To ensure that we don't miss any of the reporting dates and requirements that 
FERC has established, we asked Bracewell & Patterson to prepare a memorandum 
laying out the various reporting times and requirements.  Andrea Settanni at 
Bracewell has reviewed FERC's December 15 order and prepared the attached 
memo.

Alan, it is my understanding that you will be responsible for ensuring that 
we meet all of these reporting requirements.  I will call you to make sure 
that we're on track for the first report which is due on January 2.

Please call me if you have any questions.

Sarah


----- Forwarded by Sarah Novosel/Corp/Enron on 12/27/2000 02:19 PM -----

	"Andrea Settanni" <asettanni@bracepatt.com>
	12/22/2000 12:32 PM
		 
		 To: <snovose@enron.com>
		 cc: "Jeffrey Watkiss" <dwatkiss@bracepatt.com>, "Ronald Carroll" 
<rcarroll@bracepatt.com>
		 Subject: FERC 12/15 Order on California Remedies - Reporting Requirements


Sarah -  Pursuant to your request, attached is a memo summarizing the 
reporting requirements.  Let me know if you have any questions.  Thanks.

Andrea M. Settanni
Bracewell & Patterson, L.L.P.
2000 K Street, N.W.
Suite 500
Washington, D.C.  20006-1872
(202) 828-7631 (phone)
(202) 857-2128 (fax)
asettanni@bracepatt.com

 - california.doc