Loading...
HomeMy WebLinkAbout20090707Vol V (Boise) Pgs 613-778.pdfOR'GJ~J.lj' -BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION OF AVISTA CORPORATION FOR THE AUTHORITY TO INCREASE ITS RATES AND CHARGES FOR ELECTRIC AND NATURAL GAS SERVICE TO ELECTRIC AND NATURAL GAS CUSTOMERS IN THE STATE OF IDAHO. CASE NOS. AVU-E-Q9-01 AVU-G-09-01 TECHNICAL HEARING HEARING BEFORE COMMISSIONER MACK A. REDFORD (Presiding) COMMISSIONER MARSHA H. SMITH COMMISSIONER JIM D. KEMPTON- PLACE:Commission Hearing Room 472 West Washington Street Boise, Idaho DATE:June 29, 2009 VOLUME V - Pages 613-778 c: ~:: ~i- -l~ 2:m:: i"cno l (' (JOU7c.: .....en..~r"" :iOO(~ NW ...sO \0 '2: POST OFFICE BOX 578 BOISE, IDAHO 83701 208-336-9208 -HEDRICK COURT REPORTING tel'" tk ~ tJlfaJt¡.líru 19 ÃÌmnm~inc: e 10 11 12 - e 1 APPEARANCES 2 3 For the Staff:DONALD L. HOWELL, II, Esq. -and- KRISTINE A. SASSER, Esq. Deputy Attorneys General 472 West Washington Boise, Idaho 83702 4 5 6 For Avista:DAVID J. MEYER, Esq. Avista Corporation Post Office Box 3727 Spokane, Washington 99220-3727 7 8 9 For Idaho Forest Group:McDEVITT & MILLER, LLP by DEAN J. MILLER, Esq. 420 West Bannock Street Boise, Idaho 83702 For Clearwater Paper Corp.:GIVENS PURSLEY, LLP by MICHAEL C. CREAMER, Esq. 601 West Bannock Street Boise, Idaho 8370213 14 For Idaho Cons. League:BETSY BRIDGE Idaho Conservation League 710 North Sixth Street Boise, Idaho 83702 15 16 For CAPAI:BRAD M. PURDY, Esq. Attorney at Law 2019 North Seventeenth Street Boise, Idaho 83702 17 18 19 20 21 22 23 24 25 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 APPEARANCES e e 20 21 22 23 24 e 25 1 I N D E X 2 WITNESS EXAMINATION BY PAGE 3 Prefiled Direct 614 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 630 652 662 680 706 710 718 724 745 763 765 767 770 775 Terri Carlock (Staff) 4 5 Matt Elam (Staff) Prefiled Direct 6 Bryan Lanspery (Staff) Prefiled Direct 7 8 Marilyn Parker (Staff) Prefiled Direct 9 Curtis Thaden (Staff) Prefiled Direct 10 11 Larry A. Crowley (Idaho Forest Group) Prefiled Direct 12 Dennis E. Peseau (Clearwater Paper Corp.) Prefiled Direct 13 14 Teri Ottens (CAPAI) Prefiled Direct 15 Kelly Norwood (Avista - Prefiled Direct in Support of Settlement 16 17 Randy Lobb (Staff) Prefiled Direct in Support of Settlement 18 Kelly Norwood (Avista) Mr. Meyer (Direct) Commissioner Smith Commissioner Kempton Commissioner Redford 19 Randy Lobb (Staff) Mr. Howell (Direct) INDEX e e 20 21 22 23 24 e 25 1 EXHIBITS 2 NUMBER For Avista: PAGE 3 4 1.Avista Corporate Business Premarked Organizational Structure, Morris, 2 pgs Admitted 777 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Remarked 764 Admitted 764 5 6 2.Schedules 1 and 2, Thies, 4 pgs 7 3.Schedules 1 - 10, Avera, 56 pgs 8 9 4.Schedules 1 - 5, Storro, 55 pgs (Including compact disk) 10 5.Schedules 1 and 2, Kalich, 4 pgs 11 12 6.Schedules 1 - 4, Johnson, 12 pgs 13 7.Schedules 1 and 2, Kopczynski, 16 pgs 14 15 8.Schedules 1 and 2, Kinney, 2 pgs 16 9.Schedules 1 and 2, DeFelice, 2 pgs 17 18 10.Schedules 1 and 2, Andrews, 19 pgs 19 11.Schedules 1 - 6, Knox, 27 pgs 12.Schedules 1 - 6, Hirschkorn, 72 pgs 13.Summary of Demand-Side Management, Folsom, 3 pgs 14.(Originally marked as Exhibit No.1, Norwood, in support of Stipulation.) Idaho Electric Proposed Increase by Schedule EXHIBITS e e 18 20 21 22 23 24 e 25 1 EXHIBITS (continued) 2 15.(Originally marked as Exhibit No.2, Norwood, in support of Stipulation.) Stipulation and Settlement, 23 pgs Marked 15 Remarked 764 Admitted 764 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 3 4 5 For the Staff: 6 101.Henry Hub Gas Forward 7 102.Pro Forma Natural Gas Prices 8 9 103.Dispatch Model Prices Summary 10 104.Dispatch Model Pro Forma Costs Staff Adj usted, 3 pgs11 12 105.Power Supply Expense 13 106.Staff Adjusted Power Supply Pro Forma Idaho Jurisdiction, 2 pgs14 15 107.Staff Adj ustments to Index Contracts, 2 pgs 16 108.Coeur d' Alene Tribe Settlement, 2 pgs 17 109.Calculation of General Revenue Requirement, Gas, 2 pgs 19 110.Adjustments Allocated to Both Gas and Electric Jurisdictions 111.Gas Results of Operation 112.Allocation of President and CEO Compensation 113.Six-year History of Incentive Payments HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 EXHIBITS - e 20 21 22 23 24 e 25 1 EXHIBITS (continued) 2 114.Adj ustment to Gas Nonrevenue Blankets Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 120.Gas Revenue Increase by Service Sched. Premarked Admitted 777 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 Premarked Admitted 777 122.Gas Cost of Service Increase Comparison Premarkedby Service Schedule Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 127.Demographics - Avista Service Terri tory Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 3 4 115.Electric Specific Adjustments 5 116.Calculation of General Revenue Requirement, 2 pgs6 7 117.Electric Results of Operation, Idaho Pro Forma Results, 2 pgs 8 118.Electric Results of Operation, Idaho Restated Results, 4 pgs9 10 119.Cost of Long-Term Debt Detail, 2pgs 11 12 13 121.Gas Present and Proposed Rate Components by Schedule 14 15 16 123.Gas Present Billing Rate Components 17 124.Electric Present and Proposed Rate Components by Schedule, 2 pgs18 19 125.Avista Complaints and Inquiries, 2004-2008 126.Complaints & Inquiries by Utility, 2004-2008 128.2009 Federal Poverty Level Guidelines 129.Map, Avista Service Area EXHIBITS e e 18 19 20 21 22 23 24 e 25 1 EXHIBITS (continued) Statement of Occupational and Premarked Educational History and Qualifications, Admitted 777 Dennis E. Peseau, 3 pgs 2 130.March 2009 Idaho and US Unemployment Data, 4 pgs Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 Premarked Admitted 777 3 4 131.Idaho Moratorium/Payment Plan Participants & Defaults 5 132.New Avista Payment Plans, 2 pgs 6 7 133.Existing Avista Payment Plans, 2 pgs 8 134.Advertisement 9 10 135.Other Avista Energy Efficiency Programs, 2 pgs 11 12 For Idaho Forest Group: 13 201.Curriculum Vitae, Larry A. Crowley, 4 pgs 14 15 For Clearwater Paper Corporation: 16 301. 17 302.Cost of Service Basic Summary, 3 pgs 303.Cost of Service Basic Summary, 3 pgs HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 EXHIBITS e 10 11 12 e 13 14 20 e 1 BOISE, IDAHO, MONDAY, JUNE 29,2009, 9:33 A.M. 2 3 4 (The following prefiled testimony was 5 spread upon the record.) 6 7 8 9 15 16 17 18 19 21 22 23 24 25 613 HEDRICK COURT REPORTING P. o. BOX 578, BOISE, ID 83701 COLLOQUY e e e 1 Q.Please state your name and address for the 2 record. 3 A.My name is Terri Carlock. My business 4 address is 472 West Washington Street, Boise, Idaho. 5 Q.By whom are you employed and in what 6 capacity? 7 A.I am the Deputy Administrator of the 8 Utilities Division at the Idaho Public Utilities 9 Commission. I am responsible for the Accounting/Audit 10 Section and coordinating Staff's policy positions with 11 Staff Administrator Randy Lobb. 12 Q.Please outline your educational background 14 13 and experience. A.I graduated from Boise State University in 15 1980, with B.B.A. Degrees in Accounting and Finance. I 16 have attended various regulatory, accounting, rate of 17 return, economics, finance, and ratings programs. I am 18 currently the Chair of the National Association of 19 Regulatory Utilities Commissioners (NARUC) Staff 20 Subcommittee on Accounting and Finance. I also Co-chair 21 the Task Force on International Financial Reporting 22 Standards. I previously chaired the NARUC Staff 23 Subcommittee on Economics and Finance for more than 3 25 24 years. Under this subcommittee, I also chaired the Ad Hoc Committee on Diversification.I have been a CASE NOS. AVU-E-09-1/AVU-G-09-1OS/29/09 614 CARLOCK, T (Di) 1 STAFF e - e 1 presenter .. for the Institute of Public Utilities at 2 Michigan State University and for many other conferences. 3 Since joining the Commission Staff in May 1980, I have 4 participa~ed in audits, performed financial analysis on 5 various companies, and have presented testimony before 6 this Commission on numerous occasions. 7 Q.What is the purpose of your testimony in 8 this proceeding? 9 A.The purpose of my testimony is to present 10 the Staff i s recommendation related to the overall cost of 11 capi tal for Avista Corporation (Avista) to be used in the 12 revenue requirement in these cases, AVU-E-09-1 and AVU-G- 13 09-1. i will address the appropriate capital structure, 14 cost rates and the overall rate of return. 15 Q.Please summarize your testimony. 16 A.In my testimony on the overall rate of 17 return, I am recommending a return on common equity in 18 the range of 9.5% - 10.5% with a point estimate of 10.5%. 19 The recommended overall weighted cost of capital is in 20 the range of 8.05% - 8.55% with a point estimate of 8.55% 21 to be applied to the rate base for the test year. 22 Q.Are you sponsoring any exhibi ts to accompany 23 your testimony? 24 A.Yes, I am sponsoring Staff Exhibit No. 119 25 consisting of 2 schedules. CASE NOS. AVU-E-09-1/AVU-G-09-~15 OS/29/09 CARLOCK, T (Di) 2 STAFF e - e 1 Q.Have you reviewed the testimony and exhibits of 2 Avista witnesses Avera and Thies associated with the 3 return components? 4 A.Yes. Much of the theoretical approach used by 5 Avista witness Avera in his testimony and exhibits is 6 generally similar to what I have used. My judgment in 7 some areas of application results indifferent outcomes. 8 Q.Avista witness Thies discusses the progress 9 made by Avista in improved financial health. Do you 10 agree? 11 A.Yes, I do. Several years ago Avista discussed 12 its plan to improve its financial health including 13 spreading its debt maturi ties over a number of years. 14 Progress has definitely been made in this area as 15 demonstrated by the rating upgrades. On May 19, 2009, 16 Fitch upgraded Avista' s Senior secured debt to BBB+ from 17 BBB with a Stable Rating Outlook. This definitely moves 18 toward the goal stated by Company witness Thies, 19 "Avista' s goal is to operate at a level that will support 20 a strong corporate credit rating of BBB/BBB+...." (Thies 21 testimony page 5). 22 Q.What legal standards have been established for 23 determining a fair and reasonable rate of return? 