Kentucky Public Service Commission


View Case Filings for: 2012-00149


Case Number:2012-00149
Service Type:Electric
Filing Date:4/20/2012
Category:Regular
Utilities:

East Kentucky Power Cooperative, Inc.


Case Nature:

2012 INTEGRATED RESOURCE PLAN OF EAST KENTUCKY POWER COOPERATIVE, INC.









Case Filings
FilingDocuments
7/14/2014 3:55:16 PM

ORDER REGARDING REQUEST FOR CONFIDENTIAL TREATMENT


7/11/2014 1:45:44 PM

Order Entered: 1. Movant's motion for confidential protection is hereby granted. 2. The materials for which Movant seeks confidential treatment shall not be placed in the public record nor made available for public inspection until December 31, 2026, or until further Orders of this Commission. At the end of this period, the materials shall be placed in the public record. The Movant may request that the materials continue to be treated as confidential, but must demonstrate that the materials still fall within the exclusions established in KRS 61.878. 3. If Movant objects to the time limits that the Commission has placed on the confidential treatment for the materials in question, it must seek either rehearing pursuant to KRS 278.400 or judicial review of this Order pursuant to KRS 278.410. Failure to exercise either of these statutory rights will be deemed as agreement with the Commission's determination of the period for which the materials are afforded confidential treatment and will require Movant to demonstrate a change in circumstances in any subsequent motion for continued confidential treatment of the materials in question after the end of the period set forth in ordering paragraph 2. 4. Use of the materials in question in any Commission proceeding shall be in compliance with 807 KAR 5:001, Section 13(9). 5. Movant shall inform the Commission if the materials in question become publicly available or no longer qualify for confidential treatment.


9/26/2013 1:29:39 PM

Order Entered: this case is closed and removed from the Commission's docket.


2/22/2013 3:12:38 PM

Order Entered: Movant’s motion for confidential protection is granted.2 The materials for which Movant seeks confidential treatment shall not be placed in the public record nor made available for public inspection until January 1, 2031. At the end of this period, the material shall be placed in the public record. The Movant may request that the material continue to be treated as confidential but must demonstrate that the material still falls within the exclusions established in KRS 61.878. 3. If Movant objects to the time limits that the Commission has placed on the confidential treatment for the materials in question, it must seek either rehearing pursuant to KRS 278.400 or judicial review of this Order pursuant to KRS 278.410. Failure to exercise either of these statutory rights will be deemed as agreement with the Commission’s determination of the period for which the material is afforded confidential treatment and will require Movant to demonstrate a change in circumstances in any subsequent motion for continued confidential treatment of the material in question after the end of the period set forth in ordering paragraph 2. 4. Use of the materials in question in this proceeding shall be in compliance with 807 KAR 5:001, Section 13(9). Movant shall inform the Commission if the materials in question become publicly available or no longer qualify for confidential treatment. 6. If a non-party to this proceeding requests to inspect materials granted confidential treatment by


2/18/2013

EKPC response to supplemental comments of intervenor sierra club


2/11/2013

East Kentucky Power Cooperative, Inc.'s Response to Sierra Club Comments on the 2012 Integrated Resource Plan of EKPC


2/11/2013

Sierra Club's Supplemental Comments


2/5/2013

Response to Order of Jan 29, 13 of East Kentucky Power, analysis and discussion


1/29/2013 11:19:04 AM

Order Entered; EKPC’s motion for an extension of time to file its responsive comments is granted. 2. EKPC shall file an updated analysis and discussion of the specific impacts on its 2012 IRP as a result of EKPC’s becoming a fully integrated member of PJM by February 4, 2013. 3. Intervenors may file supplemental comments concerning EKPC’s analysis and discussion of the impacts on EKPC’s 2012 IRP as a result of EKPC’s joining PJM by February 11, 2013. 4. EKPC shall file its responsive comments by February 18’ 2013.


