Justia California Court of Appeals Opinion Summaries

Articles Posted in Utilities Law
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In 2010, a PG&E natural gas pipeline exploded in San Bruno, CA, causing death, great physical injuries, and extensive property damage. Governmental entities investigated the incident and PG&E’s business practices. The Public Utilities Commission retained an independent firm, Overland, to review PG&E’s gas transmission safety-related activities from a financial and regulatory audit prospective. Plaintiffs sued, seeking redress for PG&E’s alleged misappropriation of over $100 million in authorized rates that it should have used for safety-related projects. According to the complaint, PG&E misrepresented and concealed material facts when it used money collected from ratepayers to pay shareholders and provide bonuses to its executives instead of spending the money on infrastructure and safety measures. The complaint alleged that PG&E’s negligent handling of the pipe that exploded in San Bruno was unlawful and arose from PG&E’s corporate culture that valued profits over safety and that PG&E’s actions constituted an unlawful business practice under California Business and Professions Code section 17200. The superior court dismissed without leave to amend, finding the action barred by Public Utility Code section 1759 because it would interfere with the California Public Utilities Commission’s jurisdiction.” The appeals court affirmed.View "Guerrero v. Pacific Gas & Elec. Co." on Justia Law

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In 2001 Millview County Water District began diverting water from the Russian River under the authority of a pre-1914 appropriative water right assigned to Millview by plaintiffs Hill and Gomes. Following a citizen complaint, the State Water Resources Control Board issued a cease and desist order substantially restricting Millview’s diversion of water under the right, finding it had been largely forfeited by a period of diminished use from 1967 through 1987. Millview argued that the Board lacked jurisdiction to limit appropriation under a pre-1914 water right and that the evidence did not support the Board’s finding of forfeiture because there was no evidence of a timely adverse claim of use. The trial court accepted Millview’s arguments. The appeals court affirmed. While the Board did have jurisdiction under Water Code section 1831 to issue a an order precluding excessive diversion under a pre-1914 right to appropriate and the Board properly determined the original perfected scope of the claim, it applied an incorrect legal standard in evaluating the forfeiture of Millview’s claimed water right. Applying the proper legal standard, the evidence before the Board was insufficient to support a finding of forfeiture. View "Millview Cnty. Water Dist. v. State Water Res. Control Bd." on Justia Law