24 A.The legal test of a fair rate of return for a 25 utility company was established in the Bluefield Water CASE NOS. AVU-E-09-1/AVU-G-09-~16 OS/29/09 CARLOCK, T (Di) 3 STAFF e 1 Works decision of the United States Supreme Court and is 2 repeated specifically in Hope Na tural Gas. 3 In Bluefield Water Works and Improvement Co. v. 4 West Virginia Public Service Commission, 262 U. S. 679, 5 692, 43 S.Ct. 675, 67 L.Ed. 1176 (1923), the Supreme 6 Court stated: 7 8 9 10 11 12 13e14 15 16 17 18 19 20 21 22 23 24 25 e A public utility is entitled to such rates as will permit it to earn a return on the value of the property which it employs for the convenience of the public equal to that generally being made at the same time and in the same general part of the country on investments in other business undertakings which are attended by corresponding risks and uncertainties ¡but it has no constitutional right to profits such as are realized or anticipated in highly profitable enterprises or speculative ventures. The return should be reasonably sufficient to assure confidence in the financial soundness of the utility and should be adequate, under efficient and economical management, to maintain and support its credit and enable it to raise the money necessary for the proper discharge of its public duties. A rate of return may be reasonable at one time and become too high or too low by changes affecting opportunities for investment, the money market and businessconditions generally. The Court stated in FPC v. Hope Natural Gas Company, 320 U . S. 591 , 603, 64 S. Ct. 281 , 8 8 L. Ed . 3 3 3 ( 1944) : From the investor or company point of view it is important that there be enough revenue not only for operating expenses but also for the capital costs of the business. These include service on the debt and dividends on thestock. CASE NOS. AVU-E-09-1/AVU-G-09-~1 7 OS/29/09 CARLOCK, T (Di) 4 STAFF - e - 1 . .. By that standard the return to the equity owner should be commensurate with returns on investments in other enterprises having corresponding risks. That return, moreover, should be sufficient to assure confidence in the financial integrity of the enterprise, so as to maintain its credit and to attract capital. (Citations omitted.) 2 3 4 5 6 The Supreme Court decisions in Bluefield Water 7 Works and Hope Na tural Gas have been affirmed in In re 8 Permian Basin Area Rate Case, 390 u.s. 747, 88 S.Ct 1344, 9. 20 L.Ed 2d 312 (1968), and Duquesne Light Co. v.Barasch, 10 488 U. S. 299, 109 S.Ct. 609, 102 L.Ed.2d. 646 (1989). 11 The Idaho Supreme Court has also adopted the principles 12 established in Bluefield Water Works and Hope Natural 13 Gas. See In re Mountain States Tel. & Tel. Co. 76 Idaho 14 474, 284 P.2d 681 (1955) i General Telephone Co. v. IPUC, 15 109 Idaho 942, 712 P. 2d 643 1986) i Hayden Pines Wa ter 16 Company v. IPUC, 122 Idaho 356, 834 P.2d 873 (1992). 17 As a result of these United States and Idaho 18 Supreme Court decisions, three standards have evolved for 19 determining a fair and reasonable rate of return: 20 (1) The Financial Integrity or Credit Maintenance 21 Standardi (2) the Capital Attraction Standardi and,. 22 (3) The Comparable Earnings Standard. If the Comparable 23 Earnings Standard is met, the Financial Integrity or 24 Credit Maintenance Standard and the Capital Attraction 25 Standard will also be met, as they are an integral part CASE NOS. AVU-E-09-1/AVU-G-09-t18 OS/29/09 CARLOCK, T (Di) 5 STAFF e 1 of the Comparable Earnings Standard. 2 Q.Have you considered these standards in your 3 recommendation? 4 A.Yes. These cri teriahave been thoroughly 5 considered in the analysis upon which my recommendations 6 are based. It is also important to recognize that the 7 fair rate of return that allows the utility company to 8 maintain its financial integrity and. to attract capital 9 is established assuming efficient and economic 10 management, as specified by the Supreme Court in 11 Bluefield Water Works. 12 Q.Why is the return on equity calculation 13 important?e 14 A. The return on equity and the overall rate of 15 return provides the method for calculating the return 16 authorized. This return provides the level of 17 compensation to investors for the use of the capital 18 invested in the utility plant and equipment to serve 19 customers. The actual return investors receive is 20 derived from dividends and growth in stock price when the 21 shares are sold. Since the direct required return is not 22 a contractual calculation, the authorized return on 23 equity serves as the proxy. 24 Q.What approach have you used to determine the 25 cost of equity for Avista? e CASE NOS. AVU-E-09-1/AVU-G-09-~9 OS/29/09 CARLOCK, T (Di) 6 STAFF e e e 1 A.I have prima~ily evaluated two methods: the 2 Discounteâ Cash Flow (DCF) method and the Comparable 3 Earnings method. 4 Q.Please explain the Comparable Earnings method 5 and how the cost of equity is determined using this 6 approach. 7 A.The Comparable Earnings method for determining 8 the cost of equity is based upon the premise that a given 9 investment should earn its opportunity costs. In 10 competitive markets, if the return earned by a firm is 11 not equal to the return being earned on other investments 12 of similar risk, the flow of funds will be toward those 13 investments earning the higher returns. Therefore, for a 14 utility to be competitive in the financial markets, it 15 should be allowed to earn a return on equity equal to the 16 average return earned by other firms of similar risk. 17 The Comparable Earnings approach is supported by the 18 Bluefield Water Works and Hope Natural Gas decisions as a 19 basis for determining those average returns. 20 Industrial returns tend to fluctuate with 21 business cycles, increasing as the economy improves and 22 decreasing as the economy declines. Utility returns are 23 not as sensitive to fluctuations in the business cycle 24 because the demand for utility services generally tends 25 to be more stable and predictable. However, returns have CASE NOS. AVU-E-09-1/AVU-G-09-~20 OS/29/09 CARLOCK, T (Di) 7 STAFF e e e 1 fluctuated since 2000 when prices in the electricity 2 markets dramatically increased. Electricity prices have 3 not seen the dramatic spikes lately so earnings are more 4 stable. 5 Q. Please evaluate interest rate trends. 6 A. The prime interest rate has decreased in the 7 last year and half from 7.75% to the current rate of 8 3.25%. The federal funds rate and other rates have also 9 decreased this year. 10 Q.Please provide the current index levels for the 11 Dow Jones Industrial Average and the Dow Jones Utility 12 Average. 13 A. The Dow Jones Industrial Average (DJIA) closed at 8404.04 on May 28, 2008. The DJIA all-time high of 15 14,000 was reached on July 19, 2007. The Dow Jones 14 16 Utility Average closed at 338.40 on May 28, 2008. The 52- 17 week high was 529.43 for the Dow Jones Utility Average. 18 Q.Please explain the risk differentials between 19 industrials and utilities. 20 A. Risk is a degree of uncertainty relative to a 21 company. The lower risk level associated with utilities 22 is attributable to many factors even though the 23 difference is not as great as it used to be. Utilities 24 continue to have limited competition for distribution of 25 utility services within the certificated area. With CASE NOS. AVU-E-09-1/AVU-G-09-~21 OS/29/09 CARLOCK, T (Di) 8 STAFF e 1 limited competition for regulated services, there is less 2 chance of. losses related to pricing practices, marketing 3 strategy and advertising policies. The competi ti ve risks 4 for electric utilities have changed with increasing non- 5 utility g~neration, deregulation in some states, open 6 transmission access, and changes in electricity markets. 7 However, competitive risks are limited for Avista utility 8 operations. The demand for electric utility services is 9 relatively stable and certain or increasing compared to 10 that of unregulated firms and even other utility 11 industries. 12 Competi ti ve risks continue to be average for 13 Avista than for many other electric companies primarilye14because of the low-cost source of power, the low retail 15 rates compared to national averages, and the PCA. The 16 risk differential between Avistaand other electric 17 utilities is based on the resource mix and the cost of 18 those resources. All resource mixes have risks specific 19 to resources chosen. 20 Under regulation, utilities are generally 21 allowed to recover through rates, reasonable, prudent and 22 justifiable cost expenditures related to regulated 23 services. Unregulated firms have no such assurance. 24 Utilities in general are sheltered by regulation for 25 reasonable cost recovery risks, even if it isn' t 100%, e CASE NOS. AVU-E-09-1/AVU-G-09-l22 OS/29/09 CARLOCK, T (Di) 9 STAFF e e e 1 making the average utility less risky than the average 2 unregulated industrial firm. 3 As everyone is aware, current market trends and 4 earnings levels have dramatically declined. I believe 5 Avista continues to be in a better position than many to 6 fund its near-term capital requirements with its current 7 debt authority. The current credit and investment 8 markets are making capitalization more difficult for all. 9 In my opinion, as investors reevaluate their investment 10 portfolios, utility stocks with the primary operatiàn 11 being the utility will be favored over higher risk 12 operations. 13 Nationally the electric utility industry has seen common equity ratios decline from 46% at 12/31/200614 15 to 45% at 12/31/2007 and 44% at 6/30/2008. This means 16 long-term debt ratios increased over the respective time 17 periods i 54%,55% and 56%. Company witness Avera, Exhibit 18 No. 3 shows similar historical averages with 46.3% equity 19 and 52.5% debt. Company witness Thies shows projected 20 ratios of 52.89% equity and 47.11% debt at June 30, 2009 21 (Thies workpaper page 1). This is better than the 22 average utility common equity ratios. The capital 23 structure recommended for Avista is 50% common equity and 24 50% long-term debt. The recommended and actual equity 25 ratios for Avista are better than the national average, CASE NOS. AVU-E-09-1/AVU-G-09-l23 OS/29/09 CARLOCK, T (Di) 10 STAFF e e e 1 historical and proj ected, reflecting lower risk in this 2 category for Avista. 3 Authorized returns by State Commissions for 4 electric utilities during 2007 and the First Quarter of 5 2008 range from 9.1% in New York to 11.25% in Georgia. 6 During this period, 25 states decided cases authorizing 7 rates of return on equity. Many of the decisions, 14 out 8 of 25 or 56%, authorized a return on equity between 9.5% 9 and 10.5%. 10 Considering all of these comparisons, I believe 11 a reasonable return on equity attributed to Avista is 12 9.5% - 10.75% under the Comparable Earnings method. 13 Q. You indicated that the Discounted Cash Flow 14 method is utilized in your analysis. Please explain this 15 method. 16 A.The Discounted Cash Flow (DCF) method is based 17 upon the theory that (1) stocks are bought for the income 18 they provide (i. e., both dividends and/or gains from the 19 sale of the stock), and (2) the market price of stocks 20 equals the discounted value of all future incomes. The 21 discount rate, or cost of equity, equates the present 22 value of the stream of income to the current market price 23 of the stock. The formula to accomplish this goal is: 24 25 CASE NOS. AVU-E-09-1/AVU-G-09-~24 OS/29/09 CARLOCK, T (Di) 11 STAFF e 1 2 3 4 5 6 7 8 D D D P 1 2 N N Po =PV =-------+-------+.. .