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FRANK G. PATRICK & ASSOCIATES - State of Oregon

FRANK G. PATRICK & ASSOCIATES - State of Oregon

FRANK G. PATRICK & ASSOCIATES - State of Oregon

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<strong>FRANK</strong> G. <strong>PATRICK</strong> & <strong>ASSOCIATES</strong>CORPORATE LAWYERS P.C.Attorneys At LawP.O. Box 231119Address for Messenger: 11040 SW Barbur Blvd.Portland, OR 97281Phone: 503-245-2828 Fax: 503-245-1448September 15, 2009Public Utility Commission <strong>of</strong> <strong>Oregon</strong>Attn: Filing Center550 Capitol St. NE, Ste. 215PO Box 2148Salem, OR 97308-2148To: Hon. Allan ArlowPublic Utility Commission <strong>of</strong> <strong>Oregon</strong>RE:NORTHWEST PUBLIC COMMUNICATIONS COUNCIL V. QWEST CORP.Docket DR 26/UC600Unopposed Motion to Enlarge Time to File Amended ComplaintDear Judge Arlow,Please find enclosed a motion, requesting an enlargement <strong>of</strong> time to file the AmendedComplaint in this proceeding. Mr. Reichman and I have discussed the matter and he hasindicated that Qwest has no opposition to the motion for the enlargement <strong>of</strong> time.If you would like to have a conference call in regard to that please advise.Sincerely,/s/Frank G. PatrickAttorney at LawCc: Lawrence Reichman (email; US Mail) reicl@perkinscoie.comJason W. Jones (email; US Mail) Jason.w.jones@state.or.usAlex M. Duarte (email; US Mail) alex.duarte@qwest.com


1234BEFORE THE PUBLIC UTILITY COMMISSIONOF OREGON56789101112The Northwest Public CommunicationsCouncil,v.Qwest Corporation,Complainant,Respondent.DOCKET NO. DR 26/UC 600DECLARATION IN SUPPORT OFUNOPPOSED MOTION FOR ENLARGEMENTOF TIME TO FILE AN AMENDEDCOMPLAINT13141516171819202122232425The undersigned, Frank G. Patrick does submit this Declaration in Support <strong>of</strong> the Motionto Enlarge Time to file an Amended Complaint.1. I am the new counsel for the Complainants, including the NPCC and the 13 claimantsadded by the Commission’s order <strong>of</strong> May 4, 2009.2. My review is simply requiring additional time to properly file with the Commission.3. I have discussed this motion with Lawrence Reichman, who has authorized me torepresent that Qwest does not oppose the motion.4. I spoke to Jason Jones, <strong>of</strong> the Department <strong>of</strong> Justice, it does not oppose the motion.“I hereby declare that the above statement is true to the best <strong>of</strong> my knowledge andbelief, and that I understand it is made for use as evidence in court and is subject topenalty for perjury.”DATED this September 15, 2009./s/<strong>FRANK</strong> G. <strong>PATRICK</strong>, OSB 76022Attorney for Complainant26Page 1 DECLARATION IN SUPPORT OF UNOPPOSED MOTION TO ENLARGE TIME<strong>FRANK</strong> G. <strong>PATRICK</strong>, OSB 76022PO Box231119 PORTLAND, OR 97281Phone (503) 245-2828 Fax (503)245-1448

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