Opelousas Trust Authority D/B/A Opelousas General Health System v. Cleco Corporation and Cleco Power, LLC

CourtLouisiana Court of Appeal
DecidedFebruary 15, 2012
DocketCW-0011-0392
StatusUnknown

This text of Opelousas Trust Authority D/B/A Opelousas General Health System v. Cleco Corporation and Cleco Power, LLC (Opelousas Trust Authority D/B/A Opelousas General Health System v. Cleco Corporation and Cleco Power, LLC) is published on Counsel Stack Legal Research, covering Louisiana Court of Appeal primary law. Counsel Stack provides free access to over 12 million legal documents including statutes, case law, regulations, and constitutions.

Bluebook
Opelousas Trust Authority D/B/A Opelousas General Health System v. Cleco Corporation and Cleco Power, LLC, (La. Ct. App. 2012).

Opinion

STATE OF LOUISIANA COURT OF APPEAL, THIRD CIRCUIT

11-348 combined with 11-392

OPELOUSAS TRUST AUTHORITY D/B/A OPELOUSAS GENERAL HEALTH SYSTEM, ET AL.

VERSUS

CLECO CORPORATION AND CLECO POWER, LLC

11-349 combined with 11-391

DEBORAH MAYO, ET AL.

**********

APPEAL FROM THE TWENTY-SEVENTH JUDICIAL DISTRICT COURT PARISH OF ST. LANDRY, NO. 10-C-1179, NO 10-C-2379 HONORABLE DONALD WAYNE HEBERT, DISTRICT JUDGE

JOHN D. SAUNDERS JUDGE

Court composed of Ulysses Gene Thibodeaux, Chief Judge, Sylvia R. Cooks, and John D. Saunders, Judges.

WRITS DENIED.

Richard Joseph Arsenault Neblett, Beard & Arsenault P. O. Box 1190 Alexandria, LA 71309 (318) 487-9874 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Opelousas Trust Authority, et al. Jeffrey Michael Bassett Morrow & Morrow P. O. Drawer 1787 Opelousas, LA 70507-0000 (337) 948-4483 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Opelousas Trust Authority, et al.

Robert Lawrence Beck, Jr. Attorney at Law P. O. Drawer 12850 Alexandria, LA 71315-2850 (318) 445-6581 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Opelousas Trust Authority, et al.

Richard Charles Stanley Stanley, Flanagan & Reuter 909 Poydras, Ste 2500 New Orleans, LA 70112 (504) 523-1580 COUNSEL FOR DEFENDANTS/APPLICANTS: Cleco Power, LLC Cleco Corporation

Patrick Craig Morrow, Sr. Morrow, Morrow P. O. Box 1787 Opelousas, LA 70570 (337) 948-4483 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Opelousas Trust Authority, et al.

James P. Ryan Morrow & Morrow P. O. Drawer 1787 Opelousas, LA 70571-7090 (337) 948-4483 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Opelousas Trust Authority, et al.

Dennis Coleman Weber Attorney at Law 602 N. 5th Street, 12th Floor Baton Rouge, LA 70802 (225) 342-1418 COUNSEL FOR INTERVENOR RESPONDENT: Louisiana Public Service Commission Mark Douglas Pearce Attorney at Law 2030 Donahue Ferry Road Pineville, LA 71361 (318) 308-4167 COUNSEL FOR DEFENDANTS/APPLICANTS: Cleco Power, LLC Cleco Corporation

Julia Elizabeth Callis Attorney at Law 2030 Donahue Ferry Road Pineville, LA 71360 (318) 484-7744 COUNSEL FOR DEFENDANTS/APPLICANTS: Cleco Corporation Cleco Power, LLC

Pride Justin Doran Doran Law Firm P. O. Box 2119 Opelousas,, LA 70571 (337) 948-8008 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Opelousas Trust Authority, et al.

John Randall Whaley Neblett, Beard & Arsenault P. O. Box 1190 Alexandria, LA 71309-1190 (318) 487-9874 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Opelousas Trust Authority, et al.

W. Raley Alford, III Stanley, Flanagan & Reuter 909 Poydras, Ste 2500 New Orleans, LA 70112 (504) 523-1580 COUNSEL FOR DEFENDANTS/APPLICANTS: Cleco Power, LLC Cleco Corporation

Quincy L. Cawthorne Doran Law Firm P. O. Box 2119 Opelousas, LA 70571 (337) 948-8008 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Opelousas Trust Authority, et al. Alison N. deClouet Stanley, Reuter, Ross 909 Poydras Street, Suite 2500 New Orleans, LA 70112 (504) 523-1580 COUNSEL FOR DEFENDANTS/APPLICANTS: Cleco Power, LLC Cleco Corporation

Amanda H. Smith La. Public Service Commission 602 N. 5th Street, 12th Floor Baton Rouge, LA 70802 (225) 342-1418 COUNSEL FOR INTERVENOR/RESPONDENT: Louisiana Public Service Commission

Kenneth Boagni Attorney at Law 508 S. Court Street Opelousas, LA 70570 (337) 942-4445 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Deborah Mayo, et al.