+------+------ (l+ks) 1 (l+ks)2 (l+ks) N (l+ks) N Po = D = ks = N = Current price Dividend Capi talization Rate, Discount Rate, or Required Rate of Return Latest Year Considered The pattern of the future income stream is the 9 key factor that must be estimated in this approach. some 10 simplifying assumptions for ratemaking purposes can be 12 11 made without sacrificing the validity of the results. 13e14 Two such assumptions are:( 1) dividends per share grow at a constant rate in perpetuity and (2 ) prices track 15 formula, where the required return "is the dividend yield earnings. These assumptions lead to the simplified DCF 16 plus the growth rate (g):17 D 18 19 ks = + g Po Q.Have you factored flotation costs in with your 20 cost of capital analysis? 21 A.Yes, I have considered direct flotation costs 22 in my analysis by increasing the dividend yield component 23 of the DCF analysis. Because only direct costs should be 24 considered, I have used a flotation factor of 2% assigned 25 to the utility operations. This practice continues to be e CASE NOS. AVU-E-09-1/AVU-G-09-~25 OS/29/09 CARLOCK, T (Di) 12 STAFF e e 1 reasonable with recent issuances and expected near- term 2 issuances placed though the Company's Investment Plans 3 where the actual flotation costs are substantially lower 4 than direct market issuances. I have therefore adjusted 5 the DCF formula to include the direct flotation costs as 6 "df" . 7 Dks = ( - - - (1 + df)) + g Po8 9 Q.What is your estimate of the current cost of 10 capital for Avista using the Discounted Cash Flow method? 11 A.The current cost of equity capital for Avista 12 using the Discounted Cash Flow method is between 13 8.67% - 10.37%. The low range of 8.67% is calculated 14 using an analyst low stock price of $20 and the growth 15 rate of 5%. 16 (($0.72/$20) 1.02) +5% 17 The high range of 10.37% is calculated using the stock 18 price of $20 and a growth rate of 6.7%. 19 (($0.72/$20) 1.02) +6.7% 20 Due to ongoing capital requirements, I believe a dividend 21 yield of 3.67% with an average growth rate of 5.25% is 22 reasonable and representative resulting in a DCF return 24 23 on equity of 8.92%. 25 e Q.How is the growth rate (g) determined? A.The growth rate is the factor that requires the CASE NOS. AVU-E-09-1/AVU-G-09-i26 OS/29/09 CARLOCK, T (Di) 13 STAFF e e e 1 most -extensive analysis in the DCF method. It is 2 important that the growth rate used in the model be 3 consistent with the dividend yield so that investor 4 expectations are accurately reflected and the growth rate 5 is not too large or too small. 6 I have used an expected growth rate of 7 5% - 6.7%. This expected growth rate was derived from an 8 analysis of various historical and projected growth 9 indicators, including growth in earnings per share, 10 growth in cash dividends per share, growth in book value 11 per share, growth in cash flow and the sustainable 12 growth. 13 Q. What are the costs related to the capital 14 structure for debt? 15 A.I accept the cost of debt of 6.6% as 16 recommended by Company witness Thies and shown on Staff 17 Exhibit No. 119, Schedule 1. 18 Q.What capital structure has Staff used for 19 Avista to determine the overall cost of capital? 20 A.Staff Exhibit No. 119, Schedule 2, shows the 21 capital structure, debt cost utilized and the overall 22 rate of return. Staff has accepted the Company proposed 23 capital structure of 50% equity and 50% debt as shown on 24 Company witness Theis Exhibit No.2, Schedule 2. These 25 ratios are reasonable in this case to calculate the CASE NOS. AVU-E-09-1/AVU-G-09-~27 OS/29/09 CARLOCK, T (Di) 14 STAFF e 1 overall ~ate of return. 2 Q.You indicated the cost of common equity range 3 for Avista is 9.5% - 10.75% under the Comparable Earnings 4 method and 8.67% - 10.37% under the Discounted Cash Flow 5 method. What is the cost of common equity capital you 6 are recommending? 7 A.The fair and reasonable cost of common equity 8 capital I am recommending for Avista is in the range of 9 9.5% - 10.5%. Although any point within this range is 10 reasonable, the return on equity granted would not 11 normally be at either extreme of the fair and reasonable 12 range. i utilized a point estimate of 10. 5% in 13 calculating the overall rate of return for the revenuee14requirement. 15 Q.What is the basis for your point estimate being 16 10.5% when your range is 9.5% - 10.5%? 17 A.The 10.5% return on equity point estimate 18 utilized is based on a review of market data and 19 comparables,average risk characteristics for Avista, 20 operating characteristics, the capital structure, and the 21 recently authorized return on equity of 10.5% granted 22 Idaho Power by this Commission. A point above the 23 midpoint recognized the requirement for system capital 24 investments to serve customers. 25 Q.How does your recommended return compare to the e CASE NOS. AVU-E-09-1/AVU-G-09-S28 OS/29/09 CARLOCK, T (Di) 15 STAFF e e e 1 2 authorized returns for Avista? A.Avista is currently authorized a 10.2% return .3 on equity and an 8.45% overall rate of return in Idaho. 4 Avista is also currently authorized a 10.2% return on 5 equity and an 8.22% overall rate of return in Washington. 6 Staff's recommended returns are higher than currently. 7 authorized so will continue to support the ongoing 9 8 capi tal investments. 11 10 recommended for Avista? Q.What is the overall weighted cost of capital A.The overall weighted cost of capital 12 recommended by Staff is in the range of 8.05% - 8.55%. 13 14 For use in calculating the revenue requirement, a point 15 resulting overall rate of return of 8.55% was utilized as estimate consisting of a return on equity of 10.5% and a 17 16 shown on Schedule 2, Staff Exhibit No. 119. 19 18 this proceeding? Q. Does this conclude your direct testimony in 20 21 22 23 24 25 A. Yes, it does. CASE NOS. AVU-E-09-1/AVU-G-09-~29 OS/29/09 CARLOCK, T (Di) 16 STAFF e e e 1 2 the record. Q.Please state your name and business address for 3 A.My name is Matthew Elam. My business address is 5 4 472 West Washington Street, Boise, Idaho. 6 Q.By whom are you employed and in what capacity? A.I am employed by the Idaho Public Utilities 7 Commission (Commission) as a Utilities Analyst in the 8 Engineering Section of the Utilities Division. 9 10 Q.What is your education and experience? A.I graduated from Boise State University in 2004 11 earning a Bachelor of Arts degree in Economics. I also 13 12 earned a minor in Sociology. Following graduation I was 14 accepted into the Albertsons Management Development Program 15 Corporate Planning before transitioning to Research and where I worked as a Business Analyst in Finançe and 16 Market Analysis. My primary duties included demographic 17 profiling, modeling, and demand forecasting for the purposes 18 of determining ROIC (Return on Invested Capital). In early 19 2007 I accepted a Business Analyst position with geoVue Inc. 20 where I consulted companies in a similar capacity and would 22 21 later be promoted to a Senior Business Analyst and Modeler. 23 Q.What is the purpose of your testimony? A.Under the direction of Randy Lobb, Utili ties 24 Administrator, I will discuss the Company's Jurisdictional 25 Separations, Customer Class Cost of Service, Weather Revenue 630CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M. (Di) 1 STAFF " e 1 Normalization, and Revenue Allocation. I will discuss 2 Staff's proposal to adjust the Schedule 150 Weighted Average 3 Cost of Gas (WACOG), and provide rate recommendations for 4 the natural gas service Schedules (Schedule 101, Schedule. 5 111/112, Schedule 131/132, and Schedule 146). 6 Q.Please summarize your testimony in. this case. I accept the Company's Jurisdictional Separations7A. 8 Methodology, ailocators and the results they produce using 9 Staff's adjusted accounting information. Those results are 10 presented in Staff witness Donn English' 's testimony. I 11 recommend maintaining the current cost of gas embedded in 12 base rates rather than shifting Schedule 150 costs into base e 13 rates as proposed by the Company. I am proposing that the 14 Schedule 150 Weighted Average Cost of Gas (WACOG) be 15 adjusted downward to a level that offsets the Schedule 101 16 base rate increase proposed by Staff. This (WACOG) 17 adjustment will maintain the current. rates for Schedule 101 18 and reduce rates for Schedules 111/112, and Schedules 19 131/132. 20 I accept the Company's proposal to change the 21 weather revenue normalization methodology from an annually 22 updated 25-year average for normal degree days to an 23 annually updated 30-year average for normal degree days. 24 Based on Staff's overall increase in natural gas revenue, I 25 e 631CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELAM, M. (Di) 2 STAFF e e e 1 propose that individual class base rates move closer to cost 2 of servïce and that no class receive a decrease. 3 I accept the Company's rate design proposals given 4 Staff's revenue requirement with the exception of increasing 8 5 the Monthly Basic Charge for Schedule 101. 6 Jurisdictional Separations 7 Q.What is the purpose of Jurisdictional Separations? A.The Jurisdictional Separations process identifies 9 t.he appropriate share of total Company costs and revenues to 10 assign to Idaho customers for determining the Idaho 12 11 Jurisdictional revenue requirement. 13 14 15 Q.Have there been any changes to the Company's system and jurisdictional procedures since the Company's last general natural gas rate case, Case No. AVU-G-08-01? A.No. As pointed out by the Company in testimony, 16 the current methodology was implemented in 1994 and has not 18 17 changed. Q.Do you accept the Company's Jurisdictional 20 19 Separations Study? A.Yes. I accept the methodology and allocation 21 factors proposed by the Company. However, other Staff 22 witnesses have proposed adjustments to the accounting data 23 and the Return on Equity. Staff proposes an Idaho 24 Jurisdictional revenue requirement increase of $1,894,.000 25 shown on Staff Exhibit No. 109 to Staff witness Donn 632CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M. (Di) 3 STAFF e e e 1 English's testimony. This is a 2.89% increase, which is 2 calculated based on Staff's proposal to maintain the current 3 cost of gas embedded in base rates rather than shifting the 4 Schedule 150 costs into base rates as proposed by the 5 Company. 6 Class Cost of Service 7 Q.What is the purpose of the customer class cost of 8 service study? 