HomeMy WebLinkAbout20110412Motion for Limited Admissions Pro Hac Vice.pdfDORIGINAL
Richard R. Hall ISB #8080
Local Counsel
Stoel Rives LLP
101 S. Capitol Boulevard, Suitfljiff~\
Boise, ID 83702-7705 UTILITIES
Phone: (208) 389-9000
Fax: (208) 389-9040
rrhall~stoei.com
RECEIVED
2011 APR 12 PH it: 0 I
Mark C. Moench
Daniel E. Solander
Applying Counsel
201 South Main Street, Suite 2300
Salt Lake City, Utah 84111
Telephone No. (801) 220-4014
Facsimile No. (801) 220-3299
mark.moench~pacificorp.com
daniei.solander~pacificorp.com
'"
Paul J. Hickey
Applying Counsel
Hickey & Evans, LLP
1800 Carey Avenue, Suite 700
P.O. Box 467
Cheyenne, WY 82003-0467
Telephone No. (307) 634-1525
Facsimile No. (307) 638-7335
phickeyaYhickeyevans.com
Attorneys for
Rocky Mountain Power
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF THE APPLICATION )
OF PACIFICORP DBA ROCKY MOUNTAIN )
POWER REQUESTING APPROVAL OF )
AMENDMENTS TO THE REVISED )PROTOCOL ALLOCATION )METHODOLOGY )
)
CASE NO. PAC-E-IO-09
MOTION FOR LIMITED
ADMISSION PRO HAC VICE
MOTION FOR LIMITED ADMISSION PRO HAC VICE
70637448.1 0085000-01001
Pursuant to Idaho Public Utilties Commission Rule 43 and Idaho Bar
Commission Rule 222, the undersigned local counsel, Richard R. Hall, hereby petitions
the Idaho Public Utilities Commission (the "Commission") for admission of the
undersigned applying counsel, Mark C. Moench, Daniel E. Solander and Paul J. Hickey,
for puroses of the above captioned matter and any other proceedings that Rocky
Mountain Power may bring before this Commission through December 31, 2011.
Mark C. Moench certifies that he is an active member, in good standing, with the
bar of the State of Utah, 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 law in
Idaho. Mark C. Moench further certifies that he has been previously admitted under
IBCR 222 in Case No. PAC-E-I0-07 before the Idaho Public Utilties Commission; and
also certifies that he has not been denied admission under IBCR in this jurisdiction, or
under any similar rule, in any other jurisdiction.
Daniel E. Solander hereby certifies that he is an active member, in good standing,
with the bar of the State of Utah, 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 law in Idaho. Daniel E. Solander fuher certifies that he has been previously
admitted under IBCR 222 in Case No. PAC-E-08-07 and Case No. PAC-E-I0-07 before
the Idaho Public Utilties Commission; and also certifies that he has not been denied
admission under IBCR in this jurisdiction, or under any similar rule, in any other
jurisdiction.
Paul J. Hickey hereby certifies that he is an active member, in good stading,
with the bar of the State of Wyoming, that he maintains the regular practice of law at the
MOTION FOR LIMITED ADMISSION PRO HAC VICE70637448.1 0085000-01001 2
above-noted address, and that he is not a resident of the State of Idaho or licensed to
practice law in Idaho. Paul J. Hickey fuher certifies that he has been previously
admitted under IBCR 222 in Case No. PAC-E-1O-07 before the Idaho Public Utilities
Commission; and also certifies that he has not been denied admission under IBCR in this
jurisdiction, or under any similar rule, in any other jurisdiction.
Undersigned counsel certify that a copy of this Motion has been served on all
other paries to the above-captioned matter and that copy of the Motion, accompanied by
a $200 fee per applicant, has been provided to the Idaho State Bar.
Richard R. Hall certifies that the above information is true to the best of his
knowledge, after reasonable investigation. Richard R. Hall acknowledges that pursuant
to IBCR, his attendance shall be required at all Commission proceedings at which
Applying Counsel appear, unless specifically excused by the Commission. In this
regard, Richard R. Hall hereby respectfully requests that the Commission excuse him
from having to appear during Commission proceedings for the above-captioned matter
and any other matter to which this admission applies, unless needed by Rocky Mountain
Power.
