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Category:Legal-Correspondence
MONTHYEARML24141A1482024-05-17017 May 2024 05.17.24 Supplemental Excerpts of Record ML24088A0252024-03-27027 March 2024 03.27.24 Respondents Motion for Extension ML24067A0882024-03-0404 March 2024 Email Hearing Request from San Luis Obispo Mothers for Peace, Friends of the Earth, and Environmental Working Group ML23354A0362023-12-19019 December 2023 12.19.23 Respondents Second 28(j) Letter ML23192A0252023-07-0303 July 2023 7-3-23 Petitioners Excerpts of Record Volume 3 (9th Cir.)(Case No. 23-852) ML23192A0212023-07-0303 July 2023 7-3-23 Petitioners Excerpts of Record Volume 1 (9th Cir.)(Case No. 23-852) ML23192A0192023-07-0303 July 2023 7-3-23 Petitioners Excerpts of Record Index (9th Cir.)(Case No. 23-852) ML23192A0232023-07-0303 July 2023 7-3-23 Petitioners Excerpts of Record Volume 2 (9th Cir.)(Case No. 23-852) ML23161A0012023-06-0606 June 2023 6-6-23 Respondents Motion to Extend the Time to File the Certified Index (9th Cir.)(Case No. 23-852) ML23144A2482023-05-17017 May 2023 5-17-23 Motion to Intervene Filed by Pge (9th Cir.)(No. 23-852) ML23136A0132023-05-10010 May 2023 5-10-23 Slompf Mediation Questionnaire (9th Cir.)(Case No. 23-852) ML21067A4142021-03-0808 March 2021 3-8-21 Mandate from 9th Circuit - Public Watchdogs V NRC 9th Cir 20-70899(Filed) ML18337A0642018-11-26026 November 2018 Court Mandate - 11-26-2018 - Foe V NRC - DC Cir 16-1004 ML16314B6872016-11-0909 November 2016 Intervenors' Request for Documents and Records from the Nuclear Relation to Geology and Seismicity ML16057A1982016-02-25025 February 2016 Federal Respondent'S Response to Opposition to Petitioner'S Motion to Hold the Case in Abeyance 2-25-16 ML16043A4972016-02-11011 February 2016 Petitioners Certificate Parties 2-11-16 ML15012A5462014-12-12012 December 2014 14-1213(D.C.Cir.) Certified Index of Record (Filed) ML15007A5122014-12-0101 December 2014 Petitioner'S Filing of the Underlying Decision from Which the Petition Arises ML12137A0242012-05-15015 May 2012 Diablo Canyon - May Hearing File Update ML1030200242010-10-28028 October 2010 San Luis Obispo Mothers for Peace V. USNRC; No. 08-75058 - Oral Argument Scheduled for November 4, 2010 Before Judges Reinhardt, Thomas & Chief Judge Restani of the International Court of Trade ML0717601352007-05-0303 May 2007 5/3/2007 - Petitioner'S Reply to Respondents' Opposition to Motion for Attorneys Fees and Costs Between San Luis Obispo Mother for Peace V. USNRC and Pacific Gas & Electric Co; No. 03-74628 ML0717601492007-02-14014 February 2007 2/14/2007 - Corrected Petitioners Motion for Attorney'S Fees and Costs, Errata Sheet and Additional Declarations; No. 03-74628 ML0703305102006-11-17017 November 2006 No. 06-466; Letter from the Honorable William K. Suter Granting the Extension of Time ML0703304402006-11-16016 November 2006 No. 06-466; Letter to the Honorable William K. Suter Petition for a Writ of Certiorari ML0703304422006-10-25025 October 2006 Corrected Letter from the Honorable William K. Suter for the Extension of Time No. 06-466 ML0703304442006-10-23023 October 2006 Letter from William K. Suter, Clerk Response to the Petition for a Writ of Certiorari Granting Extension of Time ML0703305212006-10-20020 October 2006 Letter to the Honorable William K. Suter, Regarding Pacific Gas & Electric Company V. San Luis Obispo Mother for Peace, Et At. S. Ct No. 06-466 ML0703305182006-10-20020 October 2006 Letter to U.S. Supreme Court Docket No. 06-466 Requesting a 29-Day Extension of Time for Filing an Opposition to the Petition for Certiorari ML0622301182006-07-0606 July 2006 Reply to Petitioners' Response to Government'S Motion for Extension of Time within Which to File a Petition for Rehearing or Rehearing En Banc, Dated 07/06/2006 ML0622301172006-07-0505 July 2006 Petitioners' Response