9 A.A customer class cost of service study is an 10 engineering-economic study which separates the Idaho 11 Jurisdictional revenue requirement among the various Idaho 12 rate classes according to the revenue, expenses, and rate 13 base associated with providing natural gas service to 14 designated groups of customers. 15 There are three basic steps involved in a cost of 16 service study known as functionalization, classification, 17 and allocation. 18 Functionalization is the first process that 19 segregates expenses and rate base into production, 20 underground storage, and distribution categories. 21 Classification is the second process that 22 classifies expenses and rate base into demand, commodity, or 23 customer related. Demand (capacity) related costs are 24 allocated to rate schedules on the basis of each schedule's 25 contribution toward system peak demand. Commodity (energy) CASE NOS. AVU-E-09-1/AVU-G-09-î33 OS/29/09 ELA, M. (Di) 4 STAFF e ec e 1 related costs are allocated based on èach rate schedule's 2 share of commodity consumption. Customer related items are 3 allocated to rate schedules based on the number of customers 4 within each schedule. 5 Allocation is the final process of assi~ning the 6 costs to various rate schedules by utilizing the allocation 7 factors selected for each specific cost item. These faètors 8 are derived from usage and customer information associated 9 with the test period results of operations. 10 Is the Company proposing to change the Cost ofQ. 11 Service method accepted by the Commission in AVU-G- 04 - 01? 12 A.No. 13 Do you accept the Company's customer class cost ofQ. 14 service study? 15 A.Yes. 16 Weather Revenue Nor.alization 17 Q.What is the purpose of the weather revenue 18 normalization process in a natural gas rate case? 19 A.The purpose of the Company's weather revenue 20 normalization adjustment is to calculate the revenue change 21 given the difference in natural gas usage (in therms) required 22 to adjust actual loads during the twelve months ended 23 September 2008 test period to the therms expected to be 24 consumed under normal weather conditions. This adjustment 25 _incorporates the elasticity of heating on weather sensitive 634CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 EIl, M. (Di) 5 STAFF e e e 1 customer groups. By comparing ten years of data on billed 2 usage per customer and billing period heating degree days in 3 a regression analysis, the Company estimates i ts wea~her 4 sensitivity factors. The resulting seasonal weather 5 sensitivity factors (use per customer per heating degree 6 day) are applied to monthly test period customers and the 7 difference between a normal heating degree days and monthly 8 test period observed heating degree days. 9 Q.How does Company witness Knox define the 10 appropriate number of heating degree days to be considered 11 normal? 12 A.The Company has proposed basing normal heating 13 degree days on a rolling 30 -year average of heating degree- 14 days reported for each month by the National Weather Service 15 for the Spokane airport weather station. For heating, the 16 30 years are included on a heating season basis, July 17 through June. This will be a rolling average, therefore for 18 each year the normal values will be adjusted to capture the 19 next heating season with the oldest data dropping off, 20 thereby encapsulating the most recent information available 21 at the end of each calendar year. 22 Q.Has the Company proposed any changes in the 23 weather normalization adjustment methodology since the 24 Company's last general rate case in Idaho (AVU-E-08-01)? 25 A.Yes. In Case No. AVU-G-08-01 the Company used a 635CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M. (Di) 6 STAFF e e e 1 25-year rolling average to determine the normal number .of 2 heating degree days for each month. In this case an 3 additional 5 years have been included in the rolling average 4 calculation. 5 Q.Why has the Company decided to change this 6 methodology? 7 A.The Company says the change is in response to 8 concerns in another jurisdiction that a rolling 25-year 9 average may be insufficient to determine "normal" weather 10 conditions. The Company also conducted an analysis 11 revealing that while both a rolling 30 -year average and a 12 rolling 25~year average capture the long-term trend in 13 regional temperatures, the rolling 30-year average showed 14 less variability. 15 Q.Do you agree with the Company's assessment that it 16 is necessary to define normal weather conditions using a 17 rolling 30-year average? 18 A.No. I reviewed the information that was provided 19 by the Company in response to Production Request No. 80 and 20 found the reasoning for the change questionable. 21 The Company maintains that using a rolling 30-year 22 average to define normal weather conditions represents a 23 better approximation because it shows less variability in 24 climactic cycles. The conclusion I've drawn is that it' s 25 important to capture normal climactic cycles when defining 636CASE NOS. AVU-E-09-1/AVU-G-09-1OS/29/09 ELA, M. (Di) 7 STAFF e 1 normal weather conditions. The rolling 25-year average is a 2 shorter time frame that better illustrates the normal 3 climactic. cycles. 4 In addition, the utilities regulated by the Idaho 5 Commission are beginning to file more frequent general rate 6 cases, therefore capturing the 'most recent climactic cycles 7 between filings is even more important than if utilities 8 were waiting several years to file . 9 Q.Why hasn' t Staff recommended the Company maintain 10 the same weather revenue normalization methodology in this 11 case? 12 A.In response to Staff's Production Request No. 80, e 13 the Company was asked to compare the increase in revenue 14 required under a rolling 25-year average and a rolling 30- 15 year average for both the gas and electric filing. The net 16 difference was negligible , the electric revenue required to 17 meet the Company's revenue requirement decreased by $27,000 18 and the gas revenue required to meet the Company's revenue 19 requirement increased by $17,000. Therefore, Staff 20 recommends that the Commission accept the Company's proposed 21 weather normalization but direct the Company and Staff to 22 continue evaluating the methodology in future rate cases. 23 Revenue Allocation 24 Q.What is the purpose of the Revenue Allocation 25 process in a natural gas rate case? e CASE NOS. AVU-E-09-1/AVU-G-09~~7 OS/29/09 ELA, M. (Di) 8 STAFF e e e 1 A. . Allocating revenue is the process of assigning 2 each customer class a revenue increase using the results of 3 the Customer Cost of Service Study as a guideline. The Cost 4 of Service Study results represent a starting point in the 5 assessment of appropriately determining the revenue 6 requirement for various rate classes. 7 Q.What customer class revenue allocation do you 8 recommend in order to meet the Idaho Jurisdictional revenue 9 requirement? 10 A.It is my recommendation that no class receive a 11 base rate decrease and that all classes move toward cost of 12 . service. This diminishes rate shock and assigns. revenue 13 responsibili ty based on costs incurred. 14 Q. How has Company witness Knox allocated the revenue 15 of its Idaho gas special contract customers? 16 A.The Company currently has two special contract 17 customers that receive transportation service under 18 Schedules 147 and 159, IMCO and Clearwate~ Paper. Rates for 19 these customers are not being adjusted in this case, they 20 were individually negotiated under long-term fixed contracts 21 in order to cover any incremental cost and retain margin. 22 The Company has eliminated the possibility of .23 stranded costs by depreciating the incremental facilities 24 used to serve its special contract customers. Therefore, 25 the net contribution from these special contract customers 638CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M. (Di) 9 STAFF e 1 has been segregated from general rate revenue and allocated 2 back to all the other rate classes by relative rate base. 3 Staff has reviéwed the contribution associated with the 4 Company's special contract customers and determined that it 5 has been àppropriately allocated and applied to the other 6 cus tomers . 7 Q.Do you have an exhibit illustrating the revenue 8 requirement from Staff's proposed Cost of Service results? 9 A.Yes. These results are contained in Staff Exhibit 10 No. 120. 11 Q.Have you prepared an exhibit that shows the rates 12 that result in your revenue proposal? e 13 A. Yes. I have prepared Staff Exhibit No. 121. In addition I have prepared Staff Exhibit No. 122 that compares14 15 Staff's Revenue Allocation proposal to Avista' s Revenue 16 Allocation proposal. 17 WACOG Adjustment 18 Q.What is the purpose of determining the Weighted 19 Average Cost of Gas (WACOG)? 20 A.The WACOG is the Company's forward-looking net 21 price of purchased gàs, transportation, and storage embedded 22 in base rates and included in the Purchase Gas Cost 23 Adjustment (Schedule 150). Tyically, Schedule 150 and the 24 Gas Rate Adjustment (Schedule 155) are adjusted on November 25 1st of each year as part of the Purchased Gas Cost e 639CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELAM, M. (Di) 10 STAFF e e - 1 Adjustment (PGA). The Gas Rate Adjustment is an 2 amortization rate established to refund or surcharge 3 customers~ the difference between the Company's actual gas 4 costs (commodity price of gas, transportation, and storage) 5 and the WACOG established in the previous PGAfiling. 6 Customers get either a surcharge when market prices are 7 higher than the previous year's anticipated WACOG or a 8 credi t when market prices are lower than the previous year's 9 anticipated WACOG. 10 How is the WACOG included in the monthly billingQ. 11 rate customers pay? 12 The WACOG is collected in two parts, one part isA. 13 collected in the base rate determined by the Commission in 14 the AVU-G-04-01 case, and the other is collected in Schedule 15 150. The monthly billing rate customers pay is determined 16 by combining Schedules 150, 155 and 191 to both the portion 17 of base rate determined in the AVU-G-08-01 case unrelated to 18 the WACOG, and the base rate portion of the WACOG. 19 Currently the total gas costs make up $0. 88013/therm of the 20 billing rate for Schedules 101, and 111/112. The amount 21 included in base rates is $0. 53312/therm and the remainder 22 is collected through Schedule 150. Total gas costs make up 23 $0. 78646/therm of the Schedule 131/132 billing rate because 24 there is not a demand component given the Schedule is 25 interruptible. The amount collected in base rate is CASE NOS. AVU-E-09-1/AVU-G-09-140 OS/29/09 ELA, M. (Di) 11 STAFF e e e 1 $0.44989/therm and the remainder is collected through 2 Schedule 150. Each component (Schedules 150, 155, 191, and 3 the two parts of base rate) of the billing rate can be seen 4 in Staff Exhib~ t 123. 