Enron Mail

From:tdeboer@painehamblen.com
To:abuckley@wutc.wa.gov, alan@epud.org, ali.rodol@ci.seattle.wa.us,archive-power-ratecase@bpa.gov, aw_turner@pgn.com, bassl@sce.com, bessex@cowlitzpud.org, bferranti@mbllp.com, bpadiscovery@merkellaw.com, ccopatrny@e-z.net, crow@millernash.com, cub@tel
Subject:WP-02 Data Response
Cc:
Bcc:
Date:Wed, 21 Mar 2001 02:53:00 -0800 (PST)

request_number: DS-AC:002
firstname: Thomas
lastname: DeBoer
e-mail: tdeboer@painehamblen.com
exhibit_wp-02-e-: JCG-01 and JCG-02
page_numbers:
request_text: Amended Request No.: DS-AC:002

Request: Witnesses: Pamela Lesh, Robert E. Orton, Marilyn G. Showalter and W.
Scott Brattebo, David W. Hoff, Kevin P. O'Meara, Lon L. Peters, Geoffrey H.
Carr, and Marc H. Hellman, respectively
Exhibit: WP-02-E-JCG-01 and WP-02-JCG-02

Please disclose and/or produce any and all communications from October 16,
2001 to the present, between any the BPA representatives listed below and any
representative of any other party concerning BPA's rates to be in effect for
BPA's Fiscal Years 2002-2006, the interactions of such rates and customer
contracts, or procedural aspects of these rate proceedings.

Bob Proctor
Tim McCoy
Byrne Lovell
Byron Keep
Valerie Lefler
Jon Wright
Peter Berger

For purposes of this Request, "disclose and/or produce" has the meanings
described below. With respect to oral communications, "disclose and/or
produce" means to describe the time, date, approximate duration, and
substantive content of the communication; the identity and organizational
affiliation of the communicating individuals; whether the communication
occurred in person or by telephone; the location of the communication if in
person; the identity of any witnesses to the communications, including all
individuals in the room if the communication occurred by speakerphone; and
whether the communication was made in the presence of or after coordination
with BPA counsel(if so, identify such counsel). For purposes of this
Request, you need not "disclose and/or produce" oral communications that
occurred during meetings noticed in compliance with Rate Case Rule 1010.7(d).

With respect to written communications, the Request includes communications
in any recorded form, whether on paper, electronic (including, without
limitation, e-mails), or whatever form. For such communications, "disclose
and/or produce" means to provide copies of all non-identical versions of any
written communications and to describe with particularity the circumstances
under which they were generated or referred to; and to fully "disclose
and/or produce" any oral communications made in connection with the written
communications consistent with the preceding paragraph. For purposes of this
Request, you need not produce papers served on all parties to the rate case
and made part of the official file in the rate case.


response_text: Avista Corporation (Avista) objects to this Data Request on
the grounds that it: (i) seeks information that is not relevant; and (ii)
seeks information that is unduly burdensome to produce. (Rules of Procedure
Governing Rate Hearings, Section 1010.8(b)). Avista further objects to this
Data Request on the grounds that it is in improper form as it does not cite
to specific testimony or indicate the specific use to which the information
sought will be put. (Special Rules of Practice, WP-02-01). Without waiving
the foregoing objections, Avista responds as follows:

I am aware of no communications responsive to this Data Request other than
those disclosed in response to DS-AC:001.

The following information is from the web server:
1. Logon: IUSR_GRANITE
2. Remote Host: border.paine-hamblen.com
3. Remote IP Address: 207.53.155.98
4. Form URL:
https://secure.bpa.gov/power/secure/psp/ratecase/discovery/wp_02_response.html
5. Browser Client: Mozilla/4.7 [en] (Win95; I)