to Us Nrc'S Motion for Extension of Time to File Petition for Rehearing, Dated 07/05/2006 ML0622301232006-06-29029 June 2006 Federal Respondents' Motion for Extension of Time in Which to File a Petition for Rehearing En Banc, Dated 06/29/2006 ML0622301222006-06-0202 June 2006 Petition for Review of an Order of the Nuclear Regulatory Commission, Filed 06/02/2006 ML0533202202005-11-17017 November 2005 Federal Respondents' Fifth Filing Under Frap 28J, Dated 11/17/05 ML0531801412005-11-0909 November 2005 Federal Respondents' Fourth Filing Under Frap 28J, Dated 11/9/05 ML0533202592005-10-11011 October 2005 Federal Respondents' Second Filing Under Frap 28J, Dated 10/11/05 ML0503101152005-01-12012 January 2005 Original Mandate Transmitted to NRC, Dated 01/12/05 ML0436502262004-11-24024 November 2004 Letter to Court Clerk from G. Kim Clarification of a Post-Oral Argument Letter, Dated 11/24/04 ML0436502302004-11-19019 November 2004 Letter to Court Clerk from R. Mcdiarmid Information of e-mail Messages, Dated 11/19/04 ML0436502382004-11-15015 November 2004 Facsimile Message to Courtroom Deputy Clerk from G. Kim Oral Argument Schedules 11/19/04 ML0436502342004-11-15015 November 2004 Letter to Court Clerk from R. Mcdiarmid Oral Argument for 11/19/04, Dated 11/15/04 ML0421802322004-07-30030 July 2004 Errata Re Eighth and Final Fee Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for Winston & Strawn ML0421702892004-07-26026 July 2004 Final Application of Pricewaterhousecoopers Llp for Allowance and Payment of Compensation and Reimbursement of Expenses (September 1, 2002 Through February 28, 2003) ML0421004272004-07-21021 July 2004 Notice of Motion and the California Power Exchange Corporation Motion for Authority to Amend Prepetition Claim, Memorandum of Points and Authorities, Declaration of Marc S. Cohen in Support Thereof ML0421004302004-07-20020 July 2004 Notice of Application & California Power Exchange Corporation'S Application for Payment of Professional Compensation & Reimbursement of Expenses Under 11 U.S.C. 503(b)(3) & (4); Memorandum of Points and Authorities; Declarations of Cohen, R ML0420202962004-07-12012 July 2004 Eighth and Final Application for Allowance of Fees and Expenses of Winston & Strawn Llp (August 16, 2001 Through April 12, 2004) ML0420203032004-07-12012 July 2004 Exhibits in Support of Motion of the City of Palo Alto for Order Directing Payment of Reasonable Attorneys' Fees and Costs Pursuant to Section 503(b)(3)(D), 503(b)(3)(F) and 503(b)(4) ML0420302692004-07-12012 July 2004 Ninth Interim and Final Application of FTI Consulting Inc. for Allowance and Payment of Compensation and Reimbursement of Expenses (April 11, 2001 Through April 12, 2004); Declaration of Thomas E. Lumsden in Support Thereof ML0421004192004-07-0404 July 2004 Appendix of Exhibits in Support of the California Power Exchange Corporation'S Application for Payment of Professional Compensation and Reimbursement of Expenses Under 11 U.S.C. 503(b)(3) and (4) ML0416706302004-06-0707 June 2004 Modesto Irrigation District'S Response to Debtor'S Objection to Claim ML0415902522004-05-28028 May 2004 Saybrook Capital, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1 Through April 12, 2004 2024-05-17
[Table view] Category:Legal-Correspondence/Maintenance
