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HomeMy WebLinkAbout20260105Comments_2.pdf The following comments were submitted via PUCWeb: Name: David Unruh Submission Time: Jan 42026 9:12PM Email: david unruh(@hotmaiL.com Telephone: 209-605-2723 Address: 106 Hanaford Rd Blanchard, ID 83804 Name of Utility Company: CDS Stoneridge Utilities, LLC. Case ID: SWS-W-25-02 Comment: "I want to express my concern regarding CDS Stoneridge Utilities requesting a 38% increase in water rates. Theyjust implemented a significant increase that was allowed by the IPUC and now are requesting another increase on top of the one they just received. Part of the excuse is that they lost revenue when the golf course quit purchasing water from CDS Stoneridge because they put in a well. The fact is that both the golf course and CDS Stoneridge Utilities are owned by Mr. Chan Karupiah so in reality he hasn't lost revenue, but rather he is taking money out of one pocket and placing it in another pocket. Many of the people in Stoneridge and the surrounding area are on fixed incomes and Mr Karupiah, it would appear, wants us to foot the bill for his business decision to put a well on the golf course. I don't believe that the residents of Stoneridge should have to suffer the costs incurred by the golf course putting in a well when in the long run they will save money by not having to purchase water from CDS Stoneridge. Even though Mr. Karupiah creatively may show a loss in his books for CDS Stoneridge Utilities, he is saving money in his other company, the Golf Course, and using the so called "loss of revenue"from his water company to try and increase our water rates. I believe this is unfair and ask the IPUC to take into consideration Mr. Karupiah's past actions when making their decision on whether or not to allow this increase. Thankyou" ------------------------------------------------------------------------------------------------------------------ 1 Name: Bob Rapalli Submission Time: Jan 42026 9:43PM Email: bobcathryn@outlook.com Telephone: 208-659-1330 Address: 179 Forest Ridge Rd Blanchard, ID 83804 Name of Utility Company: CDS Stoneridge Utilities Case ID: SWS-W-25-02 Comment: "As we understand it, once again, CDS Stoneridge Utilities is seeking an exorbitant water rate increase of 43%. effective 02/01/2026. (suspended-pending)This comes after a substantial rate increase in 2025. A letter signed by Kyle Karupiah/CDS Stoneridge Utilities dated 12/02/2025 listed various reasons in asking for this water rate increase. Among them legal fees incurred with the last rate increase request, a loss of approximately$65,000 gross revenue from the Stoneridge Golf Course and addressing deficiencies identified by DEQ. Why should any of these costs to past onto the consumers? The Stoneridge Golf Course and CDS Utilities are owned by the same person who surely would have known by putting wells in to irrigate the golf course he would be losing revenue from the water(utility) company. According to the letter mentioned above "For these reasons,you are encouraged to weigh whether the cost incurred by the use of an intervenor, will result in the desired outcome you seek. " We are not sure what'outcome we seek' means. Obviously a 43% increase is not in any customer's best outcome. Businesses need to make a profit but when decisions are made that financially impact the business and then said business wants to pass that burden onto their customer base by price gouging it is certainly not a 'best outcome' for the customer. " ------------------------------------------------------------------------------------------------------------------ 2 From: Bob and Cathryn R <bobcathryn@outlook.com> Sent:Wednesday, March 11, 2026 6:04 PM To: secretary<secretary@puc.idaho.gov> Cc: Kevin Maxwell<kevin.maxwell@puc.idaho.gov> Subject: Please add this to our comment Could you please add the attached letter(2 pages)to our Case Comment for Case No. SWS-W-25-02. Thankyou, Bob and Cathryn Rapalli 2 December 2,2025 To: Stuart Van Horn,SPOA President Cindy Thomas,JMBCA Subject:Notice of Filing Application to Increase Rates for CDS StoneRidge Utilities,LLC On December 1,2025,CDS StoneRidge Utilities("the water company")has filed an application with the Idaho Public Utilities Commission(IPUC),case No.SWS-W-25-02,requesting that the Commission grant it permission to increase the minimum monthly user fees and commodity fees to become effective February 1,2026.This