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HomeMy WebLinkAbout20080110ICIP to IPC 1-2, 12.pdfPeter 1. Richardson ISB # 3195 RICHARDSON &, O'LEARY PLLC 515 N. 27th Street Boise, Idao 83702 Telephone: (208) 938-7901 Fax: (208) 938-7904 peter~chardsonandolear.com zmìû JAN Î 0 II:! í Attrneys for the Industral Customers of Idao Power BEFORE THE IDAHO PUBLIC UTILITIES COMMSSION IN THE MATTER OF THE APPLICA nON ) OF IDAHO POWER COMPANY FOR ) AUTORITY TO INCREASE ITS RATES ) AND CHAGES FOR ELECTRIC SERVICE ) TO ELECTRIC CUSTOMERS IN THE STATE ) OF IDAHO. ) CASE NO. IPC-E-07-08 SUPPLEMENTAL RESPONSE OF THE INUSTRI CUSTOMERS OF IDAHO POWER TO IDAHO POWER COMPANY'S FIRST REQUEST FOR PRODUCTION Puruat to Rule 225 of the Rules of Procedur of the Idaho Public Utilities Conission (the "Commission"), the Industral CustomersofIdaho Power (IClP), by and though their attorney of record, Peter J. Richardson, hereby provides the followig supplementa responses to Idaho Power Company's First Production Request: REQUEST NO.1: Please identify the corporations, individuas and other business entities that are the members of the Industral Customers of Idao Power. RESPONSE TO REQUEST NO 1: Amalgamated Sugar Company, Ash Grove Cement Company, Basic American Foods, Crookham Company, CTI Foods, HewlettPackard Company, J. It Simplot Company, Lamb-Weston, Inc. (American Falls), Lamb-Weston Inc. (Twi Falls). 1 - ICIP SUPPLEMENTAL RESPONSE TO IDAHO POWER'S FIRST PRODUCTION REQUEST IPC-E..7 -08 REQUEST NO.2: From the list of the members of the ICIP provided in response to Request No.1, please identify the members that have reviewed and approved the testimony Dr. Reading has filed in ths case. RESPONSE TO REQUEST NO. 12: All members were provided a sumar of Dr. Reading's testiony and exhbits and given an opportty to comment at a meeting held for that purse. The were no objections lodged to the sumar and exhbits. REQUEST NO. 12: Please provide a list by name and location of the large natural gas- consuming food processing plants located in southern Idao that Dr. Readig represents are ideal for siting combined heat and power generation plants. RESPONSE TO REQUEST NO. 12: Dr. Reading has not prepared such a list. His testimony in ths area is based on his considerable experence as an economist in Idaho. DATED ths iOth day of Janua 2008. RICHARDSON & O'LEARY PLLC BY:pt~ Attorneys for the Industral Customers of Idao Power 2 - ICIP SUPPLEMENTAL RESPONSE TO IDAHO POWER'S FIRST PRODUCTION REQUEST IPC-E-07-08 CERTIFICATE OF SERVICE i HEREBY CERTIFY that on the 10th day of Januar, 2008, a tre and correct copy of the foregoing RESPONSE OF THE INDUSTR CUSTOMERS TO IDAHO POWER'S FIRST PRODucnON REQUEST was served by U.S. Mail, postage prepaid to: Baron Kline Lisa Nordstrm Idaho Power Company POBox 70 Boise, Idaho 83707-0070 Also Hand Delivery Weldon Stutzan Donovan Walker Idaho Public Utilties Commssion POBox 83720 Boise, Idaho 83720-0074 Also Hand Delivery John R. Gale Vice President, Reguatory Affairs Idaho Power Company POBox 70 Boise, Idaho 83707-0070 Also Hand Delivery Eric Olsen Racine, Olson, Nye, Budge PO Box 1391 Pocatello, Idao Jean Jewell Commssion Secreta Idao Public Utiities Commssion 472 West Washington Street Boise, Idao 83702 Also Hand Delivery Anthony Yanel 29814 Lake Road Bay Vilage, OH 44140 Conley Ward Givens Pursley LLP PO Box 2720 Boise, Idaho 83701-2720 Michael Kur Boehm, Kur & Lowr 36 E. Seventh Street, Ste. 1510 Cincinati, OH 45202 LotH. Cooke United States DOE 1000 Independence Ave. SW Washington, DC 20585 Dennis Peseau Utilty Resources, Inc. 1500 Libert Street, Ste. 250 Salem, OR 97302 ~~lf.~~Nina uris Dale Swan Exeter Associates 5565 Sterret Place, Ste. 310 Columbia, MD 21044 3 - ICip SUPPLEMENTAL RESPONSE TO IDAHO POWER'S FIRST PRODUCTION REQUEST IPC-E-07-08