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HomeMy WebLinkAbout20240912Comment_1.pdf RECEIVED THURSDAY, SEPTEMBER 12, 2024 IDAHO PUBLIC UTILITIES COMMISSION 60 IDAHO CONSERVATION LEAGUE 208.345.6933 • PO Box 844.Boise,ID 83702•www.idahoconservatcrt.org September 12, 2024 Submitted via email to secretary@puc.idaho.gov Idaho Public Utilities Commission 1331 W. Chinden Boulevard Building 8, Suite 201-A Boise, Idaho 83714 Re: Comments, Case No. PAC-E-24-09; Application of Rocky Mountain Power Requesting Approval of the 2024 Idaho Wildfire Mitigation Plan Dear Commissioners Anderson, Hammond, and Lodge, Thank you for the opportunity to comment on PacificCorp's, DBA Rocky Mountain Power, ("PacifiCorp", or"Company") 2024 Wildfire Mitigation Plan. ICL represents its organizational interests and those of its more than 26,000 members and supporters. Our concerns to the Company's fire management plans are both regulatory and touch our broader work public lands access and management. Fires are growing as a critical driver of utility costs and regulation as well as affecting the daily lives of Idahoans during our long fire seasons. ICL offers these comments to the Commission as the utility and regulatory system faces growing pressure to innovate around fire planning and management. We commend the Company for offering a substantial and operable Wildfire Mitigation Plan ("WMP" or"plan"). The Company's plan is a step forward in sophistication,particularly in meteorological data collection and forecasting. These measures are an appropriate response to the increased risk resulting from more frequent and aggressive fire behavior across the west. We recommend the Commission accept the plan with the following considerations. These comments include an attachment by Adrian Gallo, who holds a doctorate in Forest Management with a specialization in soil science. Dr. Gallo's prior research concerned ecosystem responses to climate change, noting that the observed change in fire frequency and Idaho Public Utilities Commission Case No. PAC-E-24-09; Comments of the Idaho Conservation League Page 1 intensity presages a step-change in wildfire behavior. Mitigation is essential, but the growing fire risk the Company addresses in its plan is deepest rooted in a changing climate. We caution that the Company's risk profile will grow at an unpredictable rate so long as emissions remain unchecked. At the same time as PacifiCorp offers its 2025 mitigation plan, the Company also seeks to limit its financial and legal liabilities. As this Commision is well aware, the PacifiCorp faces massive assessed, claimed, and settled liabilities resulting from previous fires.' While the ongoing litigation is complex and unresolved, the full course will undoubtedly be expensive.Z The Company claims that further liability threatens its financial standing. To this end, the Company requested this Commission limit or manage further exposure in multiple administrative requests.' It is also possible Idaho will join neighboring states in altering fire liability through legislation.'PacifiCorp is at the center of a rapidly changing legal landscape concerning utility fire liability across the West. Fire liability is a vexing problem without a clear solution, not to be resolved in this docket, but should be considered critical context as the Commission reviews this and other Wildfire Mitigation Plans. The plan should be considered in tandem with the Company's insurance programs, legal exposure, and larger shifts in the regulatory regime surrounding fire. A change in liability does not make costs go away, it merely shifts who pays them, be they a recovering plaintiff, appropriately assessed ratepayers, or utility shareholders. The exact balance between these parties will be difficult to find, but any waiver or limitation of liability is appropriately exchanged for increased obligations and scrutiny to a Company's expenses and operations. The Governor's recent Wildfire