HomeMy WebLinkAbout20091127UWI to Staff 29.pdfMcDevitt & Miller LLP
Lawyers E ~:
(208) 343-7500
(208) 336-6912 (Fax)
420 W. Bannock Street
P.O. Box 2564-83~ NOV 25 PM 2= 53
Boise, Idaho 83702 lDl:iHO
UTiLITIES
November 25, 2009
Chas. F. McDevitt
Dean J. (Joe) Miler
Via Hand Delivery
Jean Jewell, Secretary
Idao Public Utities Commssion
472 W. Washigton St.
Boise, Idaho 83720
Re: Case No. UW-W-09-01
General Rate Case Filng
Dear Ms. Jewell:
Enclosed for fig, please fid thee (3) copies of United Water Idaho's Four Response to
Commssion Staffs Second Production Request No. 29.
Kidly retu a fie staped copy to me.
Very Truy Yours,
McDevitt & Mier UP
~~
DJM/hh
End.
ORIGINAL
oì=CEDean J. Miler (ISB No. 1968) \'.,"~~
McDEVITT & MILLER LLP ~O\l 25 ?~ 2t 5'3
420 West Banock Street 'l~ßq
P.O. Box 2564-83701
Boise, Idaho 83702
Tel: 208-343-7500
Fax: 208-336-6912
joe(imcdevitt -miler .com
Attorneys for United Water Idaho Inc.
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF THE APPLICATION OF )
UNITED WATER IDAHO INC., FOR )
AUTHORITY TO INCREASE ITS RATES AND ~
CHARGES FOR WATER SERVICE IN THE )STATE OFIDAHO )
)
CASE NO. UWI-W-09-01
UNITED WATER IDAHO INC'S
FOURTH RESPONSE TO
COMMISSION STAFF'S SECOND
PRODUCTION REQUEST
United Water Idaho Inc, ("United Water") by and through its undersigned attorneys,
hereby submits its Fourh Response to the Commission Staffs Second Production Request No.
29.
DATED this1-\: day of November, 2009.
UNITED WATER IDAHO INC.
By4i%k
McDevitt & Miler LLP
420 West Bannock
Boise, Idaho 83702
P: 208.343.7500
F: 208.336.6912
Attorney for United Water
UNITED WATER IDAHO INC'S FOURTH RESPONSE TO COMMISSION STAFF'S SECOND
PRODUCTION REQUESTS- 1
CERTIFICATE OF SERVICE
I hereby cerify that on the ~ay of November, 2009, I caused to be sered, via the
method(s) indicated below, true and correct copies of the foregoing document, upon:
Jean Jewell, Secretar
Idaho Public Utilities Commission
472 West Washington Street
P.O. Box 83720
Boise, ID 83720-0074
j jewell(ipuc.state.id. us
Hand Delivered
U.S. Mail
Fax
Fed. Express
Email
Brad M. Purdy
Attorney at Law
2019 N. 17th Street
Boise, ID 83702
bmpurdy(ihotmail.com
Hand Delivered
U.S. Mail
Fax
Fed. Express
Email
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UNITED WATER IDAHO INC'S FOURTH RESPONSE TO COMMISSION STAFF'S SECOND
PRODUCTION REQUESTS- 2
UNITED WATER IDAHO INC.
CASE UWI..W-09-01
SECOND PRODUCTION REQUEST OF THE COMMISSION STAFF
Preparer: Gregory P. Wyatt
Sponsoring Witness: Charles E. Loy
REQUEST NO. 29:
Please provide copies offederal and State quarerly and anual payroll tax reports for the yea
ended 2006,2007,2008,2009 to date and the related workspapersthat identify accounts,
amounts and ca.lculations used in preparing those reports~ Please include within your respønse
the related (supporting) electronic fies, such as Excel spreadsheets, with.fonnulas intact.
RESPONSE NO. 29:
The Company's federal and State quarerly and anual payroll tax reports are fied by its payroll
contractor ADP, and as such the Company does not have copies of the requested retus.
However, the Company receives quarerly statements of deposits from ADP,. and those
statements for the periods requested above are available at the Company's offices for Staff to
review durng their on-site audit.