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Electronically Filed 04/29/2013 05:55:28 PM ET RECEIVED, 4/29/2013 17:58:36, Thomas D. Hall, Clerk, Supreme Court IN THE SUPREME COURT FLORIDA OF FLORIDA JUDICIAL CIRCUIT CITIZENS OF THE STATE OF FLORIDA, ETC. v. Appellants, FLORIDA PUBLIC SERVICE COMMISSION, Appellees. CASE NO: SC 13-144 PSC Docket No.: 120015-EI VERIFIED MOTION FOR ADMISSION TO APPEAR PRO HAC VICE PURSUANT TO FLORIDA RULE OF JUDICIAL ADMINISTRATION 2.510 Comes now Julie Nepveu, Movant herein, and respectfully represents the following: 1. Movant resides in Fairfax, VA. Movant is not a resident of the State of Florida. 2. Movant is an attorney and a member of the law firm of (or practices law under the name of AARP FOUNDATION LITIGATION, with offices at 601 E Street, NW, Washington, DC -20049, Telephone (202 434-2060. 3. Movant has been retained personally or as a member of the above named law firm on April 29, 2013 by AARP to provide legal representation in connection with the above-styled matter now pending before the above-named court of the State of Florida. 4. Movant is an active member in good standing and currently eligible to practice law in the following jurisdiction(s: Include attorney or bar number(s. (Attach an additional sheet if necessary. 1

JURISDICTION ATTORNEY/BAR NUMBER DC 458305 VA 33981 5. There are no disciplinary proceedings pending against Movant, except as provided below (give jurisdiction of disciplinary action, date of disciplinary action, nature of the violation and the sanction, if any, imposed: (Attach an additional sheet if necessary. NONE 6. Within the past five (5 years, Movant has not been subject to any disciplinary proceedings, except as provided below (give jurisdiction of disciplinary action, date of disciplinary action, nature of the violation and the sanction, if any, imposed: (Attach an additional sheet if necessary. NONE 7. Movant has never been subject to any suspension proceedings, except as provided below (give jurisdiction of disciplinary action, date of disciplinary action, nature of the violation and the sanction, if any, imposed: NONE (Attach an additional sheet if necessary. 8. Movant has never been subject to any disbarment proceedings, except as provided below (give jurisdiction of disciplinary action, date of disciplinary action, nature of the violation and the sanction, if any, imposed: (Attach an additional sheet if necessary. NONE 9. Movant, either by resignation, withdrawal, or otherwise, never has terminated or attempted to terminate Movant's office as an attorney in order to avoid administrative, disciplinary, disbarment, or suspension proceedings. 10. Movant is not an inactive member of The Florida Bar. 11. Movant is not now a member of The Florida Bar. 12. Movant is not a suspended member of The Florida Bar. 13. Movant is not a disbarred member of The Florida Bar nor has Movant received a disciplinary resignation from The Florida Bar. 14. Movant has not previously been disciplined or held in contempt by reason of misconduct committed while engaged in representation pursuant to Florida Rule of Judicial Administration 2.51 0, except as provided below (give date of disciplinary action or contempt, reasons there for, and court imposing contempt: (Attach an additional sheet if necessary. NONE 2

15. Movant has filed motion(s to appear as counsel in Florida state courts during the past five (5 years in the following matters: (Attach an additional sheet if necessary. Date of Motion, Case Name, Case Number, Court Date Motion Granted/Denied. SOUTHERN ALLIANCE FOR CLEAN ENERGY v. FLORIDA PUBLIC SERVICE COMMISSION, FLORIDA POWER AND LIGHT COMPANY, and PROGRESS ENERGY FLORIDA, INC., Case No. SC11-2465, PSC Docket No 110009-EI. Motion granted April 19, 2012. 16. Local counsel of record associated with Movant in this matter is Jack L. McRay, (FL Bar No. 187040 who is an active member in good standing of The Florida offices at AARP Florida, 200 West College Ave., #304 Tallahassee, FL 32301, Telephone (850 577-5187 17. Movant has read the applicable provisions of Florida Rule of Judicial Administration 2.510 and Rule 1-3.10 of the Rules Regulating The Florida Bar and certifies that this verified motion complies with those rules. 18. Movant agrees to comply with the provisions of the Florida Rules of Professional Conduct and consents to the jurisdiction of the courts and the Bar of the State of Florida. WHEREFORE, Movant respectfully requests permission to appear in this court for this cause only. DATED this 29th day of April, 2013 /s/julie Nepveu DC Bar No. 458305 AARP Foundation Litigation 601 E Street, NW Washington, DC 20049 Telephone (202 434-2060 3