filing is subject to public review and an IPUC decision before it can take effect. The water company wishes to make you aware that this filing has just taken place.In the rate case application,CDS StoneRidge Utilities LLC is proposing an overall revenue increase of 43% be applied to all classes of customers(all meter sizes)plus a minimal CPI increase in rent and labor.This change would equate to an increase of$10.61/month for users with a%inch meter. In order for the water company to operate in a manner that allows it to continue to supply clean,safe drinking water to all its consumers,it must pursue this application which addresses primarily three issues: 1) Required CDS StoneRidge Utilities corrective actions resulting from significant deficiencies identified by the Department of Environmental Quality(DEQ)when a sanitary survey of the CDS StoneRidge Utilities water system was performed on July 17, 2025.(The Idaho Rules for Public Drinking Water Systems require sanitary surveys of water systems every 3 to 5 years).The significant cost drivers resulting from the survey were: (a)the need to repair a leak in the storage reservoir tank, (b)the need for auxiliary(back-up)power at the primary wellhouse for continuous operation of the water system in the event of a power outage which could potentially cause system depressurization resulting in contamination of the drinking water, (c)the need to install a means to isolate the storage facility without causing a loss in pressure in the distribution system when a tank is taken offline for cleaning and repairs, (d)professional cleaning of water storage tanks,ensuring public health is protected. 2) To make up for the loss of approximately$65,000 in gross revenue from the StoneRidge Golf Course irrigation system.The Golf Course—a significant consumer of the CDS StoneRidge Utilities water system—has installed its own well and will no longer be purchasing 40%of the annual gross water volume that is currently sold by CDS StoneRidge Utilities LLC. 3 3) To address the DEQ loan that CDS StoneRidge Utilities LLC acquired from Bridge Partners, the previous owner of the water system,in November 2018.The DEQ loan is currently in default due to the previous owner's decision to not apply funds collected to the existing debt and due to CDS StoneRidge Utilities inability to apply funds to this loan once the debt was uncovered at the expiration of the Happy Valley surcharge,because there was a shortfall in funds being collected from the water system customers. CDS StoneRidge Utilities has been in negotiations with DEQ to extend the loan maturity date.The account has been accelerated from a 30-year recovery period to a 7-year amortization schedule by the water company,to provide solvency to service the revised loan payment.Based on this schedule,the loan maturity date would be extended 17 months,making the loan payoff date June 1,2029. CDS StoneRidge Utilities LLC believes it prudent to share with you that in the previous rate case submittal,a considerable amount of money was spent on legal fees as a result of intervenors that opted to participate in the legal proceedings.Intervenors are typically involved in cases such as this,when they believe they could potentially have a significant impact in the case's outcome(i.e.:reduce the impact of the rate case application to its users). The cost of intervenors,in the 2025 CDS StoneRidge Utilities LLC rate case,was a staggering $31,000.This cost,as you may or may not be aware,is passed on to the water system consumer as an allowable expense,as a rate case line item in a follow-on rate case.For these reasons,you are encouraged to weigh whether the cost incurred by the use of an intervenor,will result in the desired outcome you seek. As a part of this overall process,CDS StoneRidge Utilities LLC wishes to propose a settlement conference take place where the data is presented to all parties and we could amicably work through our differences and come to a joint agreement that generally works for all those impacted. A copy of our application will be on file and available for inspection at the IPUC office in Boise on December 1,2025 or very soon thereafter,and online at the Commission website: www.puc.idaho.eov. If you have questions or wish further explanation of the information contained herein,please don't hesitate to reach out to Kyle Karupiah at utililties@stoneridseidaho.com. Sincerely, xt* �aw#44 CDS StoneRidge Utilities,LLC 4