HomeMy WebLinkAbout20120613Motion for Limited Admission (Lovinger).pdfLOVINGER t KAUFMANN LIP
825 NE Multnomah • Suite 925 office (503) 230-7715
Portland, OR 97232-2150 fax (503) 972-2921
1ndesonReis
v@U(Lawom
June 12, 2012
VIA OVERIYIGHTDELWERY
Jean D. Jewell, Secretary F
Idaho Public Utilities Commission
472 W Washington Street
P0 Box 83720 C.) fl
Boise, ID 83720-0074 rn
Re: Case No. PAC-E-10-08
-N) XRG, Complainant, vs. co
PACIFICORP dba ROCKY MOUNTAIN POWER, Defendant
Dear Ms. Jewell:
Enclosed for filing in the above-captioned docket are an original and seven (7) copies of
MOTION FOR LIMITED ADMISSION PRO HAG VICE OF ROCKY MO UNTAIN P0 WER of
Kenneth Kaufmann.
An extra copy of this cover letter is enclosed. Please date stamp the extra copy and return it to
me in the envelope provided.
Thank you in advance for your assistance.
Sincerely,
Charles von Reis
cc: PAC-E-10-08 Service List
Enclosures
Charles A.C. von Reis, ISB# 8921
Jeffrey S. Lovinger
Kenneth E. Kaufmann
Lovinger Kaufmann LLP
825 NE Multnomah, Suite 925
Portland, Oregon 97232
Telephone: (503) 230-7715
Fax: (503) 972-2921
vonreis@lklaw.com
1ovingerlklaw.com
kaufliiann@lklaw.com
RECEIVED
701? JUN I3 AM 9:28
IDAHO PUkL UTILITIES COMMISSION
Attorneys for Defendant
Rocky Mountain Power
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
XRG-DP-7, XRG-DP-8, XRG-DP-9, XRG-DP-
10, LLCs,
Complainant,
V.
PACIFICORP, DBA ROCKY MOUNTAIN
POWER,
Defendant.
Case No. PAC-E-10-08
MOTION FOR LIMITED
ADMISSION PRO RAC VICE OF
ROCKY MOUNTAIN POWER
EXPEDITED CONSIDERATION
REQUESTED
Pursuant to I.B.C.R. 227 and IDAPA 31.01.01.043, the undersigned counsel
petition the Idaho Public Utilities Commission (the "Commission") for admission of
Kenneth E. Kaufmann, pro hac vice, in this case.
Kenneth E. Kaufmann certifies that he is an active member, in good standing, of
the bars of Oregon, California, and Washington, that he maintains the regular practice of
law at the above-noted address, and that he is not a resident of the State of Idaho or
licensed to practice in Idaho. Kenneth E. Kaufmann certifies that he has previously been
ROCKY MOUNTAIN POWER'S MOTION
FOR PRO HAC VICE ADMISSION
admitted under I.B.C.R. 227 and IDAPA 31.01.01.043 in the following matters: Case No.
GNR-E-10-04 (January 24, 2011), Case No. GNR-E-10-01 (April 13, 2010).
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 $200 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.
Charles A.C. von Reis acknowledges that his attendance shall be required at all
Commission proceedings in which Kenneth E. Kaufmann appears, unless specifically
excused by the Commission. In this regard, Charles von Reis respectfully requests that
the Commission excuse him from having to appear during Commission proceedings for
the above-captioned matter.
WHEREFORE, by this Motion, Charles A.C. von Reis respectfully requests that
the Commission perform the following:
1. Authorize Kenneth E. Kaufinann to participate in all proceedings before
the Commission with respect to the above-captioned matter; and
[Remainder ofpage intentionally left blank.]
2
ROCKY MOUNTAIN POWER'S MOTION
FOR PRO HAC VICE ADMISSION
2. Grant Charles A.C. von Reis' request to be excused from having to appear
during Commission-related proceedings with respect to the above-captioned matter
unless otherwise required by the Commission.
DATED this _'- day of June, 2012
Pro Hac Vicj4'Jounsel Local Counsel
Kenneth E. Kaufmann Charles A.C. von Reis, ISB# 8921
Lovinger Kaufmann LLP Lovinger Kaufmann LLP
825 NE Multnomah, Suite 925 825 NE Multnomah, Suite 925
Portland, Oregon 97232 Portland, Oregon 97232
Telephone: (503) 230-7715 Telephone: (503) 230-7715
Fax: (503) 972-2921 Fax: (503) 972-2921
kaufiriann@lklaw.com vonreis@lklaw.com
ROCKY MOUNTAIN POWER'S MOTION 3
FOR PRO HAC VICE ADMISSION
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that, on the 12th day of June, 2012, a true and correct copy of
the foregoing MOTION FOR LIMITED ADMISSION PRO HA C VICE OF ROCKY
MOUNTAIN POWER of Kenneth Kaufmann in Case No. PAC-E-10-08 was served in
the manner shown to:
DATED this 12th day of June, 2012.
LOVINGER KAUFMANN LLP
Charles von Reis, ISB 8921
Attorney for Rocky Mountain Power