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HomeMy WebLinkAbout20180125Motion Pro Hac Vice.pdfRECEIVED ?ill8 Jfitl 25 Alt 9: ltr 1i:,'-i',.-r ,'UXLIC'r !' ';',''ri ii't.l]lrit*tSSt0N. . ,'-, JONATHAN J. CAVANAGH ADMITTED IN IoeHo, OnTcoN, AND WASHTNGToN *--H*- CABLE HUSTON..,ORIGINAL j cavanagh@cablehuston.com www.cablehuston.com January 24,2018 Vn Feonru,L EXPRESS Idaho State Bar 525 W. Jefferson Street Boise, ID 83702 Idaho Public Utilities Commission, Case No. INT-G-17-07 Motion for Limited Admission Pro Hac Vice Dear Sir or Madam, Please find enclosed a copy of the Motion for Limited Admission Pro Hac Vice regarding Chad M. Stokes that has been filed with the Idaho Public Utilities Commission. Also enclosed is a check in the amount of $325.00 to cover applicant fees and a copy of the applying attorney's Certificate of Good Standing from the State of Oregon. Should you need the original of the Certificate, please let me know. Please contact me should you have any questions. Thank you. Sincerely, Cavanagh JJC:lms Enclosure(s) cc: Chad Stokes Re: Suite2000, 1001 SWFifthAvenusPortland,Oregon9T204-1136 * Phone: 503.224.3092 * Fax: 503.224.3176 * wwwcablehuston.com J Jonathan J. Cavanagh, ISB No. 8609 Chad M. Stokes, OSB No. 004007 Cable Huston LLP 1001 SW Fifth Ave., Suite 2000 Portland, OR 97204-1136 Telephone: (503) 224-3092 Facsimile: (503) 224-317 6 j c av anagh@c ab I ehu sto n. c om cstokes@cablehuston. com IN THE MATTER OF INTERMOUNTAIN GAS COMPANY FOR THE AUTHORITY TO IMPLEMENT AN INFRASTRUCTURE INTEGRITY MANAGEMENT MECHANISM RTCEIVED 20lB JAH ?5 At{ 9: lh ,',,, ],?',**douu$fo \8u' o* ORIGINAL Attorneys for Northwest Industrial Gas Users BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION CASE NO.INT.G.I7.O1 MOTION FOR LIMITD ADMISSION PRO HAC VICE Pursuant to Idaho Public Utilities Commission Rules l9 and 43.03 and Idaho Bar Commission Rule ("ICBR") 227,the undersigned counsel, Jonathan J. Cavanagh, hereby petitions the Idaho Public Utilities Commission ("Commission") for admission of the undersigned applying counsel, Chad M. Stokes, for purposes of the above-captioned matter and any other proceedings that Northwest Industrial Gas Users may bring before this Commission. Chad M. Stokes certifies that he is an active member, in good standing, with the bar of the State of Oregon, 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. 1 - MOTION FOR LIMITED ADMISSION PRO HAC VICE The undersigned counsel certifies that a copy of this Motion has been served on all other parties to the above-captioned matter and a copy of the Motion, accompanied by a $325 fee per applicant and certificate of good standing for Chad M. Stokes from the State of Oregon, has been provided to the Idaho State Bar. Counsel certifies that the above information is true to the best of their knowledge, after reasonable investigation. Jonathan J. Cavanagh acknowledges that pursuant to IBCR, his attendance shall be required at all Commission proceedings at which Chad M. Stokes will appear, unless specifically excused by the Commission. WHEREFORE, by this Motion, Jonathan J. Cavanagh respectfully requests that the Commission: Authorize Chad M. Stokes to participate in all proceedings before the Commission with respect to the above captioned matter and any other proceedings that Northwest Industrial Gas Users may bring before the Commission. A proposed Order is attached hereto. Dated tni, 14y'- day of Janu ary 20t8. J,J. Cavanagh, ISB No. 8609 Huston LLP 1001 SW Fifth Ave., Suite 2000 Portland, OR 97 204-1 136 T,(s03 F s03 )224-3092 224-3176 comj M. Stokes, OSB No. 004007 Applying Counsel Cable Huston LLP 1001 SW Fifth Ave., Suite 2000 Portland, OR 97 204-l 13 6 Telephone: (503) 224-3092 Facsimile : (503) 224-3 l7 6 cstokes@cablehuston. com 2. MOTION FOR LIMITED ADMISSION PRO HAC VICE J CERTIFICATE OF SERVICE I HEREBY CERTIFY that on tn" fauyof January 2018 I caused an original and seven (7) copies ofthe foregoing to be served upon: Diane M. Hanian, Secretary Idaho Public Utilities Commission 472 W. Washington Street Boise, lD 83702 by mailing via Federal Express the same to the above-named at the last known address(s) as set forth above and mailing a copy via First-Class Mail to the addresses below. Ronald L. Williams Williams Bradbury, P.C. P.O Box 388, Boise,ID 83701 802 W. Bannock, Suite 900 Boise, lD 83702 Michael P. McGrath Director, Regulatory Affairs Intermountain Gas Company PO Box 7608 Boise,lD 83707 J. Cavanagh Oregon Bar Certificate State of Oregon ss County of Washington l, Stacy R. Owen, do hereby certify that I am an Assistant Disciplinary Counsel of the Oregon State Bar, and have access to the officialfiles and records of the Oregon State Bar. The official files and records of the Oregon State Bar indicate: CHAD M. STOKES was admitted to practice law in the State of Oregon by examination and became an active member of the Oregon State Bar on October 4,2000. There are no complaints, grievances or disciplinary proceedings presently pending against this member. No disciplinary action has been taken against this member in the past by the Oregon Supreme Court or the Oregon Disciplinary Board. Mr. Stokes is an active member of the Oregon State Bar in good standing, licensed and entitled to practice law in allthe courts of the State of Oregon. DATED this 23'd day of January, 2018. Stacy R.n Assistant Disciplinary Counsel Oregon State Bar 16037 SW Upper Boones Ferry Road, PO Box 231935, Tigard, Oregon 972A11935 (5O3) 620-0222 or (BOO) 452-A260 fax (5O3) 684-1366 State www.osbar.org ) ) ) Form of Proposed Order N THE MATTER OF INTERMOUNTAIN GAS COMPANY FOR THE AUTHORITY TO IMPLEMENT AN INFRASTRUCTURE INTEGRITY MANAGEMENT MECHANISM BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION CASE NO. INT.G-I7.07 MOTION FOR LIMITED ADMISSION PRO HAC VICE The Commission has considered this Motion for Pro Hac Vice filed on January _,2018 and being fully advised in the premises, it is hereby ordered that Chad M. Stokes be admitted pro hac vice in this case and that Jonathan J. Cavanagh, Chad M. Stokes' partner at Cable Huston, LLP, whose attendance shall be required in all court proceedings in which Chad M. Stokes appears, unless specifically excused by the Commission. DATED this _day of January 2018. Paul Kj ellander, Commissioner Kristine Raper, Commissioner Eric Anderson, Commissioner