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HomeMy WebLinkAbout20160804Joint Stipulation & Motion to Stay.pdfBRANDON KARPEN, ISB No. 7956
Deputy Attorney General
P.O. Box 83720
Boise, Idaho 83720-0074
Telephone: (208) 334-0357
Attorney for Commission Staff
MOLLY O'LEARY, ISB No. 4996
BizCounselor@Law, PLLC
1775 W. State Street #150
Boise, Idaho 83702
Telephone: (208) 453-6106
Attorney for Eagle Water Company, Inc.
RE CE IVED
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BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF EAGLE WATER
COMPANY'S APPLICATION FOR
AUTHORITY TO IMPLEMENT A
CUSTOMER SURCHARGE
) CASE NO. EAG-W-15-01
)
) JOINT STIPULATION AND
) MOTION TO STAY PROCEEDINGS ____________ )
The Staff of the Idaho Public Utilities Commission and Eagle Water Company
Uointly, "parties"), by and through their counsel of record, stipulate and agree to the following:
STIPULATION
1. On November 10, 2015, Eagle Water filed an Application seeking authority to
implement a 53.82% surcharge on customers' water usage. Eagle Water requested that its
Application be processed via Modified Procedure and that the surcharge become effective in
approximately 30 days. On December 3, 2015, the Commission issued Order No. 33430
suspending the proposed effective date for a period of 90 days, until March 10, 2016.
2. On March 4, 2016, with Eagle Water's concurrence, Staff filed a motion to further
suspend the proposed effective date in this matter for an additional 90 days, until June 8, 2016.
The Commission approved the Motion in Order No. 33478.
3. On April 25, 2016, pursuant to Idaho Code§ 61-622(4), the parties jointly
stipulated to again suspend the effective date in this matter until September 6, 2016. The parties
further agreed that by July 1, 2016, Eagle Water would inform Staff of its position on settlement,
JOINT STIPULATION AND
MOTION TO STAY APPLICATION 1
or if the Company would rather set a schedule for modified procedure for the Application. The
Commission approved this request in Order No. 33509.
4. The parties met and discussed the case on June 28, 2016. At that time, Eagle
Water requested additional time to locate documents, and consider a possible settlement.
5. On July 28, 2016, the parties met again. Eagle Water stated at that time that it
needed additional time to locate documents and consider alternatives.
6. The parties agree that there is inadequate time to process the case by the
September 6, 2016 effective date. Rather than suspending the case for a fourth time, the parties
have agreed to request that the Commission grant a stay of all proceedings until such time that all
relevant documents can be located by the Company, and a final decision on settlement or
proceeding to hearing be made by the Company.
7. Once all relevant documents are located, and a final determination on settlement,
if any, is made, the parties will jointly move the Commission for the lifting of the Stay. The
parties agree that the stay shall be in effect for no longer than one year, and if no action is taken
in this matter by that time, dismissal of the application on Staff motion is proper.
8. The parties agree that a stay is appropriate, and that a further suspension is not in
the interest of judicial economy, or a good use of Staff time and resources.
9. Staff, the Company, and its customers will suffer no harm if a stay is granted.
MOTION
Staff and Eagle Water respectfully request that the Commission enter an Order consistent
with the foregoing Stipulation. Specifically, the parties request that the Commission:
1. Issue an Order staying all proceedings in this matter until a joint motion of the parties
to lift the stay is made; and
2. If no action is taken in this matter after one year, dismissal of the application on Staff
motion is proper.
DATED this 4 'ta-ay of August 2016.
---mey General
eyfor Commission Staff
JOINT STIPULATION AND
MOTION TO STAY APPLICATION 2
DATED this4thday of August 2016.
CERTIFICATE OF SERVICE
I HEREBY CERTIFY THAT I HAVE THIS 4TH DAY OF AUGUST 2016,
SERVED THE FOREGOING JOINT STIPULATION AND MOTION TO STAY
PROCEEDINGS, IN CASE NO. EAG-W-15-01 , BY MAILING A COPY THEREOF,
POSTAGE PREPAID, TO THE FOLLOWING:
MOLLY O'LEARY
BIZCOUNSELOR AT LAW
1775 W STATE ST #150
BOISE ID 83 702
E-MAIL : molly@bizcounseloratlaw.com
ROBERT V DESHAZO, JR.
PRESIDENT
EAGLE WATER COMPANY, INC.
P.O. BOX455
EAGLE ID 83515
E-MAIL: eaglewaterco(@gmail.com
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SECRETARY
CERTIFICATE OF SERVICE