Dianne Marie Mayo Attorney at Law 943 N. Court Street Opelousas, LA 70570 (337) 942-3141 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Deborah Mayo, et al.

Anna Wise Cunningham Simmons Attorney at Law 943 N. Court Street Opelousas, LA 70570 (337) 942-3141 COUNSEL FOR PLAINTIFFS/RESPONDENTS: Deborah Mayo, et al. SAUNDERS, Judge.

This case involves the consolidation of four writs into a single writ opinion.

Two of the writs, numbers 11-348 and 11-349, were filed by Cleco Corporation

and Cleco Power, LLC (“Cleco”). The other two writs, numbers 11-391 and 11-

392, were filed by the Louisiana Public Service Commissioner (“the LPSC”), as

intervenor in two separate class action suits which have been filed against Cleco by

a putative class of utility ratepayers (“Ratepayers”) in the City of Opelousas.

Ratepayers seek reimbursement for alleged overcharges for electricity for a period

of nearly twenty years.

In response to both lawsuits, Cleco filed exceptions of lack of subject matter

jurisdiction, prematurity, and improper venue. Following a hearing, the trial court

denied Cleco’s exceptions. We find no error by the trial court and, thus, deny

these writs.

FACTS AND PROCEDURAL HISTORY:

At this time, four separate writ applications have been filed whereby Cleco

and the LPSC seek to have this court review the trial court’s ruling that denied

Cleco’s exceptions of lack of subject matter jurisdiction, prematurity, and improper

venue. In the lawsuit entitled “Opelousas Trust Authority d/b/a General Health

System, et al. v. Cleco Corporation and Cleco Power, L.L.C.,” Cleco’s writ

application challenging the trial court’s ruling has been assigned to this court under

docket number 11-348. One of the LPSC’s writ applications has been assigned to

this court under docket number 11-392. In the lawsuit entitled “Deborah Mayo, et

al. v. Cleco Corporation and Cleco Power, L.L.C.,” Cleco’s writ application

challenging the trial court’s ruling has been assigned to this court under docket

number 11-349, and, finally, the LPSC’s other writ application has been assigned

to this court under docket number 11-391. Since the issues raised in these writ applications are nearly identical, we consolidate the four writs and address them in

a single writ opinion.

DISCUSSION OF THE MERITS:

This court has stated, “[t]he exercise of supervisory jurisdiction by appellate

courts is within their plenary power. La. Const. art. 5, ' 10. Appellate courts

generally will not exercise such jurisdiction unless an error in the trial court’s

ruling will cause the petitioner irreparable injury or an ordinary appeal does not

afford an adequate remedy. Stevens v. Patterson Menhaden Corp., 191 So.2d 692

(La.App. 1 Cir.1966), writ denied, 250 La. 5, 193 So.2d 524 (1967).” Borrel’s, Inc.

v. City of Marksville, 05-48, p. 1 (La.App. 3 Cir. 6/1/05), 904 So.2d 938, 939.

EXCEPTION OF LACK OF SUBJECT MATTER JURISDICTION:

In its opposition to the writ applications, Ratepayers assert that the trial court

properly concluded that it has subject matter jurisdiction over their claims against

Cleco. Ratepayers contend that although Cleco provided electrical services to

them and they seek to recover as a result of being overcharged, these are not rate-

making cases. As such, Ratepayers argue that a district court, and not the LPSC,

has the constitutional and statutory authority to determine the merits of their claims.

They maintain that their situation is unique because the City of Opelousas owns its

own distribution system. Ratepayers note that, in 1991, the city entered into a

Franchise Agreement whereby Cleco was allowed to use the city’s distribution

system to provide electrical service to the City of Opelousas’ residents. Ratepayers

point out that, pursuant to that contract, Cleco agreed to charge the City of

Opelousas’ residents the present or modified rates as approved by the LPSC.

Ratepayers also point out that, pursuant to the Franchise Agreement, the city is

obligated to compensate Cleco for their distribution expenses at the conclusion of

the terms of the agreement, and Cleco is obligated to maintain liability insurance 2 for the city’s distribution system. Ratepayers maintain that, rather than simply

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