WHEREFORE, by this Motion, Richard R. Hall respectfully requests that the
Commission:
1. Authorize Mark C. Moench, Daniel E. Solander and Paul J. Hickey to
paricipate in all proceedings before the Commission with respect to the above-
captioned matter and any other proceedings that Rocky Mountain Power may bring
before the Commission through December 31, 2011; and
MOTION FOR LIMITED ADMISSION PRO HAC VICE70637448.1 0085000-01001 3
2. Grant Richard R. Hall's request to be excused from having to appear
during Commission-related proceedings with respect to the above-captioned matter or
other proceedings in which the Applying Counsel are authorized to appear before the
Commission.
Dated this 12th day of April, 2011
ROCKY MOUNTAIN POWER,~dßø/.
Richard R. Hall ISB #8080
Local Counsel
Stoel Rives LLP
101 S. Capitol Boulevard, Suite
1900
Boise, ID 83702-7705
Phone: (208) 389-9000
Fax: (208) 389-9040
rrhall~stoei.com
Mark C. Moench
Daniel E. Solander
Applying Counsel
201 South Main Street, Suite 2300
Salt Lake City, Utah 84111
Telephone No. (801) 220-4014
Facsimile No. (801) 220-3299
mark.moench~pacificorp.com
daniel.solanderaYpacificorp.com
Paul J. Hickey
Applying Counsel
Hickey & Evans, LLP
1800 Carey Avenue, Suite 700
P.O. Box 467
Cheyenne, WY 82003-0467
Telephone No. (307) 634-1525
Facsimile No. (307) 638-7335
phickeyaYhickeyevans.com
Attorneys for
Rocky Mountain Power
MOTION FOR LIMITED ADMISSION PRO HAC VICE70637448.1 0085000-01001 4
CERTIFICATE OF SERVICE
I hereby certify that on this 1 ih day of April, 2011, I caused to be served, via E-mail, a
tre and correct copy of Rocky Mountain Power's Motion for Limited Admission Pro
Hac Vice in P AC-E-l 0-09 to the following:
Eric L. Olsen
Racine, Olson, Nye, Budge & Bailey,
Charered
201 E. Center
P.O. Box 1391
Pocatello,ID 83204-1391
E-Mail: eloaYracinelaw.net
Anthony Yankel
29814 Lake Road
Bay Vilage, Ohio 44140
E-mail: tonyaYyankeLnet
James R. Smith (E-mail only)
Monsanto Company
P.O. Box 816
Soda Springs, Idaho 83276
E-Mail: jim.r.smithaYmonsanto.com
Scott Woodbury
Deputy Attorney General
Idaho Public Utilities Commission
472 W. Washington (83702)
PO Box 83720
Boise, ID 83720-0074
E-Mail: scott. woodburyaYpuc.idaho. gov
Randall C. Budge
Racine, Olson, Nye, Budge & Bailey,
Charered
201 E. Center
P.O. Box 1391
Pocatello,ID 83204-1391
E-Mail: rcbaYracinelaw.net
Maurice Brubaker (E-mail only)
Brubaker & Associates
PO Box 412000
St. Louis, MO 63414-2000
E-Mail: mbrubakeraYconsultbai.com
Gary Kajander
Energy Procurement
Monsanto Company
800 N. Lindberg BLVD., Mailzone C2NF
St. Louis, MO 63167
E-mail: gary.r.kajanderaYmonsanto.com
PacifiCorp/dba Rocky Mountain Power
ted. westonaYpacificorp.com
mark.moenchaYpacificorp.com
Daniel.solanderaYpacificorp.com
datareguestaYpacificorp.com
~/// /¡//
Richard R. Hall
MOTION FOR LIMITED ADMISSION PRO HAC VICE70637448.1 0085000-01001 5