5 The totalcommodi ty portion collected in base 6 rates and Schedule l50 for all the Schedules is 7 $. 78646/therm (the total demand portion for Schedules 101, 8 and 111/112 is $.09367). The commodity portion collected in 9 base rate is $. 44989/therm. 10 Q.Has the Company proposed an adjustment to. the net 11 WACOG included in Schedule 150 and the billing rate 12 customers pay monthly? l3 A. No. However the Company is proposing to move the 14 current Schedule 150 adjustment into base rate schedules. 15 Schedules 101, and 111/112 base rates would increase from 16 $0. 53312/therm to $0. 88013/therm while Schedule 150 17 decreases by a proportional amount of $. 34701/therm 18 ($0. 88013/therm-$0. 53312/therm). Schedules 131/132 base 19 rates would increase from $0. 44989/therm to $0. 78646/therm 20 while Schedule 150 decreases by a proportional amount of 21 $. 33657/therm ($0. 78646/therm-$0. 44989/therm). The net 22 effect of this change has no impact on the monthly billing 23 rate, it simply reallocates the WACOG from Schedule 150 to 24 base rate Schedules. 25 Q.Do you agree wi th the Company's proposal? 641CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M . (D i) 12 STAFF e e - 1 A.No. The base rate is intended to reflect the 2 Company's estimate of future costs, when this is more 3 accurate customers experience less extreme volatility in PGA 4 adjustments. Given current market volatility and the recent 5 decline in commodity prices, I propose maintaining the 6 current natural gas costs included in base rates. 7 Q.Have you proposed an adjustment to the net WACOG 8 included in Schedule 150 that offsets the increase you have 9 proposed in base rates? 10 A.Yes. I propose to offset the base rate increase 11 recommended by Staff in this case by adjusting the commodity 12 portion of the WACOG to $. 76047/therm instead of the current 13 commodity portion of the WACOG of $. 78646/therm. For Schedules 101 and 111/112, the total cost of gas would be 15 $. 85414/therm instead of $. 88013/therm. For Schedules 14 16 131/132, the total cost of gas would be $.76047 /therm 17 instead of $. 78646/therm. 18 How have you proposed to adjust the Schedule 150Q. 19 Weighted Average Cost of Gas (WACOG) component to offset the 20 base rate increase proposed by Staff? 21 A.I propose adjusting the WACOG to a level that 22 offsets the Schedule 101 increase customers receive in båse 23 rates given the proposal by Staff from the Cost of Service 24 Study. According to the Cost of Service Study, the Company 25 would receive approximately $1,460,034 in revenue by 642CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M. (Di) 13 STAFF e e e 1 increasing base rates to Schedule 101 (General Service) 2 customers. The corresponding WACOG decline in order to 3 offset the revenue increase in base rates is approximately 4 3.0% or $. 02599/therm. This adjustment in the WACOG 5 maintains current Schedule 101 billing rates by decreasing 6 the billing rates for Schedules 111/112 (Large General 7 Service), and 131/132 (Interruptible Service). Schedule 146 8 (Transportation Service) would not be impacted by the change 9 in the WACOG and would receive the increase in base rates 10 dictated by Staff's proposal from the CUstomer Cost of 11 Service Study. 12 Q.Why is it reasonable to adjust the WACOG in order 13 to offset the Schedule 101 base rate increase proposed by 14 Staff? 15 A.This year, wholesale prices have continued to drop 16 well below the WACOG currently embedded in rates. The more 17 expensive storage gas purchased by the Company at last 18 summer's high price levels has been sold and the Company is 19 beginning to purchase natural gas at lower, favorable prices 20 for the coming year, both for injection into underground 21 storage and at hedged forward prices for delivery throughout 22 the year. 23 In order to prevent the Company from over 24 collecting from customers in its Schedule l55 Purchased Gas 25 Adjustment Account and having to refund customers through a 643CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M. (Di) 14 STAFF e e e 1 credit in November, Staff views it appropriate to adjust the 2 WACOG now through Schedule 150. The base rate revenue 3 requirement increase proposed by Staff is small. Therefore, 4 the resulting offset in the WACOG is minor and would only 5 preemptively adjust the WACOG to a level Staff views will be 6 inevitably lower in the fall when the Company comes in for 7 its annual PGA filing. By adjusting the WACOG now through 8 Schedule 150, the Company can eliminate unnecessary 9 fluctuations in the retail prices customers pay, prevent a 10 growing deferral account balance that will be credited to 11 customers in Schedule 155 later, and collect the revenue 12 requirement proposed by Staff in base rates. 13 Q. How will your proposal to adjust the WACOG through Schedule 150 affect Schedule 146 (Transportation Service)14 15 customers? 16 A. This adjustment will not impact Schedule 146 17 customers. Schedule 146 customers take transportation 18 service at the distribution level and purchase their own 19 natural gas and interstate pipeline transportation. To the 20 extent these customers have hedged their natural gas 21 purchases i they are beginning to see price level reductions. 22 If they have not hedged their natural gas purchases they 23 have already seen price level reductions and will continue 24 to do so. Therefore, it is Staff's proposal to determine 25 644 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M. (Di) 15 STAFF e e e 1 Schedule 146 customer rates based on the Cost of Service 2 results from Staff's adjusted revenue requirement. 3 Q.Has Staff been tracking the Schedule 155 Purchased 4 Gas Adj ustment Accounts in the PGA monthly reports submit ted 5 by the Company in compliance with Order No. 30646? 6 A.Yes. According to the Company's most recent May 74th PGA report which shows. a snapshot of this year's account 8 balances up until March 31st, the total balance owed to 9 customers through a credit is $6,463,503. Since the 10 Company's January 6th amortization rate went into effect, 11 the current credit balance due to customers from last year's 12 PGA period is $3,577,048. Based on this year' s costs since 13 October 1st, the amount that will be credited to customers 14 in the next PGA is $2,886,455. Since the amortization rate 15 is not dropping the deferral balance as quickly as its 16 growing, it is Staff's view that there will be a substantial 17 credit due to customers in the fall since this year's market 18 prices have dropped significantly from where the Company 19 anticipated natural gas prices to be in this year's WACOG. 20 Q.Are you aware of the Company's filing on May 14, 21 2009 to adjust. the amortization rate (s) in Schedule 155 to 22 refund additional deferred amounts accumulated since 23 November 2008 (December-April) to customers over a 12-month 24 period? 25 A.Yes. 645CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M. (Di) 16 STAFF e e e 1 2 Q.Does this change your recommendation in this case? A.No. My adjustment is to the WACOG in Schedule 150 3 not the amortization rate (s) in Schedule 155. 4 Rate Design 5 Q.What are Staff' s objectives in evaluating rate 6 design? 7 A.Staff's objectives are that base rates recover the 8 revenue requirement of each customer class given the class 9 revenue requirement recommendations shown in Staff Exhibit 10 120 i send an appropriate cost based price signal to 11 customers encouraging the wise and efficient use of energyi 12 provide rate stability and avoid unnecessary complexity or 13 14 changes. Q. Do you have an exhibit illustrating your rate 16 15 proposals? A.Yes. These are shown on Staff Exhibit No. 121. 18 17 Schedule 101 (General Service) 20 19 recommend for Schedule 101? Q.What rate design does Company witness Hirschkorn A.Without including the percentage increase 21 associated with the Company's proposal to shift some of the 22 Schedule 150 commodity costs into the energy charge base 23 rate, the Company is proposing to increase the Energy 25 24 Charges by 2.9% per therm. The Company is proposing an 646CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELAM, M. (Di) 17 STAFF e 1 overall increase in the Basic/Customer Charge of 6.3% or 2 $.2500 per month. 3 Q.Do you agree with the Company's proposed rate 4 design changes? 5 A.No. I agree with the Energy Charge changes as 6 adjusted for Staff's proposal to maintain the current cost 7 of gas in base rates , given the base rate class cost of 8 service revenue requirement increase of 2.9%, and as 9 adjusted for the WACOG decrease of approximately 3.0%. 10 However, I do not agree with the increase in the monthly 11 Basic/Customer Charge. I recommend that the customer charge 12 for this class remain unchanged. e 13 Staff has maintained the position that the. Basic/Customer Charge should collect meter reading and 15 billing fixed costs. With the Basic/Customer Charge at 14 16 current levels, the Company is collecting more than meter 17 reading and billing costs. 18 In addition, the Company is proposing to increase 19 the Basic/Customer Charge by 6.3% while the proposed base 20 rate increase to the class without including the proposal to 21 shift some of the Schedule 150 commodity costs is 3.1%. 22 This increase is disproportionate and unnecessary given the 23 small increase in class revenue requirement, and the 24 decrease in the WACOG proposed by Staff. 25 e 647CASE NOS. AVU-E-09-1/AVU-G-09-105/~9J09 ELA, M . (D i) 18 STAFF e 1 Schedule 111/112 (Large General Service) 2 Q.What rate design does Company witness Hirschkorn 3 recommend for Schedule 111/112? 4 A.Without including the percentage increase 5 associated with the Company's proposal to shift sòme of the 6 Schedule 150 commodity costs into the energy charge base 7 rate, the Company is proposing to increase the Energy 8 Charges for the first tier by 3.0% and increase the 9 remaining three tiers by a uniform 2.5%. The Company is 10 proposing an overall increase in the Minimum Charge of 4.2% 11 or $7.00 per month. 12 Q.Do you agree with the Company's proposed rate e 13 design changes? 14 A.Yes. I agree with the Energy Charge and Minimum 15 Charge increase as adjusted for Staff's proposal to maintain 16 the current cost of gas in base rates , given the class cost 17 of service base. rate revenue requirement increase of 3.0%, 18 and as adjusted for the WACOG decrease of approximately 19 3.0%. 20 Q.When designing rates has Staff considered the 21 Company's concern that changing the breakeven relationship, 22 or the level of usage where the bill for Schedule 101 is 23 equivalent to the bill for Schedule 111, could result in 24 unnecessary shifting of customers between the Schedules? 