HomeMy WebLinkAbout20210610Petition to Intervene.pdfRonald L. Williams, ISB No. 3034
Williams Bradbury, P.C.
P.O. Box 388
Boise ID, 83701
Telephone : 208-3 44-6633
ron@willi amsbradbury. com
Attorneys for PIIC
IN THE MATTER OF THE APPLICATION )
oF ROCKY MOUNTAIN POWER FOR )
AUTHORIry TO INCREASE ITS RATES )
AND CHARGES IN IDAHO AND )
APPROVAL OF PROPOSED ELECTRIC )
SERVICE SCHEDULES AND )REGULATIONS )
BEFORE TIrE prago PUBLIC UTILITIES COMMISSION
CaseNo. PAC-E-21-07
PETITION OF PACIFICORP IDAHO
INDUSTRIAL CUSTOMERS
FOR LEAVE TO INTERVENE
Pursuant to Rules 71 through 73 of the Idatro Public Utilities
Commission's Rules of Practice and Procedure, IDAPA 31.01.01.71 et. seq.,PacifiCorp
Idaho Industrial Customers ("P[C") petitions the Idatro Public Utilities Commission (the
"Commission") for leave to intervene. In support of this Petition, PIIC states as follows:
l. The name and address of PIIC is:
PacifiCorp Idaho Industrial Customers
c/o Williams Bradbury, P.C.
P.O. Box 388
Boise,ID 83701
2. PIIC will be represented in this proceeding by Williams Bradbury,
P.C. All documents relating to these proceedings should be served on the following
persons at the addresses listed:
Ronald L. Williams
Williams Bradbury, P.C.
P.O. Box 388, Boise ID, 83701
Telephone: 208-3 44-6633
E-mail : ron@williamsbradbury. com
PtrC PETHON TO INTERVENE, Page I
Bradley Mullins
MW Analytics, Energy & Utilities
Email: brmullins@mwanalytics.com
IELECTRONIC COPIES ONLY TO:l
Val Steiner
Itafos Conda, LLC
va l. steiner(D itafo s. com
Kyle Williams
BYU Idaho
willi
Adam Gardner
Idahoan Foods
AGardner@idahoan.comedu
3. PIIC is a coalition of entities or organizations operating in Idaho that are
industrial and large load customers of Rocky Mountain Power ("RMP" or the
"Company"). The Company's application that the Commission approve a revenue
requirement increase of $19.0 million, or approximately 7.00 %, significantly affects
PIIC members. PIIC has a direct and substantial interest in this proceeding to review
RMP's general rate case filing that will not be adequately represented by any other party.
PIIC intends to participate in all respects of this proceeding and will not unreasonably
broaden the issues, burden the record, or delay this proceeding.
4. Without the opportunity to intervene herein, PIIC would be without a
manner or means of participating in the lawful determination of issues which will affect
the rates for electric service from the Company to the PIIC mernbers.
WHEREFORE, PIIC respectfully requests that the Commission grant its
petition to intervene with full party status in this proceeding and to appear and participate
in all matters as may be necessary and appropriate; and to present evidence, call and
examine witnesses, cross-examine witnesses, present argument, and to otherwise fully
participate in the proceedings.
Dated this l0th day of June.202l.
Respectfully submitted,
/stPlrV;ll;r*4
Ronald L. Williams
Williams Bradbury, P.C.
Attorneys for PIIC
PIIC PETITION TO INTERVENE,Page2