John- I think that Mark Haedicke talked to Sam about this but I wanted to follow up. We want to make sure that Sam is available to Enron as well and that his representation of Idaho Power does not infringe on work we might want him to do.

 -----Original Message-----
From: 	"JOHN KLAUBERG" <JKLAUBER@LLGM.COM>@ENRON [mailto:IMCEANOTES-+22JOHN+20KLAUBERG+22+20+3CJKLAUBER+40LLGM+2ECOM+3E+40ENRON@ENRON.com] 
Sent:	Tuesday, June 26, 2001 11:24 AM
To:	Haedicke, Mark E.; Sanders, Richard B.
Cc:	SAMUEL BEHRENDS
Subject:	Fwd: Idaho Power

Mark & Richard:  I am attaching an e-mail from one of my partners who has been asked to assist Idaho Power in the context of the ongoing FERC proceedings being run by ALJ Wagner.  It would not appear to me that there would not be a conflict problem with us handling this engagement for Idaho Power, but I thought Richard would be closer to the proceedings (and the likely stances of the various players) and may have better insights that me on this issue at this point.  Sam Behrends would probably be handling most of the work from the LeBoeuf side.  Since, as I understand it, we got the call from Idaho Power on Sunday night and the proceedings commenced yesterday, I would appreciate it if you could let me know whether you are comfortable with us taking on this assignment as quickly as you can.  Thanks very much.  John

John Klauberg
LeBoeuf, Lamb, Greene & MacRae, L.L.P.
212 424-8125
john.klauberg@llgm.com

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Content-Transfer-Encoding: quoted-printable
Date: Mon, 25 Jun 2001 12:57:24 -0400
From: "LAWRENCE ACKER" <LACKER@LLGM.COM>
To: "JOHN KLAUBERG" <JKLAUBER@LLGM.COM>
cc: "BRIAN O'NEILL" <BONEILL@LLGM.COM>,	"SUE KEMPLER" <CKEMPLER@LLGM.COM>,	"ELIZABETH POWERS" <EPOWERS@LLGM.COM>,	"STEVEN DAVIS" <SDAVIS@LLGM.COM>
Subject: Idaho Power
MIME-Version: 1.0
Content-Type: text/plain; charset="us-ascii"
Content-Disposition: inline

John-
Further to our discussion regarding participation on behalf of Idaho Power in the FERC dockets (EL00-95-031, et al), after their call to me this weekend.  Their interest focuses on sales into and purchases from the ISO and the PX, substantial portions of which remain unpaid.  The sales at issue are not from their own generation but are as a marketer.  Idaho expects to assert that marketer sales must take into account more than the simple price of procurement, but also associated costs and a margin.  Conditions that enhance the creditworthiness of purchasers also are likely to be on Idaho's agenda.  The foregoing is provided solely to assure that Enron will not interpose any objection to our role on behalf of Idaho.  I attended the morning session of the settlement conference before Judge Wagner as an observer, pending completion of our formal procedures.  Bear in mind that Dan Watkiss of Bracewell & Patterson appeared on behalf of the involved Enron subsidiaries.  Understandably Idaho would like our position confirmed at the earliest possible time, as they already had to release their traditional FERC counsel.
Larry Acker

This e-mail, including attachments, contains privileged and confidential, non-public information.  It is intended to be conveyed only to the designated recipient(s).  If you are not an intended recipient, please notify me and delete this e-mail, including attachments.  The unauthorized use, distribution or reproduction of this material is prohibited and may be unlawful. T
 hank you for you consideration.

Lawrence G. Acker
1875 Connecticut Avenue, NW
Suite 1200
Washington, DC  20009-5728
202-986-8016
fax 202-986-8147
e-mail: lacker@llgm.com