25 A.Yes. However, one preventative solution the e 648CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M . (D i) 19 STAFF e 1 Company could take to address the concern of unnecessary 2 customer shifting between Schedule 101 and Schedule 111 3 would be to designate Schedule 101 as a "Residential General 4 Service" achedule similar to the other natural gas provider 5 in the State. S.taff views this solution as a reasonable way 10 e 6 to divide residential and commercial use customers. 7 Schedule 131/132 (Interruptible Service) 8 Q.What rate design does Company witness Hirschkorn 9 recommend for Schedule 131/132? A.Without including the percentage increase 11 associated with the Company's proposal to shift some of the 12 Schedule 150 commodity costs into the energy charge base 13 rate, the Company is proposing to increase the Energy 14 Charges by 1.7%. The Company is proposing an overall 15 increase in the Annual Minimum Deficiency Charge of 10.6% or 16 1.598 cents per thermo 17 Q.Do you agree with the Company's proposed rate 19 ' 18 design changes? A.Yes. I agree with the Energy Charge and Annual 20 Minimum Deficiency Charge increase as adjusted for Staff.' s 21 proposal to maintain the current cost of gas in base rates,. .22 given the base rate class cost of service revenue 23 requirement increase of 2.0%, and as adjusted for the WACOG 25 24 decrease of approximately 3.0%. e 649CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 ELA, M. (Di) 20 STAFF e e e 2 1 Schedule 146 (Transportation Service) 3 recommend for Schedule 146? Q.'What rate design does Company witness Hirschkorn 4 A.The Company is proposing to increase the Energy 5 Charges by 11.3%, and increase the Annual Minimum Usage by 6 3,128 therms. 7 Q.Do you agree with the Company's proposed rate 8 design changes? 9 A.Yes. I agree with the Energy Charge and Minimum 10 Usage increase as adjusted for Staff's proposed base rate 12 11 class cost of service revenue requirement of 2.8%. 13 14 Q.Is it possible to make a comparison between the Schedule 146 base rate increase and the other Schedules? 15 Schedules because it is a distribution transportation A. No. Schedule 146 is not comparable to the other 16 Schedule. Schedule 146 does not include the cost of gas or 17 interstate pipeline transportation, whereas the other sales 18 service schedules do. These customers have third party 19 marketer obligations, fees, and inherent risks of managing 20 their purchasing strategies in a fluctuating natural gas 21 market. These variables make it impossible to qualify, 22 quantify, or compare a rate increase to the increases of the 24 23 other Schedules. Q.Does this conclude your direct testimony in this 25 proceedîng? CASE NOS. AVU-E-09-1/AVU-G-09-~50 OS/29/09 ELAM, M. (D i) 21 STAFF e e e 1 Q.Please state your name and address for the 2 record. 3 A.My name is Bryan Lansperyand my business address 4 is 472 West Washington Street, Boise, Idaho. 5 Q.By whom are you employed and in what capacity? 6 A.I am employed by the Idaho Public Utilities 7 Commission as a utilities rate analyst. 8 Q.Please give a brief description of your 9 educational background and experience. 10 A.I received a Bachelor of Arts degree in Economics 11 with a social science emphasis from Boise State University 12 in 2003. I also earned a minor in Geographic Information 13 Systems from Boise State University in the same timeframe. 14 I received a Master of Arts in Economics from Washington 15 State University in 2005. My Masters workemphas~zed Labor 16 Economics and Quanti tati ve Econometric Analysis. 17 Concurrent to pursuing my Masters degree, I functioned as 18 an instructor of Introductory and Intermediate Economics as 19 well as Labor Economics. , 20 22 21 Commission? Q.Would you describe your duties with the A.I was hired by the Commission in late 2005 as a 23 utilities analyst. As such, my duties revolve around 24 statistical and technical analysis of Company filings, 25 including cost/benefit analysis, resource evaluation, price 652CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 LANSPERY, B. (Di) 1 STAFF e e e 1 forecasting, and weather normalization methods. I have 2 participated in several general rate cases, focusing on 3 power supply, cost of service, and rate design. I have 4 also been , actively engaged in integrated resource planning, 5 DSM/energy efficiency program evaluation, and revenue 6 allocation issues. I completed the Practical Skills for 7 the Electric Industry held by New Mexico State University 8 in 2006, among numerous other conferences. 9 Q.What is the purpose of your testimony? 10 A.My testimony will address the rate spread Staff 11 proposes to utilize in distributing the recommendec; 3.91% 12 increase in electric revenue requirement. I will further 13 discuss Staff's position regarding base and PCA rates 14 wi thin Avista' s customer rate schedules. 15 Q.Could you please summarize your testimony? 16 A.Yes. Staff proposes an increase in Avista' s 17 electric revenues of 3.91%, or roughly $8.62 million, as 18 noted in Staff witness Vaughn's direct testimony. Given 19 Staff's concerns about viable cost of service results, as 20 discussed by Staff witness Hessing, Staff recommends the 21 increase be distributed uniformly among rate classes. 22 Furthermore, I recommend that the increase be collected 23 solely through the energy rate. I will also provide the 24 results of Staff's adjustment to the Company's proposed 5% 25 average reduction to the current PCA rate. CASE NOS. AVU-E-09-1/AVU-G-09-~3 OS/29/09 LASPERY, B. (Di) 2 STAFF e 1 Q.Are you sponsoring any exhibits in support of 2 your testimony? 3 A.Yes, Staff Exhibit No. 124, consisting of two 4 pages. 5 Q.What is the impact on electric residential rates 6 of spreading the Staff's proposed increase solely on 7 energy? 8 A.By leaving the basic monthly charge at the 9 current level of $4.60, a uniform 3.91% increase in 10 revenues results in a 4.04% increase in residential energy 11 rates. 12 Q.Why do you believe that the monthly basic charge e 13 for residential customers should remain at its current 14 level? 15 A.The Commission approved a 15% increase in the 16 monthly customer charge in the Company's last general rate 17 case (Case No. AVU-E-08-01). One of the drivers of that 18 case was the investment in advanced metering. It is 19 understood that the cost of the metering equipment will be 20 offset by reductions in meter reading and billing 21 expenditures, the components Staff traditionally believes 22 constitute the makeup of the customer charge. With low 23 levels of growth in residential customers and the minimal 24 role distribution costs play in this proceeding, I believe 25 the current basic charge adequately provides cost recovery e 654CASE NOS!. AVU-E-09-1/AVU-G- 09-1 OS/29/09 LASPERY, B. (Di) 3 STAFF e 1 for metering and billing expenses. 2 Q.Are there other reasons for not increasing the 3 residential basic charge? 4 A.Yes. Given Staff's position that the basic 5 charge covers meter reading and billing, there is little if 6 any rationale for having disparate customer charges on the 7 electric and natural gas bills. The basic charge for a 8 residential electric customer is already 60 cents greater 9 than the basic charge for a gas customer, and given Staff's 10 proposal on the gas side, I do not wish to further amplify 11 the difference: In fact, once Avista has had more adequate 12 ti~e to review its advanced metering system, Staff would 13 entertain discussions on whether the efficiencies of beinge14a dual electric-gas customer should be reflected in the 15 basic monthly charge. 16 Also ,placing the revenue increase on energy 17 rates still preserves the potion of price signaling. While 18 the proposed increase is relatively small, customers will 19 have an opportunity to respond if the increase is borne in 20 the energy rates rather than the customer charge. If the 21 Commission grants Staff's revenue requirement and Avista' s 22 proposal to increase the monthly basic charge to $5.00, a 23 disproportionate share (15%) of the increase will be 24 . co.llected through the fixed monthly charge. A rate 25 increase of nearly 10% would be required to justify raising e CASE NOS. AVU-E-09-1/AVU-G-09-~5 OS/29/09 LASPERY, B. (Di) 4 STAFF e 1 the basic charge to $5.00 if all billing determinants were 2 to be uniformly increased. 3 Q.will applying the rate increase only to energy 4 impede Avista's ability to collect its authorized fixed 5 costs? 6 A.Minimally at most. It is true that recouping 7 fixed costs through energy rates inherently places recovery 8 at risk. Staff's proposal though is modest, and customer 9 response, i. e. reduced consumption, presumably will be 10 negligible based on price elasticity studies. Moreove~, 11 Staff's proposal puts less cost recovery on the upper tier 12 than the Company's proposal. e 13 Q. Avista has proposed to increase the rate 14 differential between residential rate blocks to send a 15 price signal. Do you agree? 16 A.No, I do not. The Company proposes increasing 17 the differential between blocks from 13.2% to 14.6%, while 18 my proposal will keep the .differential at 13.2%. 19 Q.Does this run contrary to recent Commission 20 decisions regarding rate design and the promotion of 21 efficient energy use? 22 A.I do not believe so. Staff argued in the 2008 23 Idaho Power general rate case (Case No. IPC-E-08-10) that 24 effective rate design should rely on cost-based price 25 signals to promote efficient energy consumption. Avista is e CASE NOS. AVU-E-09-1/AVU-G-09~r6 OS/29/09 LASPERY, B . (Di) 5 STAFF e 1 in a much different situation than Idaho Power. First of 2 all, Avista has a significantly higher system load factor 3 that Idahò Power has, or in other words, Avista's system 4 doés not have the same "peakiness" Idaho Power's has (the 5 difference between Avista's highest and lowest demand by 6 month is 471 MW, as opposed to 1,130 MW for Idaho power) . 7 The resources that Avista relies on to serve its customers 8 are mostly coal-fired or hydroelectric, baseload resources, 9 and now with the proposed addition of the Lancaster 10 facility, intermediate load resources. Avista does not 11 rely on costly marginal resources to meet short durations 12 of extreme peak load as Idaho Power and Rocky Mountain e 13 Power must. The 'cost-based' aspect of sending price 14 signals is much weaker for .Avista when compared to Idaho 15 Power. 