HomeMy WebLinkAbout20170616Sanger Pro Hac Vice.pdfri.:a:iylD
Gregory M. Adams (ISB No. 7454)
Richardson Adams, PLLC
515 N. 27th Street, 83702
P.O. Box 7218,83707
Boise,Idaho
Telephone: 208-938-223 6
Fax: 208-938-7904
gre 9@"ichardsonadams. com
Local Counsel
Irion Sanger
Sanger Law, P.C.
I I l7 SE 53'd Avenue
Portland, OR 97215
Telephone: 503-7 56-7 533
Fax: 503-3 34-2235
irion@sanger-law.com
Pro Hac Vice Counsel (admission pending)
I Prior Limited Admission Granted
Attorneys for the Renewable Energt Coalition
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
i'",;l ,:,' . I 5 pii I: 15
IN THE MATTER OF THE APPLICATION
OT'IDAHO POWER COMPANY TO
REYIEW THE SURROGATE AVOIDABLE
RESOURCE (SAR) METHODOLOGY FOR
CALCULATING PUBLISHED AVOIDED
COST RATES
CASE NO. GNR.E.I7-02
MOTION FOR PRO HAC VICE
ADMISSION OF IRION
SANGER
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Pursuant to I.B.C.R. 227 and Rules 19 and 43 of the Idaho Public Utilities Commission
Rule of Procedure (IDAPA 31.01.01.019 abd 31.01.01.043.03), the undersigned counsel petition
for admission of Irion Sanger, pro hac vice, in this case, to represent the Renewable Energy
Coalition.
Irion Sanger certifies that he is an active member, in good standing, of the bar of the State
of Oregon, that he maintains the regular practice of law at the above-noted address, that the bar
MOTION FOR PRO HAC VICE ADMISSION Page I
of the State of Oregon does not limit the number of pro hac vice admissions of members of the
Idaho State Bar, and that he is not a resident of the State of Idaho or licensed to practice in Idaho.
Irion Sanger certifies that he has previously been admitted under I.B.C.R. 227 in the following
matter: Idaho Public Utilities Commission Case No, IPC-E-15-01.
Undersigned counsel certify that a copy of this motion has been served on all other
parties in this case and that a copy of the motion, accompanied by a $325 fee and a certificate of
good standing, have been submitted to the Idaho State Bar.
Counsel certify that the above information is true to the best of their knowledge. Gregory
M. Adams acknowledges that his attendance shall be required at all proceedings in which Irion
Sanger appears, unless specifically excused by the Commission. [n this regard, Gregory M.
Adams hereby respectfully requests that the Commission excuse him from having to appear
during Commission proceedings for the above-captioned matter unless needed by the Renewable
Energy Coalition.
DATED thisl3!day of June, 2017
Irion Sanger
Pro Hac Vice Counsel
DATED this @ay of June, 2017
M. Adams (ISB No. 7454)
Counsel
Attorneys for Renev, abl e Ener 9,, C oali ti on
MOTION FOR PRO HAC VICE ADMISSION Page 2
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF THE APPLICATION )
oF rDAHO POWER COMPANY TO )
REVTEW THE SURROGATE AVOTDABLE )
RESOTTRCE (SAR) METHODOLOGY FOR )
CALCULATING PUBLISHED AVOIDED )cosT RATES )
CASE NO. GNR.E-I7-02
Proposed Order Granting PRO
HAC VICE ADMISSION
The Commission has considered the Motion for Pro Hac Vice filed on _(date)_
and being fully advised in the premises, it is hereby ordered that lrion Sanger be admitted pro
hac vice in this case and that Gregory M. Adams serve as Local Counsel, whose attendance shall
be required in all court proceedings in which Irion Sanger appears, unless specifically excused
by the court.
DATED this_ day of
Oregon Bar
Certificate
State of Oregon
County of Wasnington
l, Stacy R. Owen, do hereby certify that I am an Assistant Disciplinary Counsel of the
Oregon State Bar, and have access to the officialfiles and records of the Oregon State Bar.
The official files and records of the Oregon State Bar indicate:
IRION A. SANGER
was admitted to practice law in the State of Oregon by examination and becan'ie arr active
rnember of tl're Oregon State Bar on October 4,2OOO.
There are no complaints, grievances or disciplinary proceedings presently pending
against this member.
No disciplinary action has been taken against this member in the past by the Oregon
Supreme Court or the Oregon Disciplinary Board.
l"lr. Sanger is an active nrembcr of the Orcgcn Statr: Bar in good standing, ilcensed and
entitled to practice law in all the courts of the State of Oregon.
DATED this 2nd day of lune,2O!7.
Stacy R. Owen
Assistartt Disciplinary Counsel
Oregon State Bar
16037 SW Upper Boones Ferry Road, PO Box 231935, Tigard, Oregon 97281-1935
(5O3) 620-0222 or (8OO) 452-8260 Regulatory Services fax (5O3) 968-4457
ss
State
www.osbar.org
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on,t" \b&huy of June, a true and correct copy of the within and
foregoing MOTION FOR PRO HAC VICE ADMISSION BY THE RENEWABLE ENERGY
COALITION in Docket No. GNR-E-I7-02 was served by electronic mail and United States
Mail, postage prepaid, to:
Diane Hanian
Idaho Public Utilities Commission
472 W . Washington Street
Boise, ID 83702
diane.holt@.puc. idaho. gov
J.R. Simplot Company
c/o Peter Richardson
Richardson Adams, PLLC
515 N. 27th Street
Boise, ID 83702
peter@richardsonadams. com
Yvonne Hogle
Ted Weston
PacifiCorp
1407 West North Temple, Suite 330
Salt Lake City, UT 84116
yvonne.ho gle@paci fi corp.com
ted. weston@nacifi corp. com
Clint Kalich
Avista Corporation
l4l I E. Mission Ave, MSC-7
Spokane, WA 99202
clint. kalich@avistacorp. com
Donovan Walker
Idaho Power Company
l22l W. Idaho Street
Boise,lD 83702
dwalker@ idahopower. com
dockets@ idahopower. com
Michael Darrington
Idaho Power Company
1221W.Idaho Street
Boise, ID 83702
mdarrin gton@ idahopower. com
Daniel MacNeil
PacifiCorp
825 NE Multnomah Street
Portland, OR 97232
daniel.macneil@pacifi corp.com
Dr. Don Reading
6070 Hill Road
Boise,ID 83703
dreading@mindspring. com
Michael G. Andrea
Avista Corporation
141I E. Mission Ave, MSC-33
Spokane, WA 99202
michael. andrea@ avi stacorp. com
M. Adams