MONTHYEARML0533202202005-11-17017 November 2005 Federal Respondents' Fifth Filing Under Frap 28J, Dated 11/17/05 ML0531801412005-11-0909 November 2005 Federal Respondents' Fourth Filing Under Frap 28J, Dated 11/9/05 ML0533202592005-10-11011 October 2005 Federal Respondents' Second Filing Under Frap 28J, Dated 10/11/05 ML0503101152005-01-12012 January 2005 Original Mandate Transmitted to NRC, Dated 01/12/05 ML0436502262004-11-24024 November 2004 Letter to Court Clerk from G. Kim Clarification of a Post-Oral Argument Letter, Dated 11/24/04 ML0436502302004-11-19019 November 2004 Letter to Court Clerk from R. Mcdiarmid Information of e-mail Messages, Dated 11/19/04 ML0436502382004-11-15015 November 2004 Facsimile Message to Courtroom Deputy Clerk from G. Kim Oral Argument Schedules 11/19/04 ML0436502342004-11-15015 November 2004 Letter to Court Clerk from R. Mcdiarmid Oral Argument for 11/19/04, Dated 11/15/04 ML0421802322004-07-30030 July 2004 Errata Re Eighth and Final Fee Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for Winston & Strawn ML0421702892004-07-26026 July 2004 Final Application of Pricewaterhousecoopers Llp for Allowance and Payment of Compensation and Reimbursement of Expenses (September 1, 2002 Through February 28, 2003) ML0421004272004-07-21021 July 2004 Notice of Motion and the California Power Exchange Corporation Motion for Authority to Amend Prepetition Claim, Memorandum of Points and Authorities, Declaration of Marc S. Cohen in Support Thereof ML0421004302004-07-20020 July 2004 Notice of Application & California Power Exchange Corporation'S Application for Payment of Professional Compensation & Reimbursement of Expenses Under 11 U.S.C. 503(b)(3) & (4); Memorandum of Points and Authorities; Declarations of Cohen, R ML0420302692004-07-12012 July 2004 Ninth Interim and Final Application of FTI Consulting Inc. for Allowance and Payment of Compensation and Reimbursement of Expenses (April 11, 2001 Through April 12, 2004); Declaration of Thomas E. Lumsden in Support Thereof ML0420203032004-07-12012 July 2004 Exhibits in Support of Motion of the City of Palo Alto for Order Directing Payment of Reasonable Attorneys' Fees and Costs Pursuant to Section 503(b)(3)(D), 503(b)(3)(F) and 503(b)(4) ML0420202962004-07-12012 July 2004 Eighth and Final Application for Allowance of Fees and Expenses of Winston & Strawn Llp (August 16, 2001 Through April 12, 2004) ML0421004192004-07-0404 July 2004 Appendix of Exhibits in Support of the California Power Exchange Corporation'S Application for Payment of Professional Compensation and Reimbursement of Expenses Under 11 U.S.C. 503(b)(3) and (4) ML0416706302004-06-0707 June 2004 Modesto Irrigation District'S Response to Debtor'S Objection to Claim ML0416001862004-05-28028 May 2004 Cooley Godward Llp'S Thirty-Fifth Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1, 2004 - April 12, 2004 ML0416005722004-05-28028 May 2004 Rothschild Inc'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1, 2004 - April 12, 2004 ML0416005602004-05-28028 May 2004 Deloitte & Touche Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses (March 1, 2004 to April 12, 2004) ML0415902522004-05-28028 May 2004 Saybrook Capital, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1 Through April 12, 2004 ML0415603342004-05-27027 May 2004 Howard, Rice, Nemerovski, Canady, Falk & Rabkin Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1, 2004 Through April 12, 2004 ML0415603072004-05-26026 May 2004 FTI Consulting Inc. Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1, 2004 to April 12, 2004 ML0415508302004-05-26026 May 2004 Steefel, Levitt & Weiss'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1-12 2004 ML0415603352004-05-25025 May 2004 Innisfree M&A Incorporated'S Fourth Interim Cover Sheet Application for Allowance and Payment of Compensation and Reimbursement of Expenses for the Period January 1, 2004 - April 12, 2004 ML0415902482004-05-25025 May 2004 Milbank, Tweed, Hadley & Mccloy Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1, 2004 Through April 12, 2004 ML0415404112004-05-24024 May 2004 Winston & Strawn Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1.2004 Through April 12 2004 ML0414900892004-05-21021 May 2004 Heller Ehrman White & Mcauliffe Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1, 2004, Through April 12, 2004 ML0415903242004-05-21021 May 2004 Public Policy Advocates Llc'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for April 1, 2004 Through April 12, 2004 ML0414701812004-05-20020 May 2004 Legc, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1. 