Recommendations Report includes policy recommendations from a utility/insurance workgroup developed with input from all three Idaho investor-owned utilities.'Among other things, the report recommends "State-level legislation adopting clear wildfire liability standards for electric utilities based upon utilities implementing wildfire mitigation measures contained in their Wildfire Mitigation Plans".' This recommendation appropriately ties a shift in responsibility to obligations to physically manage 'Information on Fire Litigation,PacifiCorp,(accessed Sept, 11,2024). https://www.pacificoEp.com/about/information-wildfire-litigation.html 2 Berkshire Hathaway,Form SEC 10-Q at 23 and 24(quarter ending June 30,2024). https://www.berkshirehathaway.com/gtrly/2ndgtr24.12df s See Case No.PAC-E-23-22,Order No. 36175 (Commission rejected liability shield in tariff language);Case No. PAC-E-24-04,Application at 5(pending rate case;Company seeks insurance cost adjustment mechanism and catastrophic fire fund). 'Utah S.B.224,Energy Independence Amendments(2024),Amending Utah Code§ 54-17-102 et. seq. (capping economic and non-economic damages in third-party fire claims). 'Wildfire Recommendations Report,Office of the Governor(August 2024). https://Rov.idaho.izov/wp-content/uyloads/2024/08/2024-wildfire-report.pdf 'Id. at 37(page 6 of the Utility/Insurance workgroup report). Idaho Public Utilities Commission Case No.PAC-E-24-09; Comments of the Idaho Conservation League Page 2 fire risk. While the life of these recommendations is yet to play out, it is quite likely that legal standards around fire liability and adequacy of utility mitigation plans will be re-defined in the coming years. We recommend the Commision consider and write on the interconnection of the Company's plan and various proposals to increase insurance coverage, establish catastrophic fire funds, or alter liability caps and standards. In recognition of the thoroughness and continuing development of the Company's Plan, we recommend its approval. Fire will continue to grow as a predominant issue for utilities and the public in the West. In this period of ecological, regulatory, and legal flux we hope for a considered and productive resolution of this difficult problem. Submitted, Brad Heusinkveld Energy and Regulatory Counsel Idaho Conservation League bheusinkveld@idahoconservation.org Idaho Public Utilities Commission Case No.PAC-E-24-09; Comments of the Idaho Conservation League Page 3 Attachment: Supplement of Adrian Gallo, PhD Wildfire ecology's unstable equilibrium for the upcoming decades Fire ecology and wildfire research has rapidly evolved over the past decade. Some of that information is beginning to show up in wildfire management plans, as shown in aspects of PacificCorps' Wildfire Management Plan (WMP)'. However, more acute and widespread wildfire impacts are beginning to manifest, yet they are not reflected in the WMP. The purpose of this supplement is to bring the newest research from fire ecology into the present to ensure utilities in Idaho understand the rapidly changing landscape they sprawl across. Acreage burned and money spent on fire suppression activities have increased substantially in the last three decades. In 1992, approximately 4.5 million acres of federally managed lands in the US burned, the suppression costs alone approached $400 million dollars. In 2022, 7.1 million acres burned and wildfire suppression costs ballooned to nearly$4.4 billion dollars2. As PacificCorp is well aware, suppression costs are not the only costs to consider when evaluating the impact of wildfires. There are a confluence of factors driving this paradigm change. Some examples include a century of wildfire exclusion that have overstocked our landscapes, the increasing severity and duration of extreme heat events and droughts, higher insect and invasive species pressures that change local fire ecology behaviors, and the increasing movement of people into the