IN RE: APPLICATION OF TWO RIVERS UTILITY, LLC FOR A CERTIFICATE OF PUBLIC CONVENIENCE AND NECESSITY
TO SERVE THE CANTERBURY MANOR SUBDIVISION IN FAYETTE COUNTY, TENNESSEE
| Date Filed |
Description |
Company Filing |
| 03/20/2026 |
Two Rivers Utility, LLC (“Two Rivers”) Response To The Commission’s March 6, 2026 Requests Regarding A Re-Evaluation By Two Rivers Of Its Previous Designation Of Certain Previously Filed Documents As Confidential Information. Two Rivers Herein Resubmits The Documents And Removes In Whole, Or In Part, The Previous Confidential Designation |
Two Rivers Utility |
| 03/18/2026 |
Order Approving Application Of Two Rivers Utility, LLC For a Certificate Of Convenience And Necessity |
Tennessee Public Utility Commission |
| 02/06/2026 |
Pre-Hearing Order |
Tennessee Public Utility Commission |
| 02/06/2026 |
Notice Of Hearing |
Tennessee Public Utility Commission |
| 02/02/2026 |
Attached For Filing The Verification For Two Rivers Utility, LLC’s Supplemental Response To Consumer Advocate’s First Discovery Request No. 7, That Was Previously Filed On January 29, 2026 |
Two Rivers Utility |
| 02/02/2026 |
Order On Joint Agreed Motion To Submit Case To Commission For Hearing Of The Merits On The Record (“Paper Hearing”) |
Tennessee Public Utility Commission |
| 01/29/2026 |
Two Rivers Utility, LLC’s Supplemental Response To Consumer Advocate’s First Discovery Request No. 7 (Confidential Exhibit 34 To The Supplemental Response Is Being Submitted Under Seal As Confidential And Proprietary) |
Two Rivers Utility |
| 01/29/2026 |
Two Rivers Utility, LLC (“Two Rivers”) And The Consumer Advocate Division Of The Office Of The Tennessee Attorney General (“Consumer Advocate” or “CAD”) Joint Agreed Motion To Submit Case To Commission For Hearing Of The Merits On The Record (“Paper Hearing”). |
Two Rivers Utility |
| 01/28/2026 |
Two Rivers Utility, LLC Response To The Consumer Advocate’s Request Re Completed Testing Of The Gravity System (Letter From Developer Enclosed) |
Two Rivers Utility |
| 01/22/2026 |
Verification For Rebuttal Testimony Of Craig Chrestman Filed On January 20, 2026 |
Two Rivers Utility |
| 01/21/2026 |
In Response To The Commission Data Request Dated January 8, 2026, Two Rivers Utility, LLC's Supplemental Response To Data Request No.3, Originally Submitted On January 16, 2026. |
Two Rivers Utility |
| 01/20/2026 |
Pre-Filed Rebuttal Testimony Of Craig Chrestman |
Two Rivers Utility |
| 01/16/2026 |
Two Rivers Utility, LLC Responses To Commission Data Request Dated January 8, 2026 (Exhibits 24 and 31 To The Response Is Being Submitted Under Seal As Confidential And Proprietary) |
Two Rivers Utility |
| 01/08/2026 |
Commission Data Request To Craig Chrestman, Joey Wimberley And Melvin J. Malone |
Tennessee Public Utility Commission |
| 12/26/2025 |
Two Rivers Utility, LLC’s Supplemental Response To Consumer Advocate’s Discovery Request No. 1-8
(Exhibit 30 To The Supplemental Response Is Being Submitted Under Seal As Confidential And Proprietary) |
Two Rivers Utility |
| 12/12/2025 |
Direct Testimony Of Clark D. Kaml (Public Version) |
Consumer Advocate Division |
| 12/03/2025 |
Two Rivers Utility, LLC Response To Consumer Advocate’s Second Set Of Discovery Requests (Exhibit 28 Is Being Submitted Under Seal As Confidential And Proprietary) |
Two Rivers Utility |
| 11/18/2025 |
Consumer Advocate’s Second Set Of Discovery Requests To Two Rivers, LLC |
Consumer Advocate Division |
| 11/07/2025 |
Two Rivers Utility, LLC (“Two Rivers”) Supplemental Responses To Consumer Advocate Follow-Up Correspondence Requesting Additional Information Regarding The Minimum Filing Requirements |
Two Rivers Utility |
| 11/07/2025 |
Two Rivers Utility, LLC Supplemental Response To Consumer Advocate’s First Set Of Discovery Requests As Well As The Verification For The Responses Previously Filed On November 4, 2025 (Confidential Attachment 1.11.b To The Supplemental Response Is Being Submitted Under Seal As Confidential And Proprietary) |
Two Rivers Utility |
| 11/04/2025 |
Two Rivers Utility, LLC’s Responses To Consumer Advocate’s First Set Of Discovery Requests (Public Version) |
Two Rivers Utility |
| 10/29/2025 |
Order On October 23, 2025 Status Conference And Establishing Procedural Schedule. |
Tennessee Public Utility Commission |
| 10/29/2025 |
Protective Order |
Tennessee Public Utility Commission |
| 10/29/2025 |
Email From Consumer Advocate Re: Two Rivers Utility, LLC Proposed Protective Order |
Consumer Advocate Division |
| 10/23/2025 |
Two Rivers Utility, LLC (“Two Rivers”) Responses To Consumer Advocate Division Inquiry And Requests Regarding Two Rivers Compliance With The Minimum Filing Requirements Set Forth In TPUC Rule 1220-04-01-.13. |
Two Rivers Utility |
| 10/23/2025 |
Two Rivers Utility, LLC Proposed Protective Order |
Two Rivers Utility |
| 10/22/2025 |
Consumer Advocate’s First Set Of Discovery Requests To Two Rivers, LLC |
Consumer Advocate Division |
| 10/22/2025 |
Order Granting The Petition To Intervene Filed By The Consumer Advocate |
Tennessee Public Utility Commission |
| 10/22/2025 |
Notice Of Status Conference |
Tennessee Public Utility Commission |
| 10/15/2025 |
Two Rivers Utility LLC's Proposed Procedural Schedule |
Two Rivers Utility |
| 10/14/2025 |
Consumer Advocate’s Proposed Procedural Schedule |
Consumer Advocate Division |
| 10/06/2025 |
Consumer Advocate Petition To Intervene |
Consumer Advocate Division |
| 10/03/2025 |
Letter To Attorney Melvin Malone, Butler Snow LLP From Karen H. Stachowski, Consumer Advocate
Re Two Rivers Utility, LLC Compliance With The Minimum Filing Requirements Set Forth In TPUC Rule 1220-04-01-.13. |
Consumer Advocate Division |
| 09/18/2025 |
Two Rivers Utility, LLC. Filing Of Supplemental Exhibit 24-Estimates Of Costs And Customers For First Five Years Supporting The Application Of Two Rivers Utility, LLC For A CCN, Which Was Previously Filed September 4, 2025. (Supplemental Exhibit 24 Is Being Submitted Under Seal As Confidential And Proprietary). |
Two Rivers Utility |
| 09/04/2025 |
Application Of Two Rivers Utility, LLC For A Certificate Of Public Convenience And Necessity, Including Exhibits And Pre-Filed Testimony. (Exhibit 21 Is Being Submitted Under Seal As Confidential And Proprietary). |
Two Rivers Utility, LLC |