16 Secondly, as noted in my testimony from the 2008 17 Idaho Power general rate case, rates should not unduly 18 burden a subset of residential customers. The economic 19 climate in Northern Idaho is much worse than Southern 20 Idaho. As Staff witness Thaden states in his testimony, 21 Avista's service territory has the highest poverty level in 22 the state compared to the other regulated electric 23 utilities, and a disproportionate share of customers 24 receiving LIHEAP assistance. Nearly 60% of Avista 25 customers who received LIHEAP last season live in all e 657CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 LASPERY, B. (Di) 6 STAFF e e e 1 electric homes. At this time, I do not believe it is wise 2 to place the burden of the rate increase disproportionately 3 on the tail block for Avista. 4 Finally, we have no better load research data 5 than we dld one year ago. Accurate load data is the first 6 essential step to cost-based rate design. With the data 7 presumably available beginning in early 2010, I believe 8 that tinkering with rate design is premature at this point. 9 As a compromise, I believe recovering the approved revenue 10 increase through energy rates provides adequate cost 11 recovery and opportunities for energy efficiency practices 12 by customers. 13 Q. If the Commission approves a rate increase 14 greater than Staff i s proposal, would you still support 15 increasing only the energy charge? 16 A.Yes, to a point. I do believe that until the 17 load sampling data is available,. a uniform increase is 18 appropriate. As stated earlier, a rate increase of nearly 19 10% (8.7%) is necessary to warrant increasing the basic 20 charge to $5.00. Should- the Commission approve an increase 21 greater than or equal to 8.7%, I believe that all billing 22 determinants should be increased. That said, a moderate 23 increase in the basic charge may be warranted, but I would 24 not expect nor support a 25% increase in the basic charge 25 over a two-year period. CASE NOS. AVU-E-09-1/AVU-G-093t8 OS/29/09 LASPERY, B. (Di) 7 STAFF e 1 Q.Are you proposing that Staff's revenue increase 2 be spread only to energy for the remaining customer classes 3 as well? 4 A.Wi th the exception of the street and area 5 lighting schedules, yes, for virtually the same reasons as 6 outlined above. For street and area lighting (Schedules 41 7 through 49), Staff would support spreading the $11l,268 8 revenue increase in the manner described in Company witness 9 Hirschkorn' s direct testimony. 10 Q.Have you included Staff Exhibit No. 124 to 11 support your rate spread proposal? 12 A.Yes. In Staff Exhibit No. 124, Colqmn (b) 13 provides the current base, or tariff rates in place.e 14 Columns (c) and (d) present Staff's proposed increase in 15 rates in both percentage and nominal terms , respectively. 16 Column (e) presents Staff's calculated tariff rates based 17 on its recommended revenue increase. It is important to 18 note that this is not the billed rate as it does not 19 contain the other rate adjustments, such as the PCA and 20 Energy Efficiency Rider. 21 Q.Could you please explain the last two columns in 22 Staff Exhibit No. 124? 23 A.Yes. As Mr. Hessing describes in his direct 24 testimony, Staff proposes accepting the Company's proposal 25 to adjust the PCA surcharge rate, but prefers to adjust it e CASE NOS. AVU-E-09-1/AVU-G-09-~59 OS/29/09 LASPERY, B. (Di) 8 STAFF e 1 only to a level that offsets the average rate increase of 2 3.91%. Mr. Hessing has calculated the new PCA rate to be 3 0.3611 cents per kWh, or a reduction of 0.2489 cents per 4 kWh as shown in Column (f). Column (e) reports Staff's net 5 changes to rates per this case. The following table 6 summarizes the change in energy rates proposed by Staff: 7 8 Increase Change in Net Energy.Rt.PCARate Change Resid.(1 )4.04%(3.43%)0.61% Gen.Srvc.(11 )4.21%(3.01%)1. 20% Lg.Gen.Srvc.(21 )4.95%(4.47%)0.48% Ex.Lg.Gen.Srvc.(25 )4.64%(6.11%)(1.47%) Potlatch (25P)4.40%(6.41%)(2.01%) Pumping Srvc.( 31)3.98%(3.48%)0.50% 9 10 11 12 e 13 14 15 16 17 Under Staff's proposal, base energy rates would increase 18 between roughly 4% and 5%, which is mostly negated for the 19 near term by the PCA reduction. Not surprisingly, high 20 load factor customers would see a temporary decrease under 21 Staff's proposal. 22 Q.What is the impact of Staff's proposal to the 23 average Avista residential electric customer's bill? 24 A.The average electric customer who uses 982 kWh a 25 month currently sees a bill of $78.47, which includes all e CASE NOS. AVU-E-09-1/AVU-G-09-160 OS/29/09 LANSPERY, B. (Di) 9 STAFF e 1 rate adjustments.Staff's proposal would result in a bill 2 of $78.76,an increase of 29 cents. 3 Q.Do you propose any additional adj ustments to the 4 Company's rate design? 5 A.At this time,I do not. 6 Q.Does this conclude your direct testimony in this 7 proceeding? 8 A.Yes,it does. 9 10 11 12 13e14 15 16 17 18 19 20 21 22 23 24 25 e 661 (Di)CASE NOS.AVU-E- 09-1/AVU-G- 09 - I LASPERY,B.10OS/29/09 STAFF e e e 1 Q.Please state your name and address for the 2 record. 3 A.My name is MarilYn Parker. My business address 4 is 472 West Washington Street, Boise, Idaho. 5 Q.By whom are you employed and in what capacity? 6 A.I am employed by the Idaho Public Utilities 7 Commission as a Utilities Compliance Investigator. I 8 accepted that position with the Consumer Assistance Staff 9 in November 2002.l 10 Q.What is your educational and professional 11 background? 12 A.Prior to my employment with the Idaho Public 13 Utilities Commission, I had twenty years experience 14 working in private industry for three different utility 15 companies. In 1973 and 1974, I was employed by Central 16 Alaska Utilities, a water company in Anchorage, Alaska, as 17 the Executive Secretary to the President of the company. 18 From 1982 until 1987, I was employed as a Customer Service 19 Representative for Idaho Power Company in Salmon, Idaho. 20 From February 1989 until November 2002, I was employed by 21 Intermountain Gas Company in Customer Services. During my 22 last six years at Intermountain Gas, I supervised 23 representatives at the Customer Service Center's Emergency 24 Answering Service. 25 I received a Bachelor of Arts Degree in 662 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 1 STAFF e e e 1 2 University in Boise, Idaho in June of 2002. Management and Organizational Leadership from George Fox 3 In June 2003 and June 2006, I attended the 4 National Low Income Energy Consortium Annual Conference in 5 Sacramento, California and Washington, D.C., respectively. 6 8 7 Commission? Q.Have you previously testified before the 9 A.Yes, I have. Q.What is the purpose of your testimony in this J 10 proceeding? 11 A'.(1) summarizing the customeri will be: 12 comments received by the Idaho Public Utilities Commission 13 regarding this casei (2) discussing Consumer Assistance 14 Staff i s stance regarding the proposed increase to Avista' s 15 monthly customer charges for its residential electric and 16 gas customersi (3) reporting on Avista's customer 17 relations over the past five yearsi and, (4) reporting on 18 the mid-term status of Avista's pilot program regarding 19 its remote disconnections and reconnections. 20 Q.Please summarize your testimony and 21 recommendations to the Commission. 22 A.I reviewed the customer comments and found that 23 the number of comments received by the Commission in this 24 case had more than tripled the number of comments received 25 in the prior two Avista general rate cases. I note that 663 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 2 STAFF e e e 1 customers appeared in their comments to be more frustrated 2 and angry at the prospect of paying more for natural gas 3 and electricity than in the past. 4 I support Staff's recommendation of no increase 5 in customer charges. 6 I address a downward trend in Avista' s telephone 7 answering service level standards at its customer service 8 centers at the same time that complaints are increasing. 9 I recommend that Avista take steps to improve ~ 10 its telephone answering service level standards and report 11 to the Commission by December 2009 on how it plans to 12 accomplish this or why it should not be required to do so. 13 I identify technological advancements 14 implemented by the Company and how they have improved 15 customer service. 16 Finally, I reviewed Avista' s Remote 17 Disconnection and Reconnection Pilot Program and found 18 that it appears to be meeting its objectives. 19 Customer Comments Regarding the Proposed Rate Increase 20 Q.Have you reviewed the written customer comments 21 that have been received by the Commission regarding this 22 case? 23 A.Yes. As of May 21, 2009, 188 Avista customers 24 had submitted comments regarding the proposed increase in 25 Avista's gas and electric rates. The comments were mostly 664 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 3 STAFF from residential customers and a few small commercial customers who opposed any increase in rates. Q. How does this number of comments compare to prior Avista rate case customer comments? A. The number of comments is significantly higher i in fact, the number has more than tripled the number of comments received in the prior two general rate cases. In the 2008 case, 46 comments were received and in the 2004 case, 31 comments were received. Q. To what do you attribute the significant increase in customer comments? A. The economy, nationwide and globally; is in a downturn and nowhere is that more evident than in Avista' s service terri tory in northern Idaho. According to the Idaho Department of Labor, unemployment in many Idaho counties served by Avista has nearly doubled in the past year. Comments regarding this proposed rate increase have come from a broad spectrum of Avista customers, and many comments came from customers who said they had never commented on a rate case before. Because of the current economic situation, it comes as no surprise that customers feel frustrated and worried about how they will be able to afford any increase in their electric and natural gas rates. Staff witness Thaden discusses in greater detail 665 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 4 STAFF the current economic conditions in Avista's service terri tory in his testimony. He also provides some demographic statistics for northern Idaho. Q. Is there any evidence in the comments received by the Commission in this rate case that show economic times are more difficult now than in the past? A. In nearly all rate cases, the Commission receives letters or e-mails from customers stating they cannot afford any rate increases. However, in this rate ~ case, in addition to the dramatic increase in the number of comments to the Commission, many customers expressed not only frustration, but anger. Nearly half of the customers who sent in comments want the Commission to "just say no" to any rate increasesi and of those, another one-half said it will be the Commission's fault if customer's rates are increased. Nearly 40% of commenters voiced strong opposition to what the customers defined most often as exorbitant salaries of Avista's executives. Customers often believe that the rates they pay go primarily toward executive salaries. As shown in Staff witness English's testimony, one-fifth of one percent of Avista's Idaho natural gas rates and about one-third of one percent of Avista' s Idaho electric rates go toward executive salaries. The fundamental misunderstanding regarding executive salaries feeds customers' frustration. 