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HomeMy WebLinkAbout20210715Certificate of Attorney.pdfEmily L. Wegener (ISB #11614) Rocky Mountain Power 1407 W. North Temple, Suite 320 Salt Lake city, utah 84116 Telephone No. (801) 220-4526 Facsimile No. (801) 220-3299 Email : emily. wege ner @pacifrcorp. com ',r'.',1_-r\rf,.1 ,r ,, .j:ii- i$ fitt lS: 5a : I i- 1 ,.,r.,...!.\1. Attorneyfor Roclcy Mountain Power BEFORE THE IDAHO PUBLIC UTILITMS COMMISSION IN THE MATTER OF THE APPLICATION OF ROCKY MOUNTAIN POWER FOR AUTHORITY TO INCREASE ITS RATES AND CHARGES IN IDAHO AND APPROVAL OF PROPOSED ELECTRIC SERVICE SCHEDULES AND REGULATIONS CASE NO. PAC.E.21.O7 ATTORNEY' S CERTIFICATE CLAIM OF CONFIDENTIALITY RELATING TO DISCOVERY RESPONSES ) ) ) ) ) ) ) ) ) ) ) ) I, Emily L. Wegener, represent Rocly Mountain Power in the above captioned matter. I am a senior attorney for Rocky Mountain Power. I make this certification and claim of confidentiality regarding the response to the attached Idaho Public Utilities Commission Staffdiscovery 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 ldaho Code Section 74-101, et seq. and 48-801 and protected under IDAPA 31.01.01.067 and 31.01.01.233. Specifically, Rocky Mountain Power asserts that Confidential Attachment IIPAz-z provided with the Company's responses to IIPA Set I contains Company proprietary information that could be used to its commercial disadvantage. I Rocky Mountain Power herein asserts that the aforementioned responses contain confidential information 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 l5th day of July,202l. Respectfrrlly submitted,ryW Emily Wegener SeniorAttorney Rocky Mor:ntain Power 2 Emily L. Wegener (ISB #11,614) Rocky Mountain Power 1407 W. North Temple, Suite 320 Salt Lake City, Utah 84116 Telephone No. (801) 220-4526 Facsimile No. (801) 220-3299 Email: emily.wegener@pacificorp.com Attorneyfor RoclE Mountain Power BEFORE THE IDAHO PUBLIC UTILITMS COMMISSION IN THE MATTER OF THE APPLICATION OF ROCKY MOUNTAIN POWER FOR AUTHORITY TO INCREASE ITS RATES AND CHARGES IN IDAHO AND APPROVAL OF PROPOSED ELECTRIC SERVICE SCHEDULES AND REGULATIONS CASE NO. PAC.E,-21-07 ATTORNEY'S CERTIFICATE CLAIM OF CONFIDENTIALITY RELATING TO DISCOVERY RESPONSES ) ) ) ) ) ) ) ) ) ) ) ) I, Emily L. Wegener, represent Rocky Mountain Power in the above captioned matter. I am a senior attorney 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 defured by Idaho Code Section 74-101, et seq. and 48-801 and protected under IDAPA 31.01.01.067 and 31.01.01.233. Specifically, Rocky Mountain Power asserts that Confidential Attachment IIPA 2-2 provided with the Company's responses to IIPA Set 1 contains Company proprietary information that could be used to its commercial disadvantage. 1 Rocky Mountain Power herein asserts that the aforementioned responses contain confidential information that the infonnation contains Company proprietary information. I arn 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 15th day of July,2A2l. Respectfully submitted,ryW Emily Wegener SeniorAttorney Rocky Mountain Power 2