, INC.,
Complainant
VS.
QWEST CORPORATION
Respondent
Docket No. QWE-O6-
MOTION FOR ADMISSION PRO HAC VICE
The undersigned Local Counsel petitions this Commission for admission of the
undersigned Applying Counsel, pursuant to Idaho Bar Commission Rule 222 and Idaho
Public Utilities Commission Rule of Procedure 43, for the purpose of the above-
captioned matter.
MOTION FOR ADMISSION PRO HAC VICE
- 1 -
Applying Counsel certifies that he is an active member, in good standing, of the
bar of the District of Columbia, that he maintains the regular practice of law at the above-
noted address, and that he is not a resident of the state ofldaho. Applying Counsel
certifies that he has not previously been admitted under IBCR 222.
Both undersigned counsel certify that a copy of this motion has been served on all
other parties to this matter and that a copy of the motion, accompanied by a $200 fee, has
been provided to the Idaho State Bar.
Local Counsel certifies that the above information is true to the best of her
knowledge, after reasonable investigation. Local Counsel acknowledges that her
attendance shall be required at all Commission proceedings in which Applying Counsel
appears, unless specifically excused by the Commission.
Dated this 10th day of October, 2006.
Applying Counsel Local Counsel
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Peter S. Spivack
i-bt--
MOTION FOR ADMISSION PRO HAC VICE
- 2 -
Mary S. Hobson (ISB. No. 2142)
999 Main, Suite 1103
Boise, ID 83702
Tel: 208-385-8666
mary.hobson~qwest.com
RECEIVED
ZOOo OCT 27 PM 4: 40
1\1 0 PlJ:bL\C 'in! i ,
;" '
810UTIUT\E~3 CON\lVi ~
Thomas J. Widor
Hogan & Hartson
555 Thirteenth Street, NW
Washington, D.C. 20004
Tel: (202) 637-5600
tiwidor~hhlaw.com
Attorneys for Qwest Corporation
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
AT&T COMMUNICATIONS OF
THE MOUNTAIN STATES, INC.,
Complainant
VS.
QWEST CORPORATION
Respondent
Docket No. QWE-O6-
MOTION FOR ADMISSION PRO HAC VICE
The undersigned Local Counsel petitions this Commission for admission of the
undersigned Applying Counsel, pursuant to Idaho Bar Commission Rule 222 and Idaho
Public Utilities Commission Rule of Procedure 43 , for the purpose of the above-
captioned matter.
MOTION FOR ADMISSION PRO HAC VICE
- 1 -
Applying Counsel certifies that he is an active member, in good standing, of the
bar of the District of Columbia, that he maintains the regular practice of law at the above-
noted address, and that he is not a resident of the state ofldaho. Applying Counsel
certifies that he has not previously been admitted under IBCR 222.
Both undersigned counsel certify that a copy of this motion has been served on all
other parties to this matter and that a copy of the motion, accompanied by a $200 fee, has
been provided to the Idaho State Bar.
Local Counsel certifies that the above information is true to the best of her
knowledge, after reasonable investigation. Local Counsel acknowledges that her
attendance shall be required at all Commission proceedings in which Applying Counsel
appears, unless specifically excused by the Commission.
Dated this 16th day of October, 2006.
Applying Counsel Local Counsel
~FJ.
~~~
MOTION FOR ADMISSION PRO HAC VICE
- 2 -
CERTIFICATE OF SERVICE
I do hereby certify that a true and correct copy of the foregoing Motions Pro Hac Vice
for Doug Nazarian and Peter Spivack were served on the 27th day of October, 2006 on the
following individuals:
Jean D. Jewell
Idaho Public Utilities Commission
472 West Washington Street
O. Box 83720
Boise, ill 83702
Telephone (208) 334-0300
Facsimile: (208) 334-3762
i i ewell~J'uc.state.id. us
Hand Delivery
U. S. Mail
Overnight Delivery
Facsimile
Emai1
Molly O'Leary
Richardson & O'Leary
515 North 27th Street
O. Box 7218
Boise, Idaho 83707
mo 11 y(~xichardsonando 1 earv. com
Theodore A. Livingston
Dennis G. Friedman
Mayer, Brown, Rowe & Maw LLP
71 South Wacker Drive
Chicago, IL 60606-4637
dfri edman~maYerbrown. com
Hand Delivery
U. S. Mail
Overnight Delivery
Facsimile
Email
Hand Delivery
U. S. Mail
Overnight Delivery
Facsimile
---1L Emai1
Dan Foley
General Attorney & Assistant General Counsel
AT&T West
O. Box 11010
Reno, Nevada
df6929~att.com
Hand Delivery
U. S. Mail
Overnight Delivery
Facsimile
Email---1L
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Mary S obson
Attorney for Qwest Corporation