wildland urban interface with the simultaneous expansion of wildfire prone areas. Individually these are concerning trends, collectively it requires a total re-evaluation of what to expect from wildfires moving forward. It is well established that humans remain the primary cause of wildfires,but electrical utilities are feeling an unwelcome spotlight. From 1992-2012, humans are responsible for 84% of all wildfires and nearly half of the acreage burned resulting in a human-caused fire season that is three-times longer than the lightning-only fire season'. From 1992-2020 wind-driven downslope fires represent barely 13% all wildfires in the west, but they are responsible for 60% of all structural losses and 52% of all human lives lost from wildfires4. A deeper examination of these wind-driven downslope fires reveals energy systems are responsible for the majority (51%) 'PacificCorp Idaho Wildfire Management Plan(WMP)- hW2s://lf-12uc.idaho.gov/WebLink/DocView.asl2x?dbid=0&id=134433 2 National Interagency Fire Center,Wildfire Suppression Costs on Federally Managed Lands. hlWs://www.nifc.gov/fire-information/statistics/suppression-costs 3 Balch,J.,et al.,2017.Human-started Wildfires expand the fire niche across the United States. hW2s://www.12nas.org/doi/el2df/10.1073/pnas.1617394114 a Abatzoglou,J.,at al.,2023.Downslope wind-driven fires in the western United States. hqps:HaWpubs.onlinelibrLr$.wiley.com/doi/10.1029/2022EF003471 Case No.PAC-E-24-09; Attachment to ICL Comments Page 1 of all acreage burned whether they're caused by lightning or humans (e.g. recreation, equipment failures, debris burning, arson, fireworks). It remains a failure of risk communication from fire ecology researchers that the west has yet to adequately feel the new risk-landscape. While the 2020 western fire season burned in excess of 10 million acres, this remains within the historic range of wildfire behavior. As a result of ignitions coinciding with east-wind-driven conditions that were preceded by dry fuel loading, approximately 300,000 acres burned in a 48-hour periods. As the authors state "the Labor Day fires were fundamentally a weather-driven event. The influence of forest management on fire severity was minimal and variation in forest structure or fuels played little role."Although those authors focused on the Cascades and wet forests typical of northern Idaho, other wildfire research focused on the Rocky Mountains found similar results'. The researchers note "our results support expectations that Northern Rockies fire activity will continue to increase with climatic warming, surpassing historical burning if more than one exceptional fire year akin to 1910 occurs within the next several decades." The allusion to the 1910 fire year is illustrative; it was a wind-driven event across much of the inland northwest known as the Big Burn that significantly altered the trajectory of US land management policies','. Approximately 3 million acres were burned in a short period of time. As other researchers note, the likelihood of large-scale catastrophic events will double from 2021-2050, with a"three-fold increase in the probability of years exceeding the record-breaking 2020 season 9". To assume future years will be similar, or even slightly worse than previous years, is a severe underappreciation of expected wildfire behavior. While the WMP uses tools that separate out fuel/terrain-driven and wind-driven wildfire ignition events, there remain many deficiencies. The FireSight modeling tools developed by Technosylva use a wide range of areas (e.g. CalFire jurisdiction)that may accurately capture the impacts of fuel and wind-driven events. A benefit of using this approach is that it can model wind-driven events here in Idaho when there are no modern examples of such occurrence. The downside is when calculating the Fire High Consequence Areas (FHCA); because FireSight uses a large geospatial database, the upper quintiles of the composite score