HomeMy WebLinkAbout20260820Notice of Withdrawal from Objection.pdf Tyler R. Whitney, ISB No. 9722
RECEIVED
1455 SW Broadway, Ste. 1500
AUGUST 20,
Portland, OR 97201-3412
IDAHO PUBLI13LI
C
Telephone: (503) 224-3092 UTILITIES COMMISSION
Facsimile: (503) 224-3176
Email: twhitney@cablehuston.com
Attorney for City of Bonners Ferry
Susan P. Weeks, ISB No. 4255
1626 Lincoln Way
Coeur d'Alene, ID 83834
Telephone: (208) 667-0683
Facsimile: (208) 664-1483
Email: sweeks@jvwlaw.net
Attorney for Northern Lights, Inc.
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
In the Matter of the Application of Northern Case No. C 10-E-25-01
Lights, Inc. and the City of Bonners Ferry
for an Order Approving a Service Territory JOINT WITHDRAWAL OF
Agreement between the Applicants APPLICANTS' MOTION TO OBJECT TO
PETITION TO INTERVENE
City of Bonners Ferry, by and through its attorney of record, Tyler R. Whitney of the
firm Cable Huston LLP,and Northern Lights, Inc., by and through its attorney of record,
Susan P. Weeks of the firm James, Vernon & Weeks, P.A., hereby withdraw their
Objection to the Petition to Intervene by Idaho Forest Group LLC ("IFG"), filed on August
25, 2025. The basis for this withdrawal is that the single issue before the Commission is
whether to approve a long-standing territorial agreement, and the pending Idaho
Supreme Court appeal does not warrant delaying this proceeding.
JOINT WITHDRAWAL OF OBJECTION: 1
Therefore, Applicants withdraw their objection and request that the matter
proceed.
Dated this 20th day of August, 2026.
CITY OF BONNERS FERRY
By: /s/Tyler R. Whitney
Tyler R. Whitney
Attorney for City of Bonners Ferry
NORTHERN LIGHTS, INC.
By: /s/Susan P. Weeks
Susan P. Weeks
Attorney for Northern Lights, Inc.
JOINT WITHDRAWAL OF OBJECTION: 2
CERTIFICATE OF SERVICE
I hereby certify that I have this 20th day of August 2026 served the foregoing Joint
Withdrawal of Applicants' Motion to Object to Petition to Intervene, in Case No. C10-E-25-01,
by emailing a copy thereof to the following:
Commission Secretary Idaho Forest Group
Idaho Public Utilities Commission Andrew P. Moratzka
427 W. Washington Street Stoel Rives LLP
Boise, ID 83702 33 South 6ih Street
secretary@puc.idaho.gov Minneapolis, MN 55402
andrew.moratzka@stoel.com
Commission Staff W. Christopher Pooser
Alaina Harrington
Erika K. Melanson Stoel Rives LLP
Idaho Public Utilities Commission 101 S. Capitol Blvd., Suite 1900
P.O. Box 83720 Boise, ID 83702
Boise, ID 83720-0074 christopher.pooser@stoel.com
erika.melanson@puc.idaho.gov alaina.harrington@stoel.com
s/ Tammi Broskoski
Tammi Broskoski
Legal Assistant to Tyler R. Whitney
CERTIFICATE OF SERVICE