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Enron Mail |
Sounds like gas to me.
Kay ---------------------- Forwarded by Kay Mann/Corp/Enron on 05/08/2001 09:08 AM --------------------------- "Boyd J. Springer" <bjspringer@JonesDay.com< on 05/07/2001 12:10:15 PM To: Gregg.Penman@enron.com cc: kay.mann@enron.com Subject: Re: Master Sales Gregg: In late 1999, the ICC Staff conducted an informal "workshop" regarding a proposed set of affiliate transaction rules for gas utilities. Enron Energy Services, peoples and others filed comments. Based on the comments, Staff circulated a proposed rule but there was no immediate follow-up. The Commission issued a notice indicating that it would further review the matter after its January, 2000 gas policy meeting. Thereafter, in August, 2000, the ICC Staff submiited a Report recommending that a rule be adopted. On Sept. 22, 2000, the rule was published for "first notice" in the Illinois Register. The ICC also initiated Docket 00-0586 to review the rules. In Docket 00-0586, the assigned Hearing Examiner determined that no hearings would be held to review the rules. As a result, only written comments were considered. Several parties (including Peoples/North Shore) filed comments (although Enron did not). The Examiner issued a Proposed Order on April 23, which-if adopted-would direct publication of the rules for "second notice" (45 days for the Joint Comm. on Admin. Rules to comment before final effectiveness). The issues raised by the comment s are summarized in the Proposed Order. Exceptions to the Proposed Order (i.e., comments regarding the proposed decision) are due May 11 and replies to Excpetions are due May 18. The Examiner did not attach the modified rule, but notes that the few changes made to Staff's initial draft are discussed in the order. I will fax to you the Proposed Order and Staff initial draft rule. The next step in the process is ICC review of the Proposed Order, followed presumably by Illinois Register Publicaion of the adopted rule. ========== The preceding e-mail message (including any attachments) contains information that may be confidential, be protected by the attorney-client or other applicable privileges, or constitute non-public information. It is intended to be conveyed only to the designated recipient(s). If you are not an intended recipient of this message, please notify the sender by replying to this message and then delete it from your system. Use, dissemination, distribution, or reproduction of this message by unintended recipients is not authorized and may be unlawful. ==========
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