1/23/2013

EKPC motion for enlargement of time


1/14/2013

Sierra Club's Comments on EKPC's 2012 Integrated Resource Plan


12/20/2012

Response of EKPC to revised second motion of Sonia McElroy and Sierra Club to Compel EKPC


12/14/2012 9:56:42 AM

Order Entered: 1. EKPC’s Motion is granted. 2. EKPC shall provide the information necessary to comply with the Commission’s December 4, 2012 Order by December 20, 2012. 3. The date for any party to file written comments on EKPC’s 2012 Integrated Resource Plan or request an informal conference shall be extended 10 days, from January 4, 2013 to January 14, 2013.


12/14/2012

Sonia McElroy and Sierra Club's Response to EKPC


12/10/2012

EKPC Motion for Enlargement of Time


12/4/2012 2:26:08 PM

Order Entered: Sierra Club’s motion to compel is granted. EKPC shall provide further information, as described herein, in response to Item Nos. 19(b), 1 9(c), and 28 no later than December 10, 2012. 3. The current procedural schedule for this proceeding, as established by the September 17, 2012 order, shall be amended as follows: a. Any party desiring to file written comments on EKPC’s integrated resource plan or request an informal conference shall do so no later than January 4, 2013. EKPC shall file any written responses to the comments filed by any party no later than January 18, 2013.


10/31/2012

Revised 2nd Motion of Intervenors to Compel EKPC to Respond to Requests for Info


10/30/2012

2nd Motion to Compel EKPC to Respond to Intervenors Initial Requests for Info and Continuance of Schedule


10/19/2012

EKPC Updated Responses to Sonia McElroy and Sierra Club with Confidential Petition


10/19/2012

EKPC Responses to Sonia McElroy and Sierra Club 2nd Supplemental Requests for Info


10/5/2012

Intervenors 2nd Supplemental Requests for Info to EKPC


10/2/2012 10:13:50 AM

Order Entered: Kristin Henry is admitted pro hac vice for the purpose of representing Sierra Club in the above-styled proceeding provided that Joe Childers, or another member of the Kentucky Bar Association, acts as co-counsel and is present at any and all proceedings before this Commission.


9/25/2012

Motion to Admit Pro Hac Vice by Sierra Club


9/21/2012

EKPC's Responses to Sierra Club's Motion to Compel


9/17/2012 1:23:35 PM

Order Entered: that the procedural schedule in this matter is amended as set forth in Item Nos. 1 through 4 of this Order.


9/14/2012 11:51:56 AM

Letter to Mark Goss granting East Kentucky Power's petition for confidentiality filed8/20


9/14/2012 11:41:47 AM

Letter to Mark Goss granting East Kentucky Power's petition for confidentiality filed 6/25


9/7/2012 9:58:51 AM

Order Entered: The motion of the Sierra Club to compel EKPC to provide further responses to its June 8, 2012 Initial Request for Information is granted in part, in that EKPC shall provide further information, as described herein, in response to Items 19, 21 , and 24 within 14 days from the date of this Order. 2. The remainder of the motion of the Sierra Club to compel EKPC to provide further responses to Items 17 and 25 of its June 8, 2012 Initial Request for Information is denied. 3. An order will be issued at a later date amending the procedural schedule for this proceeding.


8/20/2012

EKPC's Response to Commission Staff's Second Request for Information


8/20/2012

EKPC's Response to Sonia McElroy and Sierra Club's Supplemental Requests for Information


8/14/2012

Intervenors Reply in Support of Motion To Compel


8/10/2012

East Kentucky Power Response to motion of Sonia McElroy and Sierra Club


8/3/2012 9:58:54 AM

COMMISSION STAFF’S SECOND REQUEST FOR INFORMATION TO EAST KENTUCKY POWER COOPERATIVE, INC.


