HomeMy WebLinkAbout20181119Certificate of Attorney.pdfil[cllvEt)
lflll flilli tr9 Atl 9r t+5Yvonne R. Hogle (lSB# 8930)
Rocky Mountain Power
1407 W. North Temple, Suite 320
Salt Lake City, Utah 841l6
Telephone No. (801) 220-4050
Facsimile No. (801) 220-3299
Email : yvonne.hogle@pacifi corp.com
Attorneyfor Roclqt Mountain Power
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
l)tq 0
tN THE MATTER OF THE APPLICATION
OF ROCKY MOLINTAIN POWER FOR
AUTHORIZATION TO CHANGE
DEPRECIATION RATES APPLICABLE TO
ELECTRIC PROPERTY
CASE NO. PAC-E-I8-08
ATTORNEY' S CERTI FICATE
CLAIM OF CONFIDENTIALITY
RELATING TO DISCOVERY
RESPONSES
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I, Yvonne R. Hogle, represent Rocky Mountain Power in the above captioned matter. I am
Assistant General Counsel for Rocky Mountain Power.
I make this certification and claim of confidentiality regarding the response to the attached
Idaho Public Utilities Commission Staff discovery request pursuant to IDAPA 31.01.01 because
Rocky Mountain Power, through its response, is disclosing certain information that is Confidential
and/or constitutes Trade Secrets as defined by Idaho Code SectionT4-101, et seq. and 48-801 and
protected under IDAPA 3I.01.01 .067 and 3LOl.01.233. Specifically, Rocky Mountain Power
asserts that the attachments provided with the Company's 2018 Depreciation Study Monsanto
Data Request I contains Company proprietary information that could be used to its commercial
disadvantage.
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Rocky Mountain Power herein asserts that the aforementioned responses contain
confidential in that the information contains Company proprietary information.
I am of the opinion that this information is "Confidential," as defined by Idaho Code
Section 74-101, et seq. and 48-801, and should therefore be protected from public inspection,
examination and copying, and should be utilized only in accordance with the terms of the
Protective Agreement in this proceeding.
DATED this l6th day of November,20l8
Respectfully subm
R. Hogle
General Counsel
Mountain Power
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