Williamson v. Mont. Pub. Serv. Comm’n

by
Appellants, a group of individuals, filed a complaint with the Montana Public Service Commission (PSC) against NorthWestern Energy (NWE) concerning NWE's provision of street lighting services. The PSC dismissed the complaint on the ground that the four named complainants lacked standing under Mont. Code Ann. 69-3-321. Appellants then filed an amended complaint in which they named four additional complainants. The PSC concluded (1) Appellants were procedurally barred from amending their complaint, and (2) the court would not reconsider its earlier ruling on standing in any event. The district court affirmed. The Supreme Court affirmed in part and reversed in part, holding (1) the original complainants lacked standing to pursue their complaint in the PSC under section 69-3-321; but (2) the PSC's and district court's rationales for rejecting the amended complaint were incorrect as, in this case, there was not a categorical procedural bar to the filing of an amended complaint following an order of dismissal for lack of standing. View "Williamson v. Mont. Pub. Serv. Comm'n" on Justia Law