8/3/2012

Intervenors Requests for Info to EKPC


8/2/2012

Intervenors Motion to Compel EKPC to Respond to Initial Requests for Info


7/17/2012

EKPC's Responses to Movants Initial Requests for Information dtd 060812


7/9/2012 10:57:56 AM

Letter to Mark David Goss granting EKPC's petition for confidentiality filed 4/20/2012 for protection of certain information


7/5/2012 3:00:53 PM

Order Entered: EKPC’s Motion is denied. 2. The procedural schedule previously established in this matter is amended as set forth in the Appendix to this Order. 3. The attached amended procedural schedule shall be followed for the remainder of this proceeding.


6/29/2012

Intervenors Response to EKPC Motion to Clarify the Procedural Schedule


6/25/2012

EKPC's Motion to Clarify Procedural Schedule


6/25/2012

EKPC's Response to Commission Staff's 1st Request for Info dated 060812 with Confidential Petition


6/21/2012 10:20:46 AM

Order Entered: The Petition of Sonia McElroy and Sierra Club to intervene is granted. 2. Sonia McElroy and Sierra Club shall be entitled to the full rights of a party and shall be served with the Commission’s Orders and with filed testimony: exhibits, pleadings, correspondence, and all other documents submitted by parties after the date of this Order. 3. Should Sonia McElroy and Sierra Club file documents of any kind with the Commission in the course of these proceedings, Sonia McElroy and Sierra Club shall also serve a copy of said documents on all other parties of record.


6/18/2012

EKPC Counsel Notice of Change of Practice Affiliation and Change of Address


6/14/2012

EKPC Response to Intervenors Request for Information


6/8/2012 3:37:35 PM

Commission Staff's First Request for Information to East Kentucky Power Cooperative, Inc.


6/8/2012

McElroy and Sierra Club Petition for Full Intervention


6/8/2012

Proposed Intervenors Requests for Info to EKPC


5/25/2012 2:48:13 PM

Order Entered: 1. The procedural schedule set forth in the appendix to this Order shall be followed in this proceeding 2. Responses to requests for information shall be appropriately bound, tabbed and indexed and shall include the name of the witness responsible for responding to the questions related to the information provided, with copies to all parties at or before the time of filing. 3. Each response shall be answered under oath or, for representatives of a public or private corporation or a partnership or association or a governmental agency, be accompanied by a signed certification of the preparer or person supervising the preparation of the response on behalf of the entity that the response is true and accurate to the best of that person’s knowledge, information, and belief formed after a reasonable inquiry. 4. EKPC shall make timely amendment to any prior response if it obtains information which indicates that the response was incorrect when made or, though correct when made, is now incorrect in any material respect. 5. For any request to which EKPC fails or refuses to furnish all or part of the requested information, it shall provide a written explanation of the specific grounds for its failure to completely and precisely respond. 6. Motions for extensions of time with respect to the schedule herein shall be made in writing and will be granted only upon a showing of good cause.


5/18/2012

EKPC's Notarized Proof of Publication of IRP


5/17/2012 2:21:02 PM

Order Entered: 1 The motion of Gallatin to intervene is granted. 2. Gallatin shall be entitled to the full rights of a party and shall be served with the Commission’s Orders and with filed testimony, exhibits, pleadings, correspondence, and all other documents submitted by parties after the date of this Order. 3. Should Gallatin file documents of any kind with the Commission in the course of these proceedings, Gallatin shall also serve a copy of said documents on all other parties of record.


5/9/2012

EKPC Revision to Page 46 of 2012 IRP Filed on 042012


5/7/2012

Petition to intervene of Gallatin Steel Company


4/23/2012 10:57:16 AM

Acknowledge Receipt of Filing


4/20/2012

EKPC's 2012 Integrated Resource Plan with Petition for Confidentiality and Technical Appendices an


4/20/2012

EKPC's 2012 Integrated Resource Plan with Petition for Confidentiality and Technical Appendices an


4/20/2012

EKPC's 2012 Integrated Resource Plan with Petition for Confidentiality and Technical Appendices an