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HomeMy WebLinkAbout20180319Petition to Intervene - Avista.pdfWILLIAMS BRADBI]RY ATTORNEYSATLA w RECEIvEO ?$lB HAR I 9 At{ ll: 53 ',,,*]'Tt##o?*118u'o* March 19,2018 Ms. Diane Hanian Commission Secretary Idaho Public Utilities Commission 472W. Washinglon Boise, ID 83702 Re: GNR-U-I8-01 Dear Ms. Hanian: Please find enclosed the original and seven copies of the petition of Idaho Forest Group for leave to intervene and notice of partial waiver of service in the above referenced case. Thank you for your assistance in this matter. Please feel free to give me a call should you have any questions. Ronald L. Williams RLW Enclosures P.O. Box 388 - Boise, ID 83701 Phone: 208-3 44-6633 - www.williamsbradbury.com a,,,PincerelY, K^,t/t h/,/,1^ Ronald L. Williams,ISB No. 3034 Williams Bradbury, P.C. P.O. Box 388 Boise ID, 83701 Telephone: 208-3 44-6633 ron@williamsbradbury. com RECEIVED t0l8 }lAR l9 frt{ ll: 53 , il rilir ilio'r#fol8r'o* Attorneys for Idaho Forest Group BEFORE THE IDAHO PUBLIC UTILITES COMMISSION IN THE MATTER OF THE INVESTIGATION INTO THE IMPACT OF FEDERAL TAX CODE REVISIONS ON UTTLITY COSTS AND RATEMAKING Case No. GNR-U-I8-01 LATE FILED PETITION OF IDAHO FOREST GROUP FOR LEAVE TO INTERVENE AND NOTICE OF PARTIAL WAIVER OF SERVICE Pursuant to Rules 72 - 75 of the Idaho Public Utilities Commission's Rules of Practice and Procedure, Idaho Forest Group LLC ("Idaho Forest") petitions the Idaho Public Utilities Commission ("Commission") for leave to intervene. In support of this Petition, IFG states as follows: l. Idaho Forest recognizes that Commission Order No. 33991 established March 6 as the date for interventions to be filed in this case, and that this Petition for Intervention is approximately two weeks late. However, this late filed intervention comes before the March 30th, 2018, date for utilities to file reports on the effect of tax changes on proposed tariffs. As of the date of this Petition, no substantive pleadings have been filed and no substantive positions have been taken by any party in this case, and Idaho Forest does not believe it's late filed intervention at this early stage ofthe case prejudices any other party in the case. 2. Idaho Forrest is a limited liability company organized and existing under the laws of Delaware and authorized to conduct business in the State of Idaho. Idaho Forest is engaged in the business of growing, harvesting and processing trees and forest products. The name and address ofldaho Forest is: ) ) ) ) ) ) IFG PETITION TO INTERVENE Page 1 Idaho Forest Group 687 Canfield Ave, Suite 100 Coeur d' Alene, ID 83815 3. Idaho Forest will be represented by, and all pleadings, papers, orders and notices should be served upon the following persons at the addresses listed: Ronald L. Williams Williams Bradbury, P.C. P.O. Box 388 Boise,ID 83701 Telephone: 208-344-6633 ron@wil I iamsbradbury com In addition, all pleadings, papers, orders and notices should be served upon the following persons at the addresses listed below: Dean J. Miller 36208 Warm Springs Ave. Boise,ID 83716 deanj miller@cableone.net and Lany A. Crowley, Director The Energy Strategies Institute, Inc. 5549 S. Cliffsedge Ave. Boise,ID 83716 com 4. Idaho Forest is an electric service customer of the Avista Corporation (Avista), taking service under Avista's Schedule 2l-ExtraLarge General Service-Idaho. Idaho Forest's facilities are located at Grangeville, Idaho, and at Lewiston, Idaho, and consist of a lumber milling and processing operations. Accordingly, Idaho Forest has a direct and substantial interest in this proceeding. 5. Without the opportunity to intervene herein, Idaho Forest would be without adequate means of participation in this proceeding that may have a material impact on its electric rates and terms and conditions of service. IFG PETITION TO INTERVENE Page 2 6. Idaho Forest desires to participate in this proceeding with full rights of a party to, if necessary, introduce evidence, cross-examine and participate in hearings or oral argument. The exact quantity of evidence to be introduced cannot be stated at this time, but Idaho Forest's participation will not unduly broaden the issues or cause delay. 1. Idaho Forest recognizes this is a multi-utility docket and wishes only to participate in the portion of this case as it relates to Avista. In the interest of efficiency and to avoid unnecessary filings and mailings, Idaho Forest hereby waives services of all process, including pleadings, documents, disks and electronic files in this matter that are not relevant to Avista or that do not impact Avista. WHEREFORE, Idaho Forest 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 l9th day of March 2018. Respectfully submitted, fl"- Ronald L. Williams Williams Bradbury, P.C. Attorneys for Idaho Forest Group LLC IFG PETITION TO INTERVENE Page 3 CERTIFICATE OF MAILING I HEREBY CERTIFY that on this l9th day of March,20l8, I caused to be served a true and correct copy of the foregoing document upon the following individuals in the manner indicated below: Hand Deliverv: (original andT copies) Diane Hanian Commission Secretary Idaho Public Utilities Commission 472 W . Washington Street Boise, ID 83720 ! Hand Delivery US Mail (postage prepaid) Facsimile Transmission Federal Express Electronic Transmission David J. Meyer Avista Corporation P.O. Box3727 1411 East Mission Avenue Spokane, WA99220-3727 david.meyer@avistacorp. com Kelly Norwood Avista Corporation P.O. Box3727 1411 East Mission Avenue Spokane, w499220-3727 kelly.norwood@avistacorp.com Peter J. Richardson Richardson Adams, PLLC 515 N. 27th Street P.O. Box 7218 Boise, ID 83702 peter@richardsonadam s.com Dr. Don Reading 6070 Hill Road Boise,ID 83703 dreading@mindspring. com Dean J. Miller 36208 Warm Springs Ave. Boise, ID 83716 deanj miller@cableone.net Hand Delivery US Mail (postage prepaid) E Facsimile Transmission ! Federal Express I Electronic Transmission ! Uand Delivery E US Mail (postage prepaid) E Facsimile Transmission Federal Express Electronic Transmission Hand Delivery US Mail (postage prepaid) Facsimile Transmission ! Federal Express I Electronic Transmission ! Uand Delivery US Mail (postage prepaid) Facsimile Transmission Federal Express IFG PETITION TO INTERVENE, Page 4 I Electronic Transmission trtrT Lany A. Crowley, Director The Energy Strategies Institute, Inc. 5549 S. Cliffsedge Ave. Boise,ID 83716 crowleyla@aol.com Hand Delivery US Mail (postage prepaid) Facsimile Transmission Federal Express Electronic Transmission lsl Wll L Wlll;r64 Ronald L. Williams IFG PETITION TO INTERVENE, Page 5