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HomeMy WebLinkAbout20081024Stipulation to Extend.pdfJohn R. Hammond, Jr., ISB No. 5470 Fisher Pusch & Alderman LLP U.S. Bank Plaza, 5th Floor 101 S. Capitol Boulevard, Suite 500 Post Offce Box 1308 Boise, il 83701 Telephone: (208) 331-1000 Facsimile: (208) 331-2400 RECEiVED ZODS OCT 24 PM 2t 28 uT,JRt~sO ¿?C~)î~\ŠS\ON Attorneys for Applicant BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION OF MAYFIELD SPRIGS WATER COMPANY, INC., FOR A CERTIFICATE OF PUBLIC CONVENIENCE AND NECESSITY CASE NO. MSW-W-08-01 STIPULATION TO EXTEND AND RESET FILING DEADLINES SET FORTH IN ORDER NO. 30656,OR, IN THE ALTERNATIVE, REQUEST TO STAY PROCEEDINGS IN THIS MATTER COMES NOW, Mayfield Springs Water Company, Inc. (the "Company"), by and through its counsel, Fisher Pusch & Alderman LLP, and the Idaho Public Utilities Commission Staff, by and through its counsel, Deputy Attorney General Krstine A. Sasser, to stipulate to extend the filing deadlines for the parties as set forth in Commission Order No. 30656 for a period of foureen (14) days. The above paries have contacted the intervenor in this case, Gerald J. Corvino, who has no objection to this stipulation. The result ofthis stipulation would produce the following new filing schedule for the paries: Action Deadline Mayfield provides a copy of the accounting November 7, 2008 provided to the Distrct Cour and the detailed report of the hookup fee for all residential customers. Mr. Corvino's Comments on Reconsideration November 17, 2008 Staff Comments on Reconsideration December 2, 2008 Mayfield Reply Comments December 12, 2008 STIPULATION TO EXTEND AND RESET FILING DEADLINES SET FORTH IN ORDER NO. 30656, OR, IN THE ALTERNATIVE, REQUEST TO STAY PROCEEDINGS IN THIS MATTER - Page 1 Mr. Corvino was unable to sign the stipulation as he is traveling by automobile though the state of Nevada today. The purose for extending the filing deadlines is to allow the paries to continue ongoing settlement negotiations between the Company and the plaintiffs in a lawsuit brought against the Company and fied in the District Court for the Fourth Judicial District State ofIdaho that may resolve all outstanding issues in that litigation and possibly in this matter. DATED THIS 24th day of October, 2008. MAYFIELD SPRINGS WATER COMPANY, INC. . Hamond, Jr. ey for Applicant IDAHO PUBLIC UTILITIES COMMISSION STAFF By: ~:tlJ a . ~(. Krsti . Sasser Deputy Attorney General GERALD CORVINO lJy,ILllßL£ ¡:;G S lt?f(frrul?Appearng Pro Se STIPULATION TO EXTEND AND RESET FILING DEADLINES SET FORTH IN _ ORDER NO. 30656, OR, IN THE ALTERNATIVE, REQUEST TO STAY PROCEEDINGS IN THIS MATTER - Page 2 RECEiVFfi'_.""~ o.,., CERTIFICATE OF SERVICE 20ltOCT 24 PH 2: 28 I HEREBY CERTIFY that on thiJ~~f October, 2008, a true and amE!QA5 , ie the foregoing document was served on the following individuals by the method indicat¿d b~l6~. .ISS/ON (X) U.S. Mail ( ) Facsimile ( ) Overnight Delivery ( ) Messenger Delivery ( ) Email il¡/J /;/rl---_ John n:. Hamond, Jr. Jean Jewell IDAHO PUBLIC UTILITIES COMMISSION 472 W. Washington St. PO Box 83720 Boise ID 83720-5983 Don Howell Krstine A. Sasser Deputy Attorney General IDAHO PUBLIC UTILITIES COMMISSION POBox 83720 Boise ID 83720-0074 Gerald J. Corvino 11865 W. Tustin Lake Kuna ID 83634-5032 ( ) U.S. Mail ( ) Facsimile (208) 342-3829 ( ) Overnight Delivery (X) Messenger Delivery ( ) Email ( ) U.S. Mail ( ) Facsimile (208) 342-3829 ( ) Overnight Delivery (X) Messenger Delivery ( ) Email STIPULATION TO EXTEND AND RESET FILING DEADLINES SET FORTH IN ORDER NO. 30656, OR, IN THE ALTERNATIVE, REQUEST TO STAY PROCEEDINGS IN THIS MATTER - Page 3