Content-type: |
text/plain; charset=US-ASCII |
Sender: |
|
Subject: |
|
From: |
|
Date: |
Fri, 2 Feb 2007 10:31:43 -0800 |
In-Reply-To: |
|
MIME-Version: |
1.0 |
Reply-To: |
|
Parts/Attachments: |
|
|
In the mid 70's the California Public Utilities Commission (CPUC) adopted
resolutions FA-554 and FA-570 which established Federal Power Commissions
retention requirements set in Order 450 (Which became the 1972 version of
FERC's 18CFR125.3 retention schedule) as the retention requirements for the
CPUC. It also includes some retentions from General Orders 52, 95, & 96-A,
but not G.O. 28, which presumably the above resolutions supersede.
Christian Meinke, CRM
Southern California Edison
Information Management
PAX 20483
(626) 302-0483
Mobile (818) 414-9515
[log in to unmask]
"Hurst, Ruth"
<[log in to unmask]
OM> To
Sent by: Records [log in to unmask]
Management cc
Program
<[log in to unmask] Subject
UFL.EDU> [RM] CA PUC General Order 28
02/01/2007 06:59
AM
Please respond to
Records
Management
Program
<[log in to unmask]
UFL.EDU>
A question for any California Utilities, or anyone who has worked with Ca
utility records. We have operations in the state of California and while
researching the legal records requirements, came across the CA PUC General
Order 28, written in 1912, and confirmed later in the 1960's I believe.
When reading through this order it sounds as though every utility operating
in California has to keep almost all records (down to receipts for paper
purchases) relating to their operations permanently. I would be interested
to hear how others have interpreted this order and are complying with it.
Thank you,
Ruth Hurst
Nevada Power Company
List archives at http://lists.ufl.edu/archives/recmgmt-l.html
Contact [log in to unmask] for assistance
List archives at http://lists.ufl.edu/archives/recmgmt-l.html
Contact [log in to unmask] for assistance
|
|
|