HomeMy WebLinkAbout20150204Petition to Intervene.pdfKelsey Jae Nunez, ISB No. 7899
SNAKE RIVER ALLIANCE
223 N. 6th St., Ste. 317
PO Box 1731
Boise,ID 83701
Ph: (208) 344-9t6r
knunez@snakeriveralliance. org
TN THE MATTER OF IDAHO POWER'S
PETITION TO MODIFY TERMS OF
PROSPECTIVE PURPA ENERGY SALES
AGREEMENTS
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BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
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CASE NO. IPC-E-I5-01
PETITION TO INTERVENE OF
THE SNAKE RIVER ALLIANCE
Pursuant to the Idaho Public Utilities Commission's Rules of Procedure Rule 71, IDAPA
31.01.01 .071, et seq., the Snake River Alliance petitions the Commission to grant its petition for
intervention in the above-referenced case, IPC-E-15-01. The name and address of the Intervenor
is:
SNAKE RIVER ALLIANCE
223N.6ft St., Ste. 317
PO Box 1731
Boise,ID 83701
Ph: (208) 344-9t6r
knunez@snakeriveralliance. org
Kelsey Jae Nunez will represent the Snake River Alliance in this proceeding. Correspondence in
this docket can be sent to the above address or via email. To reduce costs and environmental
impacts of exchanging information in this case, the Alliance requests that, pursuant to IPUC
Rules, information other than that which might be deemed confidential or otherwise must be
hand-delivered be provided electronically and/or via email to the above address.
The Snake River Alliance is an ldaho-based non-profit organization, established in 1979 to
address Idahoans' concerns about nuclear waste and safety issues. In2007, the Alliance
expanded the scope of its mission by becoming ldaho's first nonprofit clean energy advocacy
organization. The Alliance's energy program includes advocacy for renewable energy resources
in Idaho; expanded conservation and demand-side management programs offered by Idaho's
Snake River Alliance
Petition to Intervene - IPC-E-I5-01
regulated electric utilities and the Bonneville Power Administration; and development of local,
state, regional, and national initiatives to advance sustainable energy policies, including electric
utility rate structures and designs that promote energy conservation. The Alliance pursues these
programs on behalf of its members, many of whom are customers of Idaho Power.
The Alliance has a direct and substantial interest in these proceedings as the Company's request
raises significant policy issues of interest to the Alliance and its members and other Idaho Power
stakeholders. The Alliance has a history of participating before this Commission in cases
relating to Idaho Power's renewable energy programs and initiatives. The Alliance believes its
participation as in intervenor will not complicate or extend this case, nor will its participation
unduly broaden the issues in this case, and that to the extent permitted by Commission rules it
will actively participate in this case as an intervenor.
Therefore and pursuant to Rules 72 and 73 of the Commission's Rules of Procedure, IDAPA
31.01.01 .072 and 073, the Alliance requests that this petition to participate as an intervenor in
Case No. IPC-E-I5-01 be granted.
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Executive Oirect{ )
Snake River Alliake
this 4th day of February, 2015.
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Boise,ID
(208) 344-9t61
knunez@snakeriveralliance. org
Snake River Alliance
Petition to Intervene - IPC-E-15-01
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that I have this 4th day of February,2015 served the
Intervene upon all parties of record in this proceeding, by the means listed
Hand Delivered
Jean Jewell
Commission Secretary (Original and seven
copies)
Idaho Public Utilities Commission
472W. Washington St.
Boise,lD 83702
US Mail
Donovan Walker
Idaho Power Company
1221 West Idaho Street (83702)
PO Box 70
Boise,Idaho 83707
dwalker@ idahopower. com
Snake River Alliance
Petition to Intervene - IPC-E-15-01
foregoing Petition to
below:
River Alliance