2004 to April 12 200 ML0413203762004-04-30030 April 2004 Saybrook Capital, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for March 1 Through March 31, 2004 ML0412705072004-04-30030 April 2004 Steefel, Levitt & Weiss'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period March 1-31, 2004 ML0413303832004-04-30030 April 2004 Rothschild Inc'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period March 1, 2004 - March 31, 2004 ML0413303802004-04-30030 April 2004 Howard, Rice, Nemerovski, Canady, Falk & Rabkin Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for March. 2004 ML0413203702004-04-30030 April 2004 FTI Consulting Inc. Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for March 1, 2004 to March 31, 2004 ML0413202012004-04-30030 April 2004 Cooley Godward Llp'S Thirty-Fourth Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period March 1, 2004 - March 31, 2004 ML0413203752004-04-30030 April 2004 Heller Ehrman White & Mcauliffe Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period March 1, 2004, Through March 31, 2004 ML0412700262004-04-29029 April 2004 Winston & Strawn Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period, March 1. 2004 Through March 31. 2004 ML0412700412004-04-27027 April 2004 Keker & Van Nest'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period March 1, 2004 to March 31, 2004 ML0414701802004-04-23023 April 2004 Milbank, Tweed, Hadley & Mccloy Llp'S Cover Sheet - Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for March 2004 ML0412102292004-04-22022 April 2004 Lecg, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period 03/01-31/2004 ML0414701852004-04-15015 April 2004 Public Policy Advocates Llc'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for March 1, 2004 Through March 31, 2004 ML0414102072004-04-12012 April 2004 Keker & Van Nest'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period April 1, 2004 to April 12, 2004 ML0410703992004-03-31031 March 2004 FTI Consulting Inc. Cover Sheet Applications for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for February 1, 2004 to February 29, 2004 ML0409804962004-03-31031 March 2004 Cooley Godward Llp'S Thirty-Third Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period February 1, 2004 - February 29, 2004 ML0409704632004-03-30030 March 2004 Howard, Rice, Nemerovski, Canady, Falk & Rabkin Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for February, 2004 ML0409704442004-03-30030 March 2004 Deloitte & Touche Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses (February 1, 2004, to February 29, 2004) ML0409704382004-03-29029 March 2004 Lecg, LLC Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period February 1, 2004 to February 29, 2004 ML0409703622004-03-29029 March 2004 Skadden, Arps, Slate, Meagher & Flom Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for the Period February 1, 2004 Through February 29, 2004 ML0409805892004-03-26026 March 2004 Milbank, Tweed, Hadley & Mccloy Llp'S Cover Sheet Application for Allowance and Payment of Interim Compensation and Reimbursement of Expenses for February 2004 2005-11-09
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Text
"-1 JAMES L. LOPES (No. 63678) '--f JANET A. NEXON'(No.' 104747) 2 'JULIEB. LANDAU (No. 162038) U HOWARD, RICE, NEMEROVSRI; CANADYj C
3 -FALK& RABKIN .
--AProfessional Coiaoiftion 4 Three Embarcadero Center, 7th Floor '. ""- -.
San Francisco, California 94111-4065 .
5 Telephore: 415/434-1600" Facsimiile:'415/0.t7-5910 -:"
6
'Attomreys for Debtoi and Debidr in Po6session 7 PACIFIC GAS AND ELECTRIC COMPANY-8
-9 "".NITED STATES BANKRUPTCY COURT. .
,- NORTHERNDISTRICT OF CALIFORNIA "10.
