HomeMy WebLinkAbout20211116_jh2.pdfDECISION MEMORANDUM 1
DECISION MEMORANDUM
TO: COMMISSIONER KJELLANDER COMMISSIONER RAPER COMMISSIONER ANDERSON COMMISSION SECRETARY COMMISSION STAFF LEGAL FROM: JOHN R. HAMMOND JR. DEPUTY ATTORNEY GENERAL DATE: NOVEMBER 15, 2021 SUBJECT: IN THE MATTER OF IDAHO POWER COMPANY’S APPLICATION TO INITIATE A MULTI-PHASE COLLABORATIVE PROCESS FOR THE STUDY OF COSTS, BENEFITS, AND COMPENSATION OF NET
EXCESS ENERGY ASSOCIATED WITH CUSTOMER ON-SITE GENERATION, CASE NO. IPC-E-21-21.
On June 28, 2021, Idaho Power Company (“Company”) applied to the Commission to
initiate the multi-phase process for a comprehensive study of the costs and benefits of on-site
generation as directed in order No. 34046. Following the grant of intervention to the City of Boise
(“City”) into this case, the Commission asserted that the City’s attorney, Ed Jewell, has a conflict
of interest under the Idaho Rules of Professional Conduct (“IRPC”) preventing him from
representing the City in Case No. IPC-E-21-21 because the Commission believes it is substantially
similar and directly connected to Case No. IPC-E-18-15. Mr. Jewell believes in good faith that
Case No. IPC-E-21-21 is a new “matter” under IRPC 1.11(e) and no conflict exists which he also
believes is consistent with Commission Rule of Procedure 48.
Attached as Attachment A is a proposed Memorandum of Understanding that would
resolve the dispute between the Commission and Mr. Jewell.
COMMISSION DECISION
Does the Commission wish to approve the proposed Memorandum of Understanding
and have the Commission President execute it?
John R. Hammond Jr. Deputy Attorney General
I:\Legal\ELECTRIC\IPC-E-21-21 On-Site Generation\memos\IPCE2121_jh_decmemo.docx
DECISION MEMORANDUM 2
ATTACHMENT A
Proposed Memorandum of Understanding
DRAFT – 11/1/2021
Memorandum of Understanding
This Memorandum of Understanding is entered into by the Idaho Public Utilities Commission
(“Commission”) by and through its President Paul Kjellander in his official capacity and Ed Jewell
in his capacity as a Deputy City Attorney for the City of Boise (collectively, “parties” or
individually, “party”). This Memorandum of Understanding resolves a dispute between the
Commission and Ed Jewell, a former Deputy Attorney General representing the Commission.
Background
• Ed Jewell was formerly employed by the Idaho Attorney General’s Office as a Deputy
Attorney General (“DAG”) assigned to provide legal representation to the Commission and
the Commission Staff.
• As a DAG representing the Commission, Ed Jewell represented Commission Staff and the
Commission in IPC-E-18-15; a docket on net metering.
• On August 17, 2021, Ed Jewell filed a Petition to Intervene on behalf of the City of Boise
who wished to intervene and participate as a party in IPC-E-21-21; a docket on net
metering. The Commission granted the City of Boise’s Petition to Intervene on August 30,
2021.
• Following the grant of intervention to the City, the Commission asserted in good faith that
Ed Jewell has a conflict of interest under the Idaho Rules of Professional Conduct (“IRPC”)
preventing him from representing the City of Boise in IPC-E-21-21 because the
Commission believes it is substantially similar to IPC-E-18-15 and the dockets are too
directly connected to be considered a different matter.
• Ed Jewell believes in good faith that IPC-E-21-21 is a new “matter” under IRPC 1.11(e)
and no conflict exists which he also believes is consistent with Commission Rule of
Procedure 48.
• The parties wish to resolve their differences concerning the issues set forth above and reach
a compromise for this dispute.
The parties agree as follows:
1. The Commission agrees to allow Ed Jewell to represent the City of Boise in IPC-
E-21-21 under the following conditions set forth in Sections 2 through 5 below.
2. Consistent with IRPC 1.11(a) and IRPC 1.9(a), Ed Jewell agrees that if his client’s
interests become materially adverse to the Commission’s interests, he will immediately
disqualify himself from IPC-E-21-21 pursuant to IRPC 1.11(b).
a) The parties agree that in this circumstance “materially adverse” means that
Ed Jewell is challenging any Commission order in IPC-E-18-15 based on
non-public information or if the City of Boise were to decide to appeal a
final decision by the Commission in IPC-E-21-21. Nothing in this
agreement prohibits Ed Jewell from arguing positions on behalf of his client
DRAFT – 11/1/2021
based on the public record or new facts that differ from the Commission’s
orders in IPC-E-18-15 or that differ from the Commission Staff’s position
in IPC-18-15 or IPC-E-21-21.
b) Ed Jewell agrees that if he becomes materially adverse to the Commission
he shall comply with the requirements of IRPC 1.11(b) if the City of Boise
desires to designate a new attorney to represent it as a party in IPC-E-21-21
or to pursue an appeal of any final order in this case.
3. Consistent with IRPC 1.11(a) and IRPC 1.9(c), Ed Jewell acknowledges that he
shall not reveal or use any non-public information gained from his representation of the
Commission Staff or the Commission in IPC-E-18-15 to disadvantage the Commission
Staff or the Commission in IPC-E-21-21.
4. Notwithstanding any agreements made by Ed Jewell in Sections 2 and 3 above, if
the Commission determines at any time in IPC-E-21-21 that Ed Jewell has become
materially adverse to either the Commission’s or the Commission Staff’s interests in this
case as described in Section 2. a). above or has revealed or used any information that he is
prohibited from doing under IRPC 1.11(a) or IRPC 1.9(c) the Commission shall notify Ed
Jewell and he will request that the City designate substitute counsel for the City of Boise.
5. Based on the facts known only at this time, neither party believes a conflict under
the IRPC exists in any additional, pending cases before the Commission in which Ed Jewell
has appeared as counsel for the City of Boise. Further, based only on the facts known at
this time, the parties believe that no conflict would exist for Ed Jewell to represent the City
of Boise in any future net metering dockets arising from or directly related to IPC-E-21-
21.
Entered into this day of November, 2021.
By:
President Paul Kjellander
Idaho Public Utilities Commission
Date:
By:
Ed Jewell
Deputy City Attorney
Date: