Thanks, John, and good morning, everyone. Turning to Slide 9, I’ll provide some further insights into our financial results for the quarter. Consolidated reported earnings were $1.05 per share, up $0.10 per share versus the same period in 2024. Revenues were higher by $0.44 per share, primarily due to authorized rate increases to recover investment across our states. Revenues were also higher from closed water and wastewater acquisitions and organic customer growth. And looking at operating costs, O&M was higher by $0.15 per share, driven primarily by employee-related costs and other increases to support growth in the business and cost-related acquisitions completed in 2024, as we expected. Depreciation increased $0.11 per share and financing costs increased $0.10 per share, both as expected, in support of our investment growth. And finally, we have $0.01 per share of additional interest income from the February 2024 note amendment related to the sale of HOS, which is included in the other net column. Turning to Slide 10, I’ll cover the latest regulatory activity in our states. The two key developments this quarter were rate cases in Missouri and Virginia. In Missouri, we entered into a settlement agreement with several parties, including Commission’s staff and the Office of Public Counsel. We agreed to an annualized revenue increase of $63 million, as compared to our most recently revised request of $107 million. New rates are expected to go into effect on May 31, 2025. And once a final order is received from the Commission, we will give our view on ROE and capital structure. In Virginia, the Commission issued an order approving our settlement of the general rate case. The order approved a $15 million annualized increase in water and wastewater revenues, compared to the original filing that had requested a $20 million increase. The order also approved a return on equity of 9.7% and a higher equity component of the capital structure than in our previous case at nearly 46%. Since interim rates were implemented in May of 2024, results in 2025 won’t be meaningfully impacted by this case. Turning to active cases, the proceeding in Iowa is progressing as expected and we expect to receive a final order this month. In Hawaii, we filed a partial settlement agreement, subject to regulatory approval, that results in a $1.5 million increase based on a 9.75% ROE. We expect to receive a final order mid-year 2025. And finally, later today we will be making an initial submission related to our next general rate case in California, which is in keeping with the State’s three-year cycle. The California case will seek to recover nearly $750 million in planned investment in pipe replacement, resiliency and other important system needs. Slide 11 outlines three important pieces of priority legislation for us that were signed into law already in 2025. First, Missouri passed Senate Bill 4. As a result, beginning July 1, 2026, water and wastewater utilities may request the use of a future Test Year in a general rate case for rate base and certain expenses. As you know, our current Missouri general rate case was filed on July 1, 2024, so we expect that our next general rate case in Missouri will request this future Test Year treatment. This is a positive step for the regulatory and business environment in Missouri. Turning to Indiana, legislators there passed Senate Bill 426 in March, which modifies the existing distribution system improvement charge to allow for the deferral, depreciation, and post and service carrying costs from the in-service state of eligible investments until they are included for recovery and rates. The language also provides important protections from lawsuits when utilities are meeting applicable water quality standards. Then, in Virginia, Senate Bill 850 was passed and will permit a water or wastewater utility to petition the Virginia Commission for the recovery of an expanded list of eligible infrastructure costs outside of a base rate case. Collectively, these three laws represent progress towards achieving allowed returns in each state and are supportive of further investments. I would like to congratulate our government and external affairs teams who worked alongside many others to help achieve these constructive policies in 2025. And finally, on Slide 12, as John mentioned, we’ve affirmed our 2025 EPS guidance, which again represents 8% annual growth. Our outlook and plans for 2025 remain unchanged from our February call. As Cheryl will speak to, we don’t expect any of the recent tariff-related announcements to have a material impact on our 2025 plan or financial results. I’m confident in our team’s ability to execute on our financial and operating plans and cost management strategies. This includes delivering cost-effective financing while maintaining our balance sheet strength and credit profile. As we announced in late February, we completed a successful long-term debt issuance of $800 million at a 5.25% coupon that attracted strong demand. Our Treasury team did a great job of timely executing part of our financing objectives for the year amidst a challenging market environment. Our total debt-to-capital ratio as of the end of the quarter, that of $114 million of cash on hand, was 58%, which was within our target of less than 60%. Also, as John mentioned, S&P affirmed our A rating in April, which followed Moody’s affirmation of our Baa1 investment credit rating in January with a stable outlook from both. Both agencies note advantages of our scale, our low-risk business profile, our strong regulatory and operational diversity across 14 states, and our steady financial performance in their analysis. They also noted our expected sustained FFO-to-debt ratios well within the current ratings thresholds. We are confident our business and financial profile, including FFO-to-debt, will continue to support either our current or higher investment grade credit ratings. With that, I’ll turn it over to Cheryl to talk more about our capital program, our recent acquisition activity and a look at the state of infrastructure in the U.S. Cheryl?