BEFORE THE FLORIDA PUBLIC SERVICE COMMISSION. Cost Recovery Clause with Generating Performance Incentive FILED: September 13, 2006 Factor /

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BEFORE THE FLORIDA PUBLIC SERVICE COMMISSION In Re: Fuel and Purchased Power DOCKET NO. 060001-EI Cost Recovery Clause with Generating Performance Incentive FILED: September 13, 2006 Factor / CHARLES J. CRIST, JR., Attorney General, State of Florida, pursuant to Rule 25-22.039, Florida Administrative Code, petitions the Florida Public Service Commission to enter an order granting leave to the Attorney General to intervene in this Docket and states: 1. Article IV, Section 4 of the Florida Constitution provides that the Attorney General is the chief state legal officer. The courts have long recognized that the Attorney General, as chief state legal officer, is authorized to intervene in all actions affecting the citizens of Florida. See State ex rel. Landis v. S. H. Kress & Co., 155 So. 823 (Fla. 1934) (Court upheld the power of the Attorney General to test by writ of quo warranto the right of a foreign corporation to operate in Florida); State ex rel. Shevin v. Yarborough, 257 So. 2d 891, 893 (Fla. 1972) ( Although the P.S.C. by virtue of Fla. Stat. 366.01, F.S.A., exercises the police power of the State for the protection of the public welfare and by its statutorily authorized Rule 25-1.24, the Legal Department represents the general public interest in all rate cases, there is no statute which prohibits the Attorney General from representing the State of Florida as a consumer, and offering such evidence and argument as will benefit its citizens. Generally speaking, the Attorney General is Chief Counsel for the State which in final analysis is the people. ); State ex rel. Shevin v. Kerwin, 279 So. 2d 836, 838 (Fla. 1973) (where trial court finds statute unconstitutional, it is proper for Attorney General to appear on appeal to defend statute even though he was not a party to action before the trial court and the State of Florida, through the

Attorney General, is proper party to any action in which the constitutionality of any general statute is raised). 2. In Kress, supra, the Court recognized the authority of the Attorney General to intervene and bring actions affecting the state and held: 155 So. at 827. The office of Attorney General has existed both in this country and in England for a great while. The office is vested by the common law with a great variety of duties in the administration of the government. It has been asserted that the duties of such an office are so numerous and varied that it has not been the policy of the Legislature of the States to specifically enumerate them; that a grant to the office of some powers by statute does not deprive the Attorney General of those belonging to the office under the common law. The Attorney General has the power and it is his duty among the many devolving upon him by the common law to prosecute all actions necessary for the protection and defense of the property and revenues of the State; to represent the state in all criminal cases before the appellate court; by proper proceedings to revoke and annul grants made by the State improperly or when forfeited by the grantee; by writ of quo warranto to determine the right of any one who claims or usurps any office, and to vacate the charter or annul the existence of a corporation for violations of its charter or for omitting to exercise its corporate powers; to enforce trusts and prevent public nuisances and abuse of trust powers. As the chief law officer of the State, it is his duty, in the absence of express legislative restrictions to the contrary, to exercise all such power and authority as public interests may require from time to time. 3. This language recognizes the authority of the Attorney General to intervene in actions such as the instant one. Here, Progress Energy Florida, Inc. (PEF) has overcharged its customers $143 million dollars by failing to use the most economical fuel source at its Crystal River Units 4 and 5 between 1996 and 2005, while passing along the charges for the design feature that would have allowed PEF to burn the less expensive fuel source. 4. Unnecessary charges are of interest to the public and require intervention by the

Attorney General. Wherefore, Charles J. Crist, Jr., Attorney General, requests that he be allowed to intervene in the instant action. Respectfully submitted, CHARLES J. CRIST, JR. ATTORNEY GENERAL /s Jack Shreve JACK SHREVE Senior General Counsel Florida Bar No. 73622 CECILIA BRADLEY Senior Assistant Attorney General Florida Bar No. 0363790 Office of the Attorney General The Capitol - PL01 Tallahassee, FL 32399-1050 (850) 414-3300 Fax: (850) 488-4872

DOCKET NO. 060001-EI CERTIFICATE OF SERVICE I HEREBY CERTIFY that a true and correct copy of Attorney General Charles J. Crist, Jr. s Motion to Intervene has been furnished by electronic mail and U.S. Mail on this 13th day of September, 2006, to the following: James Beasley, Esq. John McWhirter, Jr., Esq. Lee Willis, Esq. McWhirter, Reeves Law Firm Ausley Law Firm 400 North Tampa St., Suite 2450 P.O. Box 391 Tampa, FL 33602 Tallahassee, FL 32302 Bill Walker, Esq. R. Wade Litchfield, Esq. Florida Power & Light Co. Florida Power & Light Co. 215 S. Monroe St., Suite 810 700 Universe Blvd. Tallahassee, FL 32301-1859 Juno Beach, FL 33408-0420 Paul Lewis, Esq. Susan D. Ritenour, Esq. Progress Energy Florida, Inc. Richard McMillan, Esq. 106 E. College Ave., Suite 800 Gulf Power Company Tallahassee, FL 32301-7740 One Energy Place Pensacola, FL 32520-0780 Tim Perry, Esq. Norman H. Horton, Jr., Esq. McWhirter Law Firm Fred R. Self, Esq. 117 South Gadsden St. Messer Law Firm Tallahassee FL 32301 P.O. Box 1876 Tallahassee, FL 32302-1876 John T. Butler, P.A. Brenda Irizarry, Esq. Florida Power & Light Company Tampa Electric Company 9250 West Flagler Street P.O. Box 111 Miami, FL 33174 Tampa, FL 33602-0111 Lisa Bennett, Esq. Jeffery A. Stone, Esq. Florida Public Service Commission Russell Badders 2540 Shumard Oak Blvd. P.O. Box 12950 Tallahassee, FL 32399-0850 Pensacola, FL 32591

Lieutenant Colonel Karen White John Rogers, Esq. Captain Damund Williams Florida Retail Federation Federal Executive Agencies 100 E. Jefferson Street 139 Barnes Drive, Suite 1 Tallahassee, FL 32301 Tyndall AFB, FL 32403-5319 Cheryl Martin, Esq. Michael B. Twomey, Esq. Florida Public Utilities Company Post Office Box 5256 P.O. Box 3395 Tallahassee, FL 32314-5256 West Palm Beach, FL 33402-3395 John T. Burnett, Esq. Robert Scheffel Wright, Esq. Post Office Box 14042 Young van Assenderp, P.A. St. Petersburg, FL 33733 225 S. Adams St., Ste. 200 Tallahassee, FL 32301 Harold McLean, Public Counsel Joseph A. McGlothlin, Associate Public Counsel Office of Public Counsel c/o The Florida Legislature 111 W. Madison Street, Room 812 Tallahassee, FL 32399-1050 /s Cecilia Bradley Cecilia Bradley