LETTER NO. L‐67‐09
SIXTH FLOOR, 900 HOWE STREET, BOX 250
ERICA M. HAMILTON
VANCOUVER, B.C. CANADA V6Z 2N3
COMMISSION SECRETARY
TELEPHONE: (604) 660‐4700
Commission.Secretary@bcuc.com
BC TOLL FREE: 1‐800‐663‐1385
web site: http://www.bcuc.com
FACSIMILE: (604) 660‐1102
Log No. 30481
VIA E‐MAIL
srobinson@superiorenerggy.ca
jwasney@superiorenergy.ca
September 2, 2009
Susannah Robinson
Vice President,
Energy Procurement and Strategy
Superior Energy Management
2001‐6860 Century Avenue, East Tower
Mississauga, ON L5N 2W5
Dear Ms. Robinson:
Re: Superior Energy Management (“Superior Energy”)
Application for a Licence to Market Natural Gas – Financial Statements
The Commission is in receipt of Superior Energy’s Application for a Licence to Market Natural Gas (“Application”)
dated August 26, 2009.
Condition 2.4 of Commission Order A‐23‐08A notes that:
“Superior Energy will maintain a Working Capital position of at least $50,000 and a Current Ratio of
Current Assets to Current Liabilities of at least 1.10.”
The Commission notes that Superior Energy has provided the financial statements of Superior Plus Corp. for the
first and second quarter of 2009. Further, Superior Energy has not provided the audited financial statement for
the most recently ended fiscal year as per Item 5 of the Licence Requirements.
The Commission requests that Superior Energy provide the following information:
1. Please explain Superior Energy Management’s affiliation with Superior Plus Corp. and Superior
Plus L.P.
2. If Superior Energy Management is a subsidiary of either Superior Plus Corp or Superior Plus L.P.,
please provide the audited financial statement on a stand‐alone basis for the licence holder,
Superior Energy Management, for the most recently ended fiscal year.
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3. Please provide a report detailing the Working Capital and the Current Ratio of Current Assets to
Current Liabilities, on a month‐to‐month basis, for Superior Energy Management, from January 2008
to present.
4. The Chief Financial Officer must confirm that the financial information contained in the report was
prepared by management in accordance with accounting principles generally accepted in Canada
and within the framework of the company’s significant accounting policies.
5. If the report demonstrates that Superior Energy has not been in compliance with condition 2.4 of
Commission Orders A‐23‐08A, please indicate what action(s) the Commission should take as
appropriate penalty or remedy to the non‐compliance.
Please provide this information to the Commission on or before September 15, 2009.
Yours truly,
Original signed by:
Erica M. Hamilton
Orders/L‐67‐09_Superior_Financials_IR
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