Loading...
HomeMy WebLinkAbout20070110Joint motion to accompany stipulation.pdfDONALD L. HOWELL, II (ISB 3366) DEPUTY ATTORNEY GENERAL IDAHO PUBLIC UTILITIES COMMISSION PO BOX 83720 BOISE, ID 83720-0074 Telephone: (208) 334-0312 Fax: (208) 334-3762 Email: don.howell~puc.idaho.gov ~. :~ ,'"' r- ' '" '' ' 'Z~::I.Jt: 'i'r:! ZllOlJAN 10 ~I HII:58 iDMW PUdl, UTILITiES Cor!;;~ilSSiC;, Attorney for Commission Staff BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE PETITION OF ACIFICORP DBA ROCKY MOUNTAIN POWER TO DETERMINE THE APPROPRIATE FUNDING STRUCTURE OF ITS SCHEDULE 21 (LOW INCOME WEATHERIZATION PROGRAM) JOINT MOTION TO ACCOMPANY STIPULATION CASE NO. PAC-O6- COMES NOW the Staff of the Idaho Public Utilities Commission and PacifiCorp dba Rocky Mountain Power and files this Joint Motion to accompany the parties' Settlement Stipulation in the above referenced case. On January 10, 2007, the parties (Staff, Rocky Mountain Power, and the Community Action Partnership Association of Idaho (CAP AI)) shall file a Stipulation settling this case. See Order No. 30210. Although all three parties intended to execute the Stipulation today, counsel for CAP AI, Brad Purdy, was unable to sign the Stipulation today due to emergency surgery. It is Staffs and Rocky Mountain s understanding that CAP AI is in agreement with the text of the Stipulation. To avoid delay in this case, the Stipulation has been executed by the Staff and Rocky Mountain. The Commission has scheduled its evidentiary hearing for February , 2007. Given the unavailability of CAP AI's counsel, Staff and Rocky Mountain do not object to CAP AI's counsel signing the document at a later date and to CAPAI filing testimony in support of the Stipulation at a later date but prior to the hearing set for February 2 2007. JOINT MOTION TO ACCOMPANY STIPULATION PRAYER Given this unanticipated absence of CAPRI's counsel, Staff and Rocky Mountain are filing the accompanying Stipulation and waive any objection to CAP AI's filing subsequent testimony in support of the Stipulation. Respectfully submitted this , () fA. day of January 2007. dL~ Deputy Attorney General Attorney for the Commission Staff ean Brockbank Attorney for Rocky Mountain Po jn/N:P AC-O6-1 O Motion2 JOINT MOTION TO ACCOMPANY STIPULATION