HomeMy WebLinkAbout20220303Complainant Letter.pdf.a
FULLER & BEGK LAW OFFICES, PLLC,
Mart R. Fuller
Paul L Fulter
Danlel R. Beck - Of Counsel
Via Facsimile and U.S. Mail
ATTORNEYS AT LAW
410 Mernorial Driva, Suite 201
P.O. Box 50935
ldaho Falls, ldaho 83[{15{935
Telephone: t208) 52'l-t100
Facsimile: 12081 524 -7 1 67
Email: fu llerandbeck@gmail.com
March3,2022
ldaho Public Utilities Commission
P.O. Box 83720
Boise, lD 83720-A074
Fax:2Q8-3?4-3762
Re: Sunnyside Park Utilities, lnc., v. Sone//s
Dear IPUC:
Attached you will find a Notice of lntent to Terminate Services, which is being sent on behalf of our client,
Sunnyside Park Utilities, lnc., to its customer, Donald Sonells. A copy of this Notice is being sent to IPUC
pursuant to IDAPA 31.21.01.605, as the customer is located in an industrial zone. We anticipate that Mr.
Sonells will be filing a complaint with the IPUC.
Very truly yours,
FULLER & BECK
/s/ PaulL. Fuller
PaulL. Fuller
Attomey at Law
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FULLER & BECK LAW OFFICES, PLLC.
Mark R. Fuller
Paul L. Fuller
Daniel R. Beck - Of Counsel
NOTICE OF INTENT TO TERMINATE SERVICE
Via E-mail
PaulB. Rippel
Austin O. Allen
HOPKINS RODEN CROCKETT
HANSEN & HOOPES, PLLC
428 Park Ave.
ldaho Falls, lD 83402
paulrippel@hopkinsroden. com
austinallen@hookinsroden. com
ATTORNEYS AT LAW
410 Memorial Drive, Suile 201
P.O. Box 50935
ldaho Falls, ldaho 83405-0935
Telephone: (208) 524-5400
Facsimi le: (2081 524-7 1 67
Email: fullerandbeck@gmail.com
March 3,2Q22
Donald Sorrells
3341 N. Emperor
Fresno, CA 93737
3887 S. American Way, Unit'4,
ldaho Falls, lD 83402
RE Our Client: Sunnyside Park Utilities, lnc.
Your Client: Don Sorrells
Dear Counsel
Pursuant to the Memorandum Decision on Respondent's Motion to Dismiss, entered March 2, 2022, lhe
Court determined that jurisdiction regarding your client's violations of IDAPA 31.21.01.602.01 must be first
addressed by the ldaho Public Utility Commission ("|PUC"), however the Court has jurisdiction regarding
your client's violation of Sunnyside Park Utilities' Rules and Regulations for Sewer Service. Based on this
decision, Sunnyside Park Utilities, lnc. hereby provides notice of intent to terminate water service pursuant
to IDAPA 31.21.01.300, et. seq.
Service will be terminated based upon Mr. Sonells' violations of the following provisions:
1. IDAPA 31 .21.01.302.01(d) - At the time of initial connection, Sunnyside Park Utilities, lnc. ("SPU")
was informed that service to the property would only include connections for two restrooms. lt has
since been determined that this information was materially false, in that additional connections were
made, including connections for washerldryer, connection for RV use, and additional water hydrants
located throughout the property.2. IDAPA 31.21.01.3A2.01(e)- The customer has denied or willfully prevented access to SPU's water
meter by placing a lock on the meter and by providing written communication that anyone entering
the property would be removed by force.3. IDAPA 31.21.01.3A201(f) - SPU has determined that the customer has been and is currently
willfully wasting water provided through improper equipment. The customer has continually utilized
a defective toilet, and water fiows indicate that there is a leak in the customefs system, which
customer refuses or has othenrise failed to remedy.4. IDAPA 31.21.01.303.03 or 602.03 - Water services provided by SPU have been diverted and used
by Mr. Sorells without SPU authorization by adding additional water lines to buildings located on
the property.
Service will be terminated on or after March 10, 2A22. At time of termination, SPU will take a water meter
reading in order to calculate final payment amount and will turn off the water supply at the curb stop. Any
attempt by Mr. Sorrells or his tenants or agents to restart the water without prior authorization from SPU will
be treated as a theft of services and will be reported to local authorities. SPU will take additional steps to
ensure that future theft of water will not occur.
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Pursuant to IDPA 31.21.01.305.01(b), Mr. Sorrells may avoid termination by doing the following:
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Page 2
1. Removing all unauthorized plumbing and providing proof satisfactory to SPU that the only water
lines are located in the two restrooms as originally authorized by SPU.2. Removing the lock on the water meter and providing adequate written assurance that customer and
his tenants and agents will no longer interfere with water meter.3. Providing written verification from an SPU approved plumber that all leaks have been repaired and
that the water system is functioning consistent with all applicable statutes, codes and regulations.4. Establishing monitoring protocols, approved by SPU, which will provide assurance that future
violations will not occur or will be discovered and repaired promptly. This must include, but not
limited to, providing daily monitoring by Mr. Sorrells (or a designated agent(s)) and reporting to SPU
daily. These monitoring protocols will be utilized until such time as SPU believes there is no longer
a need for monitoring.5. Payment of all the fees and costs incurred by SPU in addressing Mr. Sorrells' violations. An amount
will be calculated and provided upon reguest. SPU is willing to make payment arrangements.
Pursuant to IDAPA 31.21.01.305.01(d), an informalor formal complaint concerning termination may be filed
with SPU or the ldaho Public Utility Commission, and service will not be terminated on the ground relating to
this dispute between the customer and the utility before resolution of the complaint. SPU can be reached
through our office, and the IPUC may be reached at the following addresVphone number:
P.O. Box 83720
Boise,lD 83720-4074
11331 W. Chinden Blvd. Building 8, Suite 201-A
Boise, lD 83714
Phone: 208.334.0300
ln the event Mr. Sorrells'files a complaint directly with the Commission, it is requested that a copy of such
complaint be provided to our office to prevent termination pending resolution of the complaint.
For purposes of termination, partial payments will be applied toward utility service charges first, unless Mr
Sorrells request otherwise. Charges for non-utility services cannot be used as a basis for termination.
Given that Mr. Sorrell's violations do not involve a residential customer the notice requirements of IDAPA
31.21.01.305(c) is not applicable.
ln order to comply with the requirements of IDAPA 31 .21.01.304.01, this notice will also be mailed directly to
Mr. Sorrells as customer of Sunnyside Park Utilities, lnc.
SPU intends to continue to pursue its claims as allowed by the District Court's decision
Very truly yours,
/s/ Paul L. Fuller
Paul L. Fuller
Attorney for Sunnyside Park Utilities, lnc.
Cc: IPUC
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