11 SAN FRANCISCO DIVISION,,- .
I 12 In re Case No. 01-30923 DM SHOWARD 13 PACIFIC GASAND ELECTRIC -, Chapter 11 Case iEma RIK 14 COMPANY, a California corporation, Date: '-November 822002
&RAnN(I Debtor.' Time: 1:30'p.m.
,,,g. 15 -Place: . - 235 Pine Street, 22nd Floor Federal I.D. No. 94-0742640 San Francisco, California 16 17 DECLARATION OF WILLIAM A. UT'IC IN4SUPIPORT OF 18 THIRD MOTION,FOR AUTHORITY-TO INCUR "MISCELLANEOUS IMPLEMENTATION EXPENSES 19 i
20 l 21 1, - - - CC , .. - - -a,, - - - C, -
22 23 jCC ,>'J -.- , -
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i 24.
25 26 * - C' - C..',.; I,-,,-- -
27, 28-
. DECLARATION OF WILLIAM A. UTIC 00ok
I
- 1. I, William Utic, declare:
2 1. I have been employed by Pacific Gas and Electric Company (ý'PG&E")
3 since 1979. Since October.2001, [ have held th'e position of Manager of Property Planning 4 andTransactioiisu: Previous;to 2001, I theld vari6us-mianageriaI positions within-PG&E,..
5 including responsibility for building operations, building design; engineering and 6 construction project management. - . .. . '
7 2. This~declaration is submitted-in suppbrtobfPG&E'sThird Motion for' 8 Authority to Incur Miscellaneous Implementation Expenses (the "Motion"?). Defined terms 9 used herein shall hve-the meaings-set'forth in'the.M6tion I-make thig declaration based 10 on personal knowledge, 'eiccept'wher*' 6the'rise in'dicaied; anid if called as a witness, could 11 and'would testify competently to tfie matters,6t fdrth herein.
12 - 3 To irn~plei"&nt th Plan, PG&E antkipate that sdVen new buildings will be 13 16ased and' pre'pared for 'occupancy and'30 existing-PG&E-ox'ned biiildings riiuisf b6 rq 14 niodifi:d for use by PO&E hnd the NerO Enfities.: These"facilities atre needed to l~rovide& .
15 separate-vorking ire'as for field'employeei of PG&E'ahdeach:`of th6.New-Ehtities by'the' 16 Plan Effei'tive Date.' For examtli, PG&E -firrentI2-haý'sbiintion rhaintenafice facilities that 17, include both'distribution* and electric transmissidn, functions; vhich PGr&E bdlieVes canfiot
,18 be o6rated, eff&tiv'elyý finess th'ehimiiloy6es dofPG&E-afid-effiloyees of ETrans are '
i9 Physically'separated.'-Sin~e PG&E and ETrans-vilibe sepa-'ratelfegal entities, it is inportint 20 that there be-rio'confusidn*-about employee superVisibii itfid:bornipliance with legal and,'
21 business i'equirernienis. Another ieason for th6-rie'*w buildings and existing building 22 modifications is thaf the New Entities will individ6iily'be'snm'lf-r companies, with feweri 23 empi ,'tliari pehen"f day PG&E. in-order for 'the New'Entities to maintain properly-22 24 supervised work sitfs,'it is necessary to modify "existihg-w6rk'sites or'to firidnew spade that 25 will acco'mmodat6-the regda f6r cons6lidated-work'sites. This-project will not provide for-the S,26 separation of all employe~s of PG&E and the New Eniities by the Plan Effectiv-e Date!;,
27 ,rather, the separation described heiein only covers a p'ortion of the facility separation work, 28 specifically the portion that PG&E has deemed 'i'itical to co-ffiplete by the Plan Effective '.
"I..
1 - .. '. DECLARATION OF WILLIAM A. UTIC
I!
1 Date. The remaining facility separation work will be'corpleted ,after the Plan Effective
_)Date. .
3 Although PG&E:hasi'dentified the'need 'for new space to be leased and for
-4.'
