I think that Enron is interested supporting your idea.  Let's weigh in with appropriate language that counters the below language -

I think that the state-level parties (and the IURC) have an interest in the
MISO acknowledging that it is an Indiana utility with SOME degree of
accountability re (at least) bundled retail load to the Indiana Commission
and the Indiana parties.   

Please work with Sarah N. to create a reasonable response and our key arguments.

Jim

 -----Original Message-----
From: 	Migden, Janine  
Sent:	Friday, November 09, 2001 9:19 AM
To:	Roan, Michael; Stroup, Kerry; Steffes, James D.; Nicolay, Christi L.
Subject:	FW: FW: Midwest ISO Joint Petitioners' Proposed Settlement Agreement - IURC C...


Citizens Action has been going back and forth with Cinergy on the jurisdictional question and the right for the IURC to reinsert itself after approval of transfer, ie rights of review down the road.  At this point, I have stayed out of the email traffic, but we could weigh in supporting the concept that MISO is FERC jurisdictional.  See below.

 -----Original Message-----
From: 	MullettCAC@aol.com@ENRON  
Sent:	Thursday, November 08, 2001 5:40 PM
To:	Ron.Brothers@cinergy.com
Cc:	mork@ucclan.state.in.us; jlyle@mullettlaw.com; tstewart@lewis-kappes.com; jmigden@enron.com
Subject:	Re: FW: Midwest ISO Joint Petitioners' Proposed Settlement Agreement - IURC C...

Ron:

    It seems to me that the IURC cannot approve transfer of operational
control to an RTO which does not have FERC approval, but it also seems to me
that the IURC is not required to approve transfer of operational control to
an RTO which does have FERC approval.  In other words, come December 15, or
January 1, or January 15, we could have Indiana utilities still being
operated in accordance with their own Open Access Tariffs just as they are
today.  Do you agree or disagree with that proposition?

    If my proposition is correct, then the issue becomes whether the proposed
transfer of operational control to MISO meets the requirements of Section 83,
i.e. a "public interest" standard.

    As you know, I think that MISO has done a creditable (although by no
means perfect) job in considering and balancing the interests of affected
parties and has a meaningful stakeholder input process.     So, I think that
it would be a mistake for Indiana parties to try and "load up" the IURC
approval process with a lot of party-specific "Christmas tree ornaments."

    By the same token, I am quite concerned about a "rubber stamp" approach
to IURC review.  I think that the state-level parties (and the IURC) have a
significant interest in the transfer being for a term of years which does not
exceed five.  I think the State should retain the ability to withdraw its
approval of the transfer of operational control and investigate the effects
of MISO operation on Indiana retail load.  I think that the state-level
parties (and the IURC) have an interest in defining the goals or standards
for MISO performance during the initial transfer period, based on which an
extension of the authorization would subsequently be granted or denied.  I
think that the state-level parties (and the IURC) have an interest in the
MISO acknowledging that it is an Indiana utility with SOME degree of
accountability re (at least) bundled retail load to the Indiana Commission
and the Indiana parties.   And, I do not see those interests being recognized
or accommodated very much, if at all, in your settlement proposal.  Do you
disagree?  If so, tell me how you see those interests addressed in your
proposal.

    I want to hear what others say, but as matters stand my inclination would
be to pursue these issues in the hearing, brief them, and then let the
Commission decide.  Do you think that this approach would delay the IURC
decisional process enough to make a difference? If so, how much delay with
what effect?

    Thanks.

                                                        Mike

Michael A. Mullett
Mullett & Associates
309 West Washington Street, Suite 233
Indianapolis, IN 46204
Phone: (317) 636-5165
Fax:  (317) 636-5435
E-mail:  mullettcac@aol.com