State: District of Columbia I, /s/julie Nepveu, do hereby swear or affirm under penalty of perjury that I am the Movant in the above-styled matter; that I have read the foregoing Motion and know the contents thereof, and the contents are true of my own knowledge and belief. /s/ Julie Nepveu Movant I hereby consent to be associated as local counsel of record in this cause pursuant to Florida Rule of Judicial Administration 2.510. DATED this 29 th day of April, 2013. CERTIFICATE OF SERVICE Jack L. McRay Local Counsel of Record AARP Florida 200 West College Ave., #304 Tallahassee, FL 32301 Telephone (850 577-5187 (FL Bar No. 187040 I HEREBY CERTIFY that a true and correct copy of the foregoing motion was furnished by U.S. mail to PHV Admissions, The Florida Bar, 651 East Jefferson Street, Tallahassee, Florida 32399-2333 accompanied by payment of the $300.00 filing fee made payable to The Florida Bar and to (SEE ATTACHED CERTIFICATE OF SERVICE Name and Address of All Counsel of Record and of Parties Not Represented by Counsel this 29th day of April, 2013 Movant 4

CERTIFICATE OF SERVICE I hereby certify that a true and correct copy of the foregoing Verified Motion for Admission to Appear Pro Hac Vice Pursuant to Florida Rule of Judicial Administration 2.510 was mailed FedEx to The Florida Bar, 651 East Jefferson Street, Tallahassee, Florida, 32399-2333 on this 29th day of April, 2013, accompanied by payment of the $300.00 filing fee made payable to The Florida Bar. The Verified Motion was filed electronically with the Clerk of the Court, and I hereby certify that one copy of the foregoing Verified Motion was mailed via first Class, Postage prepaid mail to: Caroline Klancke Keino Young FLORIDA PUBLIC SERVICE COMMISSION OFFICE OF THE GENERAL COUNSEL 2540 Shumard Oak Blvd. Tallahassee, FL 32399 Gregory J. Fike, Lt Col, USAF Chief, Utility Litigation FSC c/o AFLOA/JACL-ULT 139 Barnes Drive Tyndall AFB, FL 32403 Karen White Federal Executive Agencies c/o AFLOA/JACL-ULFSC 139 Barnes Drive, Ste. 1 Tyndall AFB, FL 32403 Robert S. Wright John T. LaVia GARDNER LAW FIRM 1300 Thomaswood Drive Tallahassee, FL 32308 Joseph A. McGlothlin OFFICE OF PUBLIC COUNSEL c/o THE FLORIDA LEGISLATURE 111 W. Madison St., Room 812 Tallahassee, FL 32399-1400 Kenneth L. Wiseman Mark F. Sundback ANDREWS KURTH LLP 1350 I Street, NW, Ste. 1100 Washington, DC 20005 Vicki Gordon Kaufman c/o MOYLE LAW FIRM 118 N. Gadsden Street Tallahassee, FL 32301 John W. Hendricks 367 S. Shore Drive Sarasota, FL 34234 Thomas Saporito 6701 Mallards Cove Rd. Ste. 28H Jupiter, FL 33458 Alvin B. Davis Raúl B. Mañon SQUIRE SANDERS (US LLP 200 So. Biscayne Blvd., Ste. 4100 Miami, FL 33131 John T. Butler R. Wade Litchfield FLORIDA POWER & LIGHT COMPANY 700 Universe Blvd. Juno Beach, FL 33408-0420 Ken Hoffman Florida Power & Light Company 215 S. Monroe Street Suite 810 Tallahassee, FL 32301-1859 William C. Garner NABORS, GOBLIN & NICKERSON 1500 Mahan Dr., Ste. 200 Tallahassee, FL 32308 5

/s/jack L. McRay Jack L. McRay (FL Bar No. 187040 AARP Florida 200 West College Ave., Suite 304 Tallahassee, FL 32301 (850 577-5187 Counsel for Amicus Curiae AARP 6