'certain cc'nstructi6n work to be terforrne'd,-PG&E Will not-ehtet, ihtoany'leases or, a 5 commince any constructofi work until after Plani confirmatioi- (and after obtdining Court 6 approval). T*he projects set forth below'involve pr'elimiriiry'_Wv-o'k-thairxiitst begin promptly a7 Jirorder for PG&E-to be'prepared to. 'omnrieice-cohstriiction Wok'following Plan" confirmation.r' ... . '. - *"
-9 . .-5 Constructioin'rProject-Managers'Ian ordei toprep'are-the new buildings for 10 *occupancy, "anidmditfy the 'ekistifig buildings t6 servemgiltiple companiesPG&E seek to hire construction project managers-to-manage-the r6qquired construction work. Although 12 ,PG&E has in-house expertise in"this area, PG&E does not'believedit has the'capacity t 'o:
a 13 perform the -workin-hOuse-due to currenit wofkl6ads.- PG&E intefids~to'delay any necessary HOAR.
NNUOV1a~iW
,KEIA* 14., construction,work until -after Jthe Planýhas been confirmied. ",However, in'order to assess the EUK Ao.dQ* 15 ,constructiqn needs and plan- forthe construction work; itis necessary to hire the construction
-16 managers promptly to, ierform prelimin.y work pi-ior to.confirmation, 'This.preliminary
- 17 "workwill include the following tasks:i),determiningthe scop'e of.work tg'be performed on 18 eac*hbuilding;1(ii) preparing.and 'submitting 166albuildingperriiit and copnditional use permit
, 19. applications; 1(iii) dev~eoping detailed,- site-specific pork sdhedul6s; and (iy) preparing 20 Scontract specifications;'selecting jqualjlfied.contractors, and negotiating'contract terms.
21 -6. Ba~sed ujop its experience with similar projects,' PG&E estimates that 22 approximately seien 'onstruction managers will be.required to manage the building projects 23 .'at a total estimatd ,cost,of approximately $425,000. ,The conistru~ctionmanagers-will be S' a e. a ' of' E ' y- S- ea- ic ' 'c" 24, 'hired on 'a emporary basis through Source Cahfomi Energy Servies, In.
25 7 '-. Permits, Engineering'afid OtherP-e-C6fistruction Costs. With respect to 26 both the buildings to be leased and the existing PG&E-o,*fied biiildings, certain pr6e 27 construction -osts need to b' incurred beginniiigin NoVember 2002 f6r'such -items as 28 conditional 1use and construction permits, preliminary engineering and design work, and "DECLARATIONOF WILLIAM A. UTIC 1 environmental assessments. For example, in the case, of a building that PG&E-intends to 2 lease for use as.a Materials- Distribution Center-for the-New Entities,1 there are currently 3 estimated costs of$3,6,4Q0, comprisedof the, following components: (i) $2,000 for a 4 -conditional, use.Perrnit~to operate the site as.a utility warehouse and distribution center;.(ii) 5 $2,000 for a construiction permitirelated to necessary-facility modifications; (iii),$24,900 for 6' design, seismic analysis, fire protection design andpermits related, to the installation of 7 materials racking (the vendor for~this part, of the project isCrown Lift Trucks Company, a
- 8. -supplier of materials handling products, storage solutions and.support services related to 9 ;warehousing. and-materials distribution. systems as well-as alcertified fire engineering and 10 design firm); and (iv) $7;50Q for a Phase 1 Environmental.Site-Assessment..o-11 - 8.- *.G&E,4nticipates-that similarexpenses ,will b.e incurred-with respect to the
. 12 other buiilding§s(provided that a Phase.I-will only be conducted with respect to the properties 13 Jto~be leased.) Until the gonstructionproject managers desqribed- in Section 1 above begin F 14 work; PG&E will not have a precise estimate of the total pre:construction costs. Currently, -,
fRA. N -
15 it is anticipated' that Phase I assessments will be conducted with respect to all, leased - -.
16 properties at a cost,of.approximately $7,500 each;, PG&B.also:seeks authority to incur up to
-17 $100,000in additional, pre-construction, expenses.to covet.permits- and engineering costs.
