Thank you, Pat, and good morning everyone. I'll pick up on Slide 6 with highlights for the quarter at TNMP and PNM. At TNMP, we reached another all-time system peak in May, at just over 2,700 megawatts, 6% higher than our summer peak last year. Since 2020, our system demand in Texas has grown at a 10% compound annual growth rate, driving an increased level of investment to expand our infrastructure to keep up with our customer demand. This year, we have experienced an increased number of storms, most notably Hurricane Beryl earlier this month. Before Beryl hit, we enacted our Emergency Operation Plan which brought in additional TNMP crews and contractors, and staged them strategically throughout the service territory in advance of the storm. Additional TNMP crews were also put on standby in our north central service territory, just in case the storm impacted those areas. Ultimately, it did not. And these crews, along with mutual assistance were brought into our Gulf Coast area for storm restoration. As Pat mentioned, over 116,000 of our customers had lost power when the storm passed. Our industrial customers did not lose service. Once we were able to safely get crews into our field, restoration began. And 50% of our customers were back online within 24 hours, leaving only those areas with significant tree removal and rebuild left to restore. Our teams worked around the clock until the last customer was restored. Storms like Beryl are one type of extreme weather events that is considered in our System Resiliency Analysis that we plan to file next month. Well I'll come back to that in a minute to discuss in more detail. Our regulatory updates in Texas, TNMP's investment plan over the last two decades has been in response to growth, like we've seen in our system peak. Our TCOS and our DCRF filings reflect these investments. And these capital recovery mechanisms reduce the regulatory lag on these growing amounts. The first of our two filings this year for both transmission and distribution recovery have been approved and implemented, recovering $300 million of investments placed into service last year. Our second set of filings were submitted this month, capturing the investments placed into service through the end of the second quarter. Now, shifting over to PNM. At the end of the quarter, our two 6 megawatt batteries approved last year for our distribution system became operational. This is a new solution for reducing constraints on our feeders, and we plan to use the next few months to calibrate the operation use to best benefit our customers. Our capital plans assume we will place another 30 megawatt or five 6 megawatt units on our system over the next couple of years. We are studying these batteries to confirm their functioning as expected. Once our assessment is complete, we will bring forth that plan for additional installation before the commission. Before moving into PNM's regulatory items, I'll speak to our team's response to the South Fork and Salt fires that, at their peak, displaced around 10,000 New Mexicans. Although these fires started outside our service territory, we closely monitored as they approach the areas in which we have infrastructure. Our teams quickly integrated with first responders and local, state and federal incident command centers to de-energize and re-energize lines in the manner that best supported emergency responders. We also prepared crews and secured mutual assistance, including TNMP crews, so that we could begin to rebuild lines and restore customers as quickly as possible. The work we had done in updating our Wildfire Mitigation Plan and establishing our Public Safety Power Shutoff Plan in May helped us in our preparation, planning and coordination. Once it was deemed safe to return, PNM crews, along with mutual assistance crews, worked around the clock to rebuild our system that was impacted by the fire. We have also provided funding and resources to leaders of this community as they work to rebuild. We also have a few regulatory updates for New Mexico. We filed our annual update to FERC formula rate, which incorporated $120 million of new investments, reflecting a 23% increase. At the New Mexico Commission, we received approval during the quarter for our 2026 resource adequacy filing, which proposed 410 megawatts of resources to serve growing customer demand, including 60 megawatt owned battery. We also have plans for grid modernization investments that are tied to a filing in front of the Commission. The plan includes integration of smart meters at PNM, which opens the door to more advanced rate structures and customer offerings. We requested approval for six years of investment as a part of a longer 10 year plan with recovery through a rate rider. We expect a recommended decision from the hearing examiner and a commission decision during the third quarter. And last, but certainly not least, we submitted our 2025 rate request to commission on June 14. The filing is for a future test year running from July 1 of 2025 through June 30 of 2026. To help mitigate impacts on customers, we requested a phase-in implementation for new rates. Half of the requested non-fuel increase would be implemented on July 1 of 2024. And the other half in January of 2026. We are still very early in the process based on procedural schedules issued by the hearing examiner, a deadline for stipulation or intervener testimony in the case is late November, and hearings are scheduled to begin in late February of next year. You can find more details about our filing in the appendix. Turning to Slide 7, the Resiliency Legislation passed last year in Texas is a different way of investing in the grid beyond just demand growth. The commission rules for a system resiliency plan recommends a third party assessment. And we engaged experts to identify ways to improve our system's response to extreme events. Our study models a variety of weather events that have impacted our service territory over the last 20 years. Because we have a service territory in three areas, Central and North Texas, the Gulf Coast and West Texas, this includes a wide variety of events. The model looks at the type and age of our infrastructure in different areas, along with our customer base. And it identifies the areas and investments with the highest benefit with respect to cost. We expect to submit our filing in mid-August, and will incorporate available information and lessons learned from Hurricane Beryl. We estimate that our filing will include approximately $600 million of capital investments, which is $150 million higher than the amounts previously included in our investment plan. The filing also allows for deferral of depreciation expense, or incremental distribution O&M to the balance sheet until the matching recovery of these amounts begin. The approach goes a step further than TCOS and DCRF filings to eliminate regulatory lag. The state legislation called for a six month approval process for the resiliency filing, which we would put the deadline for our approval in the first quarter of 2025. Turning to Slide 8, I'll cover other items that will advance our infrastructure. Texas legislation also called for a study on the development of transmission in West Texas, with a more forward looking view on potential new load. ERCOT has been providing updates on its study for needs in the area by 2030 and 2038, with significant increases in demand and additional investments needed in the area. ERCOT filed two reliability plans for West Texas last week, a 2030 plan and a 2038 plan. Over the coming months, we will work with the ERCOT regional planning groups, the Commission and other transmission service providers in the area to gain clarity around the level of investment for TNMP projects. The original timeline had been for the Commission to provide an order by September, but we will need to see how they will likely proceed. And lastly, in Texas, the Commission has published its proposed rules for mobile generation for comment, and we expect the rules to be finalized by the end of the year. We think mobile generation is a valuable resource in some of our more rural parts of our service territory. We will look to the final rules before making a proposal and incorporating into our plan. In New Mexico, we will be filing a proposal in the fourth quarter for new resources to be in service in 2028. New Mexico is limited on available transmission capacity. And any new resource will likely require associated transmission investments. Looking forward, we will need to consider new transmission investments to meet the growing demand on our system and across the Southwest. Expansion would also provide for increased utilization of generation resources, particularly New Mexico's high wind and solar potential, and also strengthen our ability to secure cost benefits for PNM customers. We have been developing a 20 year transmission plan, which includes evaluating alternatives for expanding capacity on our system. We will collaborate with stakeholders on each of these investment opportunities to ensure we are bringing benefits to all our customers. With that, I'll turn it over to Lisa for a more detailed look at the numbers.