are relative to all areas analyzed, rather than Idaho's specific geographic locations. This leads to the unnatural conclusion that"Rocky Mountain Power has not identified any geographic areas in Idaho for inclusion in an FHCA." (page 18)1. The reason for this is the composite scores calculated include 5 Reilly,et al.,2022. Cascadia Burning: The historic,but not historically unprecedented,2020 wildfires in the Pacific Northwest,USA.hops://esajoumals.onlinelibrgy.wiley.com/doi/full/10.1002/ecs2.4070 'Clark-Wolf K.,et al.,2023.Wildfire activity in northern Rocky Mountain subalpine forests still within millennial-scale range of variability.hUs:Hiol2science.iop.org/article/10,1088/1748-9326/aceel6/pdf 7 Egan,T.2009.The Big Burn:Teddy Roosevelt and the fire that saved America. s Little.J.J. 1968. 1910 forest fires in Montana and Idaho:Their impact on federal and state legislation. hW2s:Hscholarworks.umt.edu/cgi/viewcontent.cgi?article=2474&context=etd v Abatzoglou,J.T,et al.,2021.Projected increases in western US forest fire despite growing fuel constraints. hgps://www.nature.com/articles/s43247-021-00299-0 Case No.PAC-E-24-09; Attachment to ICL Comments Page 2 £ 35ud sivaututoD-IDI oI IuauzIVU14V :60-bZ-d-Jdd 'oN MUD 3P 'ISOIZZOZj3o/I80i/ZZOZ/3o/no •s sn•sgn //:s Iu usnjgoSuS aaoD auioig usn gz)BuS s L'3lj3UIFi aaojs3Zl,(I3nlI3ROJd o;uBIsaQ uot;enzasuoD usrugaguS d-ZZOZ',KaAMS 1901soio3D s3JUJS paIiun of Bio•uoilt,nuasu000lepi4�oiiei?t, an&13Z uoilVtivasuoD olt?pl .ua&euuW uuta50ud aiuuttID •Q•ld `oiiL'o Umipv `�ii�loadsa2l •luauuaiddns sill uo oouopuodsa.uoo aalianj.uoj XuuduuoD ao `jjulS `uoissiuzuzoD all of aigt?irenL,uitImi I •slummoo mo luauuaiddns of fliutipoddo all aoj noX xuuuZ •papaalun suitltuai uotlisuv4 sill ji si jo2uup ivai all Inq `paouujvqun 5uiutoo3g Xljoinb si of pautolsnoou uaaq an,am uzni.zgiiinbo-a.ig-odvospuq ali •apLIoap SUTLIJo do all ui sjle3X Pig iuoicIXI all auuooag iium Xiotu3tu luooau ui siuoK Pig Isiom all osnLoaq slouduui augpium ui aiiuulo-dais u 5uumols loreasaa aagppm mau all l,3iam Xialumom, iou saop ii Inq `cIWA1 sill uu poppaquio On, spaurt q aagpitm 5uuni0na JO uoiiuui?ooaa-V •suuaisXsooa pi.re-iuuas put? `sputisstai? `sisa.uOJ ui sa.ugpiim jo Plum puv adoos iin3 all aziu5oo3a of laX anal Mall ualm ouini?uus On siolundo XItiiln put, sia5umuu puwl •aluuulo i?uiXjp puu i?uiuu vm v llim sapiiioo lu st,Ai?oj000 Pig oistq spuulsiapun-siuu sailmouv atle sivoA Pig luooai llell suoildutnsst, 5utxjtapun •soproap 2uiutoodn all ui oq Ipm satgpiim asaom lonut cool jo 35p3 5uip33iq all On slovduu asap `aanamoH •snotngo art, lull sXLm ui sutalsXs Xiitauo puu sad-eospuui loudutu of uni?aq anL'l sargpjim `fuvU uuns uI •pazuu2003a SIT su dWAA, ali ui a.talm ON •sauoods pojoButpua Xi.reau pulB panoiaq sill.toj ai?njaa Isui all s,li asnLoaq saagpiim luanaad of care lull ui pojja asuauiuu uu aq iiim a.uall Inq `Xlisuop uopUjndod moi puv sa.unlonals maJ are aaal.L •oiaminj pauu um-3jumiio all ui `3snoa5-35uS uoisualxa Xq puL, `luliql addals lsruq-ai?t,s umlaa Xlglsuaj uvo lull olupI ui uouluom 5mummi Xluo all oq iiim uon luq L •Isauo j iieuoilloN sgjugD-uowjleS all jo suoiltod apnioui lull XZolirtal aotntas Mall jo.tattoo IsamlPou all jo slovduai i�ulualod all oziaooar of siil?j Ir `st'atu VDH3 paxut'J.tamoi put titolttial aotnzas ali 5uixqdsip I i aun i j uo paiou st, `Xiiuui j •IsLd ali of jupL uis xooi iium auninj all 3Lunssu of 03JUIsuuu OALIJO e su loilm saouaun000 aag luoiaolsil sosn Xluo saaoos olisoduuoo ali aivaauoB of ullep Induu all `uoilippu ul •sjsu s,olupl slunoosup XianiioaJJa sisoo Buiit?uuiisa JOJ Uil?p cures iuli 5uusn `injdial si 2uij3pouu aagpiim.uoj ujup Induu juijudsoa5 35.rei i?uusrl •spiolsa.ull VDH3 all XjspUs of uoialoa.uaddn all ui s}luutj olupl ui a.ualmou lull asuuduns ou s,li `(sanjUA Xluadoud `suoulUindod joq&q) slouduu juiluolod s,muio3iivD llim sloudim iuiluolod s,oqupI ui 2uidutni ualm `.(sanit'n Xltadotd `Xlinogjip uoissaiddns `uoilieindod •5•3) slorduu ICliuntu uoo