HomeMy WebLinkAbout20061114SPL to staff 4, 5.pdfBATT &: FIScHER
A LIMITED LIABILITY PARTNERSHIP
John R. Hammond Jr.e-mail: jrh(a)hatlfisher.com
November 14, 2006 Co ~
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CfJC;Weldon B. Stutzman
Deputy Attorney General
Idaho Public Utilities Commission
472 W. Washington Street
P. O. Box 83720
Boise, Idaho 83720-0074
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Re:In the Matter of the Application of Spirit Lake East
Water Company, Inc.
Case No. SPL- W -06-
Dear Weldon:
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Enclosed are the original and two copies of Spirit Lake Water Company s Supplementary
Responses to the Commission Staffs First Production Request.
me.
If you have any questions or need additional information, please do not hesitate to contact
Sincerely,
JRH:hva
Enclosures
T 208.331.1000 . F 208.331.2400 . P.Box 1308 Boise, Id 83701 . Suite 500, US Bank Plaza 101 S. Capitol Blvd. Boise, Id 83702
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John R. Hammond, Jr., ISB No. 5470
BATT & FISHER, LLP
US. Bank Plaza, 5th Floor
101 S. Capitol Boulevard
Post Office Box 1308
Boise, ID 83701
Telephone: (208) 331-1000
Facsimile: (208) 331-2400
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Attorneys for Applicant
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF THE
APPLICATION OF SPIRIT LAKE EAST
WATER COMPANY, INe., FOR
AUTHORITY TO INCREASE ITS
RATES AND CHARGES FOR WATER
SERVICE IN THE STATE OF IDAHO
Case No. SPL-O6-
SPIRIT LAKE EAST WATER
COMPANY'S SUPPLEMENTARY
RESPONSES TO THE COMMISSION
STAFF'S FIRST PRODUCTION
REQUEST
COMES NOW Spirit Lake East Water Company, Inc.
, ("
SLEWC"), by and
through its attorney of record, Batt & Fisher, LLP, and hereby responds to the Idaho
Public Utilities Commission Staff s First Production Requests.
SLEWC reserves the right to supplement each and every answer as discovery is
undertaken during the course of this case. In this Supplementary Response, SLEWC
provides further information to the Commission Staff in regard to Interrogatory Nos. 4 &
5. Roxann Middleton, the Controller for SLEWC, has provided the Answers to the
Requests.
Request No.4: Please provide an Excel file or other comma delimited electronic
file with all customer water usage and billing data for the past 12 months of the test year.
SPIRIT LAKE EAST WATER COMPANY'S SUPPLEMANTARY RESPONSES TO THE
COMMISSION STAFF'S FIRST PRODUCTION REQUEST - I
Response to Request No.4: See attached Supplementary Response to add to
SLEWC's previous Response No.4. The water usage shown in the attachment is
measured in gallons. The customer billing data is based on usage as measured in cubic
feet. The attached Supplementary Response was previously sent to Commission Staff on
October 25, 2006 by electronic mail.
Request No.5: Please provide complete well logs for the 12 months of the test
year showing all water pumped by the wells.
Response to Request No.5: See above Supplementary Response to Request No.
DATED THIS 14th day of November, 2006.
SPIRIT LAKE EAST WATER COMPANY
By:7L-I
R. Hammond, Jr.
orney for Company
SPIRIT LAKE EAST WATER COMPANY'S SUPPLEMANTARY RESPONSES TO THE
COMMISSION STAFF'S FIRST PRODUCTION REQUEST - 2
CERTIFICATE OF SERVICE
I HEREBY CERTIFY That I have, this 14th day of November, 2006, caused to
mailed a true and correct copy of the foregoing document to the following by U. S. Mail
Postage Prepaid thereon, in the following indicated manner:
Weldon B. Stutzman
Deputy Attorney General
Idaho Public Utilities Commission
472 West Washington Street
P. O. Box 83720
Boise, Idaho 83720-0074
U. S. Mail
V- Hand Delivery
Facsimile
Jo . . Hammond, Jr.
tto eys for Company
SPIRIT LAKE EAST WATER COMPANY'S SUPPLEMANT ARY RESPONSES TO THE
COMMISSION STAFF'S FIRST PRODUCTION REQUEST - 3
Spirit Lake East Water Co
Well Meter Readings
4/17/2006 755,400
10/5/2005 934 700
6/26/2005 413 500
4/4/2005 063 500
9/30/2004 553,400
During this time frame the well meter was only recorded
at the time of reading the meters.
Page 1 of 2
John R. Hammond
From:John R. Hammond
Sent: Wednesday, October 25, 2006 10:05 AM
To: harry,hall~puc,idaho,gov ; Weldon Stutzman
Subject: FW:
Attachments: Well Meter Readings,xls
Harry and Weldon
Here is some more information on the well logs. I will send over a supplementary response but just
thought I would get this to you right away.
John R. Hammond, Jr.
Batt & Fisher, LLP
S, Bank Building
IOI S. Capitol Blvd" Suite 500
Boise, ID 83702
208.33 1.1000
208.33 I .2400 (facsimile)
jrh (ill battfish er. com
Please Note: This message (including any attachments) contains confidential and privileged information. It is intended only
for the use of the individual or entity named above. If the reader of this message is not the intended recipient, you are hereby
notified that any dissemination, distribution, or copying of this communication is strictly prohibited. If you have received this
message by mistake, please return it to the above-mentioned e-mail address, and delete it from your computer, Thank you for
your cooperation,
From: rmiddleton (mailto:rmiddleton(fj)hansonind.com)
Sent: Wednesday, October 25, 2006 10:03 AM
To: John R. Hammond
Subject: RE:
Attached are the only readings we have.
From: John R. Hammond (mailto:jrh(fj)battfisher.com)
Sent: Tuesday, October 24, 2006 9:27 AM
To: rmiddleton; Bob Boyle
Subject:
Harry Hall called and would like us to supplement our response to Production Request No, 5, that is to
provide Staff with well logs for the test year period. What he has right now is from February 2006 until present.
John R. Hammond, Jr.
Batt & Fisher, LLP
S. Bank Building
IOI S, Capitol Blvd., Suite 500
Boise, ID 83702
208.331.1 000
208.331.2400 (facsimile)
jrh(illbattfisher.com
Please Note: This message (including any attachments) contains confidential and privileged information, It is intended only
for the use of the individual or entity named above. If the reader of this message is not the intended recipient, you are hereby
11/13/2006
Page 2 of 2
notified that any dissemination, distribution, or copying of this communication is strictly prohibited. If you have received this
message by mistake, please return it to the above-mentioned e-mail address, and delete it from your computer. Thank you for
your cooperation.
11/13/2006