HomeMy WebLinkAbout20110919Stipulation and Agreement of Record.pdfRECEIVED
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION 20r l SEP 19 AM ìa: 58
IN THE MATTER OF THE APPLICATION OF
ROCKY MOUNTAIN POWER FOR APPROVAL OF
CHANGES TO ITS ELECTRIC SERVICE
SCHEDULES AND PRICE INCREASE FO $27.7
MILLION, OR APPROXIMATELY 13.7 PERCENT.
SUPREME COURT NO.
38930-2011
IDAHO PUBLIC UTILITIES
COMMISSION NO.
P AC-E-1 0-07
PACIFICORP DBA ROCKY MOUNTAIN POWER,
Petitioner-Appellant,STIPULATION AND
AGREEMENT ON THE
COMMISSION STAFF'S
OBJECTION TO PROPOSED
AGENCY'S RECORD ON
APPEAL AND REQUEST
FOR ADDITION
v.
IDAHO PUBLIC UTILITIES COMMISSION,
Respondent.
This Stipulation and Agreement ("Stipulation") on the Commission Staffs Objection to
Proposed Agency's Record on Appeal and Request for Addition is entered into between
PacifiCorp d/b/a Rocky Mountain Power ("Rocky Mountain Power" or the "Company") and
Commission Staff ('Staff').
On September 14, 2011, Staff filed its Objection to Proposed Agency's Record on
Appeal and Request for Addition. Rocky Mountain Power filed its response on September 16,
2011. The parties have met and conferred and have reached agreement on Staffs Motion. The
paries agree to the removal from the proposed record of those exhibits identified by Staff in their
Motion for deletion, EXCEPT for the following:
70895487.1 0085000-01031 1
From PacifiCorp dba Rocky Mountain Power
Volume I:
Exhibit I - Steven R. McDougal - Revenue Requirement Summary
Exhibit 2.6 - Depreciation & Amortization Adjustments
Exhibit 2.8 - Rate Base Adjustments
Volume II:
Exhibit 2 B.IO - Plant Held for Future Use
Volume 111:1
Exhibit 79 (pp 1.0-2.2)2 - Steven R. McDougal - (Year End) Results of Operation
Summary
The parties further agree to the addition of Order No. 29708 (Case PAC-E-02-3) as cited
in the Commission's Order on Reconsideration No. 32224.
1 Staff recommended exclusions to Volume in are limited to Exhibits 2 B.19 (Defered
Income Tax Balance), 2B.20 (Customer Advances), 4 (LGAR Calculation) , 78 and 79 (except
for pp. 11.5, 11.5.1, 11.7.1, 11.8.1).
2 The Commission Staff did not object to Exhibit 79, pp. 11.5, 11.5.1, 11.7.1, 11.8.1
70895487.10085000-01031 2
Dated this/? ~day of September, 2011.
IDAHO PUBLIC UTILITIES COMMISSION
STAFF~,C\~Q~
Dona d L Howell, n
D. Neil Price
Deputy Attorneys General
Idaho Public Utilities Commission
PO Box 8372
Boise, Idaho 83720-0077
ROCKY MOUNTAIN POWER
~~¿ LÆf
J. Walter Sinclair
Richard R. Hall
Stoel Rives LLP
101 S. Capitol Boulevard, Suite 1900
Boise, Idaho 83702-7705
Paul J. Hickey
Hickey & Evans, LLP
1800 Carey Avenue, Suite 700
P.O. Box 467
Cheyenne, WY 82003-0467
Mark C. Moench
Daniel E. Solander
201 South Main Street, Suite 2300
Salt Lake City, Utah 84111
70895487.1 0085000-01031 3
CERTIFICATE OF SERVICE
I hereby certify that on this/f Ip day of September, 2011, caused to be served, a true and
correct copy of STIPULATION AND AGREEMENT ON THE COMMISSION STAFF'S
OBJECTION TO PROPOSED AGENCY'S RECORD ON APPEAL AND REQUEST FOR
ADDITION to the following:
Via Hand Delivery
Idaho Public Utilities Comm'n.
Don Howell
Neil Price
472 W. Washington (83702)
P.O. Box 83720
Boise, ID 83720-0074
E-Mail: scott.woodbury(ipuc.idaho.gov
Randall C. Budge (U.S. Mail)
Racine, Olson, Nye, Budge & Bailey, Chartered
201 E. Center
P.O. Box 1391
Pocatello, ID 83204-1391
E-Mail: rcb(ßracinelaw.net
70895487.10085000-01031
4//4//1/
Richard R. Hall '
Attorney for Rocky Mountain Power
4