18 -WhilePG&E will haye a:more precise estimale oftlhese pre-construction expenses within 19 the next, month and expects that theseexpenses willexreed $100,000, it is important that the 20 projects not be delaiyed while PG&E is.determining.the.fiAlextent of,this work and can bring 21 another motiort for Court approval. Based on PG&E'spastexperience in preparing 22 . . .. ... ... ° At page 9 of the Motion for Auihority to Incur Mispellaneous Implementation',
- 23. Expenses, filed -odn Ai'igus't 15, 2002, PG&E explairied its, inteht to have the Newv EntitiesZ share PG&E's existing warehouses until a new Materials Distribution Center ("Centei")
24 could be set-up.- PG&E-has now decided to set u 'the-new Centef by the Plan Effective Date in lieu of implementing shared warehouse procedures. This decision is based, in part, on the 25 availability of a suitable building for the fnew Center, which canbe prepared for occupancy by the Plan Effective Date. This will also avoid the difficulties of having the New Entities 26 temporarilyshai'e'warehouse space with PG&E.' Ttiý $30;000 in con'sulting feesjpreviously approved for the has management ofto thedevelopment materials distribution 27 of the project simpiy'shifted of the newproject Centerisinstill lieuneeded; the focus of a facility 28 sharing strategy.
DECLARATION OF WILLIAM A. UTIC 3/4
'1 buildings fdr-occupancy and the estimates that have been developed for the Materials
.2 Distribution Center, PG&E believes that it can~begin certain -critical:or time-sensitive pre 3 construction work with th&authoriiy to incur up to.$100'060 at this time. 'Therefore, PG&E "4 seeks authority to incur a total of $181,400.in' pre-c6nstruction"Ubsts, including: (i) $36,400
--in connection'with the -Materials Distribution Center, as described above,-(ii) an additional 6 $45;00O for Phase-I assessments for 6.tdditional properties to be leased, and (iii) an
"-additional $100,000 for permit' and engineering costs. "
S 8 9. -. PG&E believes'that it-must begin to incur these expenses prior to Plan.
confirmation for ihe following reasons. :Thb-permits can take, as long as two months to-.
10 process;'therefore, as soon as the project managers identifya need for a permit, an application will be submitted to the appropriatelocal 'government entity. Although PG&E
- '1-11 2 may request permits in advancedf leasing the p-rolperties,' it -isanticipated that the building HOWARD owners will consent to the'permit-applications. The preliminary engineering work must'.
avi*,! 153
-14 begin prior to confirmation so thai the actual'construction work can begin promptly
.*.* 15 following confirmation; also; 6ertain-preliminary engineering work is often -required in; 16 connection with the-preparation'ofconstructionor cinditional use permit applications.
- 17 Finally; an-environmental assessment of.any property to be'leased must be tompleted'prior
- o18 to the time PG&E enters into the leases so that PG&E can be fullyI'nformed -about any
- '19 !.environmental hazards ;associated With'thb'bihilding and have a'baseliiie aggessment of the 20 condition of ihe building.prior'toPG&E's occupjancy;.:." .. "' ""
21, "10. , PG&E's standard contractual prcvisions in place '(or to be included in any 22 contracts to be executed) with the construction managers--described above and any
- 23. engineering. firms to be utilized wiI.I n'ot guarantee future'w rk br aiym'ininimnum amount of
- 24 revenue. PG&E'will also maintairthe'right t-'terminate the wOik at,anyitlme without cause,
" 25, ifi which ease PG&E 'is liable ornly' for work peiformed to the date of termination plus costs S .
26 reasona~bly inctirred by thle consultant'in terminating any work in progress.
, -, . - -
27 28
- ,DECLARATION OF WILLIAM A UTIC
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1 I declare under penalty of perjury under the laws of the United States of America 2 that the foregoing is true and correct and that this Declaration is executed this 18th day of 3 October, 2002, at San Francisco, California. I I I tk"-ý.I 4
5 WILLIAM A. UTIC 6 WD 101702/1-1419905/1030566/vi 7
8 9
10 11 12 HOWRD 13 14
&RAIZUN Apýo-4Cr_ 15 16 17 18 19 20 21 22 23 24 25 26 27 28 DECLARATION OF WILLIAM A. UTIC