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— ORIGINAL
`
`OFFICE GF THE _»
`SECRETARY yNITED STATES OF AMERICA
`BEFORE THE
`0 APA - ZFEDERAL) ENERGY REGULATORY COMMISSION
`) Docket No. EL03-180-000
`)
`} Docket No. EL03-184-000
`Modesto irvigation District ) Docket No. EL03-193-000
`Public Service Company of New Mexico ] Docket No, EL03-200-000
`}
`Enron Power Marketing, Inc. ] Docket No. EL03-154-000
`apd Enron Energy Services Inc. )
`Portland General Electric Company ) Doeket No. EL02-114-007
`Enron Power Marketing, Inc. )} Docket No. ELOZ-115-008
`
`JOINT STIPULATION OF ENRON POWER MARKETING, INC. AND ENRON
`ENERGY SERVICES INC, AND PUBLIC UTILITY DISTRICT NO. 1
`OF SNOHOMISH COUNTY, WASHINGTON REGARDING
`THE DEPOSITION OF JOHN P, WHITE
`
`April 2, 2004
`
`To: Presiding Administrative Law Judge
`Isaac D, Benkin
`
`On March 23, 2004, Enron Power Marketing, Inc., and Enron Energy Services Ine.
`(collectivaly, "Enron”) noticed the deposition of Mr. John P, White, a wilness appearing on
`behalf of Public Utility District No. 1 of Snohomish County, Washington (“Snohomish®). Mr.
`White is the Assistant General Manager for Engineering Services at Snohomish and his office is
`
`located in Everett, Washington.
`
`In the Notice, Enron proposed that Mr. White"s deposition be held on April 13, 2004 a
`the office of Enron’s counsel located in San Francisco, California. Counsel for Snobomish has
`mp:ind.mul.firEnrnnthatM:.Whiui:mnwflhblefurldapnfifiminflmfimflimm
`April 13, 2004, Snohomish offered to instead make Mr. White available for a deposition in
`Everett, Washington on April 27, 2004, Enron is willing to take Mr. White’s deposition at this
`
`
`
`
`
`
`
`
`location & on this date. However, pursuant to the procedural schedule in effect in this case,
`discovery by Respondents of Commission Trial Staff and Intervenors is generally scheduled to
`end on April 23, 2004,' Therefore, Enron and Snohomish hereby agree and jointly stipulate as
`
`follows:
`
`1. To sccommodate Mr, White's scheduling commitments, Frron and Snohomish
`agree that Mr, White's deposition will be conducted after the generally scheduled
`period for discovery on Intervenors ends, Specifically, Mr. White's deposition
`shall be taken at his office in Bvarett, Washington on April 27, 2004
`
`2. Enron and Snohomish further agree to allow a period of five business days after
`April 27, 2004 for Mr. White to provide supplemental answers to questions
`related to Mr, White's Direct Testimony that were askad i the deposition, wo the
`
`exlent néoEssary.
`
`Respectfully submitted,
`
`LA
`
`Deborah A. Swanstrom
`Panon Boggs, LLP
`2550 M Strect, NW.
`
`Washingion, DC 20037
`Tel.: 202 -457-6000
`Fax: 202-457-6315
`
`Artorney for Public Utility District No. 1 of
`Snokomizh County, Waskington
`
`Lo Berents
`
`Sam Behrends / i;lh..r
`
`H. Liza Moscs
`
`LeBoeuf, Lamb, Greene & MacRee, LLP
`1875 Connecticut Ave., NNW.
`
`Washingtan, DC 20009
`
`Tel.: 202-986-8000
`
`Fax: 202-986-8100
`
`Anorneys for Enron Power Marketing, Inc.,
`and Enron Energy Services, Inc.
`
`! Ouder Amending Procedural Schedule, Docket Nos. EL03-180-000 et al., (Tan. S, 2004).
`
`
`
`
`
`
`
`
`CERTIFICATE OF SERVICE
`I bureby certify that a copy of the foregoing will be served this day upon counsel] for
`
`Snohomisl; and upon the EL03-137 and ELO3-180 lisiscrvs, and that a hard copy will be sent by
`first class inail to Commission Trial Siaff.
`
`Dated st Washington, D.C., this 2nd day of April, 2004,
`
`el
`Samuel G. Backficld
`
`
`
`
`
`
`
`
`

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