Message-ID: <13025523.1075858513528.JavaMail.evans@thyme> Date: Wed, 9 May 2001 11:29:03 -0700 (PDT) From: crcommunications@caiso.com To: 20participants@caiso.com Subject: CAISO Notice: Subpoena in the PG&E bankruptcy proceeding Mime-Version: 1.0 Content-Type: text/plain; charset=ANSI_X3.4-1968 Content-Transfer-Encoding: 7bit X-From: CRCommunications @ENRON X-To: ISO Market Participants X-cc: X-bcc: X-Folder: \Stokley, Chris (Non-Privileged)\Chris Stokley\ISO\MRKT INFO X-Origin: Stokley-C X-FileName: Stokley, Chris (Non-Privileged).pst Market Participants: During the bankruptcy court teleconference on discovery yesterday it was determined that 1) for the moment, the ISO has been relieved of the obligation to respond to the subpoena, and 2) PG&E will file a motion with the bankruptcy judge requesting the information it requires from the ISO and the PX. The motion will be served on the primary contact for each ISO scheduling coordinator. Parties will have an opportunity to respond. Market Participants with concerns about discovery matters in the PG&E bankruptcy proceeding should make sure they get papers from the Scheduling Coordinator primary contact in a timely manner and be prepared to present their own positions to the bankruptcy court. Market Participants should not rely on the ISO to make their arguments for them. In accordance with the tariff, the ISO will continue to provide notice of any subpoenas it receives that request information covered under section 20.3. However, once this notice has been given, Market Participants have the obligation to take the steps they deem appropriate to seek protective orders or other relief from the bankruptcy court and should not rely on the ISO to argue their positions for them or to provide ongoing notices of every development related to a subpoena after the initial notice of its reciept is given. Jeanne M. Sol? Regulatory Counsel California ISO (916) 608-7144 ____________________________________________________________________________ _______________________________________ The Foregoing e-Mail Communication (Together With Any Attachments Thereto) Is Intended For The Designated Recipient(s) Only. Its Terms May Be Confidential And Protected By Attorney/Client Privilege or Other Applicable Privileges. Unauthorized Use, Dissemination, Distribution, Or Reproduction Of This Message Is Strictly Prohibited.