666 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 5 STAFF e e e 1 Nearly one-fourth of those commenting mentioned 2 a recent article in local newspapers that stated Avista 3 had "record profits" last year and so those commenters 4 wondered why Avista would need a rate increase at this 5 time if it was already making "record profits." 6 Q.What are some of the other concerns mentioned by 7 cus tomers? 8 A.Commenters raised the same issues as have been 9 raised in prior rate cases. Many of those concerns were ~ 10 from low and fixed-income customers who see basic living 11 costs rising but their wages and/or social security income 12 benefits not keeping pace. The phrases "why doesn' t 13 Avista tighten their belts" and "enough is enough" were in 14 many of the comments. 15 Proposed Customer Charge Increase 16 Q.The Company has proposed to increase its fixed 17 monthly residential customer charges from $4.00 to $4.25 18 for gas customers and from $4.60 to $5.00 for electric 19 customers. Does Staff support this increase? 20 A.No. Staff believes there should be no increase 21 to gas or electric fixed monthly customer charges at this 22 time. Staff has consistently maintained that fixed costs 23 associated with meter reading and billing should be the 24 primary determinant of customer charges. Maj or changes 25 have been made in the way customers are billed and meters 667 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 6 STAFF e e e 1 are read over the past several years. With the 2 implementation of automated meter reading, for example, 3 meter reading costs will be reduced. Additionally, more 4 and more customers are choosing to receive their bills 5 online, thereby reducing postage and biii printing costs. 6 Another reason that Staff does not support an increase in 7 the fixed monthly customer charge is that Staff has 8 proposed a lower revenue requirement than Avista. Staff 9 prefers that any rate increases in this case be added to ~ 10 the energy charge rather than fixed charges to give 11 customers some control over the size of their bills. When 12 rate increases are added to fixed charges, the customer 13 has no control over that portion of their bill. For these 14 reasons, Staff believes an increase in fixed customer 15 charges is not warranted at this time. 16 Customer Relations 17 Forms 18 Q.As required by Utility Customer Information Rule 19 102, were Avista' s Customer Notice and Press Release 20 included with its Application? 21 A.Yes. The Company's Customer Notice and Press 22 Release were received on January 23, 2009, and were 23 reviewed by Staff at that time. They were deemed to meet 24 the requirements of the rule. 25 Q.Have Avista's forms required by the Utility 668 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 7 STAFF Customer Relations Rules (UCRR) (IDAPA 31.21.01) been reviewed for compliance? A. Yes, Avista's forms were reviewed and determined to meet the requirements of the UCRR. Call Center Telephone Answering Standards (often referred to as "service levels") Q. In 2004, Avista lowered its Call Center incoming telephone answering service level standard (the percentage of calls answered within a defined number of seconds) from ! answering 80% of calls within 30 seconds to answering 70% of calls within one minute. Staff expressed concern about that decision at that time and recommended that Avista reinstate its previous service level goal. Did Avista change its telephone answering service level standard? A. Yes, in January of 2005, Avista changed its goal to answer 80% of incoming customer calls within one minute. Q. Has Avista met this standard? A. Not in each year. In 2005, Avista's actual service level average for the year was 82.1% of incoming calls answered within one minute i in 2006 the average for the year was 79.9% within one minutei in 2007 the annual average was 80.7% within one minutei and, in 2008 the annual average dropped to 75.5% within one minute. Q. What is Avista' s current telephone service level 669 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 8 STAFF standard? A. Avista has not changed its standard since January of 2005, when it was set at answering 80% of calls within one minute. Q. Avista reported its actual telephone answering service level in December of 2008 as 66.10%, which is Avista's worst one-month service level in five years. What is the Company's explanation for this low service level?J A.The Company stated that in December of 2008 in the Coeur d' Alene area, 85 inches of snow fell in a two- week period. The heavy snowfall increased electric outage calls (twice as many as had been received in the prior December), and on some days, customer service representatives were not able to get to work due to the bad roads. The higher than expected incoming calls and many unavailable customer service representatives resulted in the negative impact on the service levels that month. Q. Does Staff have some concerns about Avista' s service levels over the past 5 years? A. Staff is concerned about the drop in Avista's annual average telephone answering service level in 2008 to 75.5%. Until now, Staff believed the Company was moving in the right direction. The significant drop in Avista's service level occurred in a year when Avista' s 670 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 9 STAFF number of complaints and inquiries to the Commission rose sharply. Q. Why are telephone service level standards important? A. Telephone service level standards measure the accessibility of a company to its customers. Staff expects regulated utility companies to handle customer disputes over the telephone, as well as answer customer questions, in a timely manner so that customers do not have to wait "on hold" for long periods of time. ¡ Q. What were Avista' s total number of complaints and inquiries during each of the past 5 years? A. In 2004, the Commission's Consumer Assistance Staff received 148 complaints and inquiries from Avista customersi in 2005, there were 139i in 2006 the number dropped to 128 i in 2007 the number dropped again to 119. That was a 20% decrease from 2004 to 2007. However, in 2008, Avista complaints and inquiries jumped to 175, a 46% increase over the prior year. See Exhibit No. 125. Q. Regarding complaints and inquiries registered at the Commission, how does Avista compare with other major regulated energy companies doing business in Idaho? A. Wi th the exception of one company, all the maj or energy companies had increases in the number of complaints and inquiries received by the Commission in 2008. See 671 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 10 STAFF e e e 1 Exhibit No. 126. On a per customer basis, Avista had the 2 highest number of complaints and inquiries. The maj ority, 3 66%, concerned credit and collection issues. 4 Q.Does Staff have any recommendations for Avista 5 in light of the customer service issues addressed above 6 regarding the Company's decreasing service level and 7 increasing complaints and inquiries? 8 A.Yes, Staff recommends that Avista take steps to 9 improve its service level and report to the Commission how ~ 10 it plans to accomplish this by December of 2009 or explain 11 why it should not be required to do so. 12 Avista's Technological Advancements 13 Q.Avista has made some significant investments in 14 technology in the last five years. What are some of those 15 investments and how has customer service benefited? 16 A.In Staff's opinion, two of the most significant 17 technological investments and improvements have been 18 "Mobile Dispatch" and "Outage Management." 19 The Mobile Dispatch system was implemented in 20 June of 2006 for the Company's natural gas service orders. 21 Mobile Dispatch allows the Company's natural gas service 22 department to operate in a nearly paperless environment. 23 Mobile Dispatch automatically dispatches work orders 24 directly to a laptop computer in the appropriate service 25 person's truck using wireless technology. When orders are 672 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 11 STAFF e 1 completed, that information is sent in real time back to 2 the office where customer service representatives have 3 immediate access to that information, giving them the 4 ability to monitor the status of work orders and respond 5 to customers' inquiries. With Mobile Dispatch, customer 6 service representatives do not need to call a dispatcher 7 to ascertain the status of an order, saving time for both 8 dispatchers and customer service representatives. Most 9 importantly, it provides timely information to customers.~ 10 Avista designed its own Outage Management Tool 11 (ONT) over a period of about six years. The system was 12 completed in December of 2004. The OMT allows the process e 13 of responding to outages to be conducted in a paperless 14 environment, saving literally thousands of pieces of paper 15 associated with one large scale outage and providing real 16 time information about the outage. The most important 17 benefit of this system is the ability to restore service 18 to customers more quickly. The Company stated that it 19 estimates the OMT system saves two to four hours each day 20 when restoring service on normal outages. On extended 21 outages related to major storms, the OMT saves on average 22 24 hours in restoration time, a reduction of up to 33% in 23 restoration time in some instances. 24 Both the Mobile Dispatch and Outage Management 25 systems are further enhanced by the use of Global e 673 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 12 STAFF e e e 1 Positioning technology (GPS). 2 Q.Mobile Dispatch is being used only for natural 3 gas orders. Does the Company plan to use this technology 4 for electric orders? 5 A.Yes. Although Mobile Dispatch is currently 6 being used solely for natural gas service orders, the 7 Company plans to implement the system for electric service 8 orders in 2010. 9 Is Avista's OMT connected to its InteractiveQ.~ 10 Voice Response (IVR) system? 11 A.Yes. In many instances, a customer may call to l2 report an outage to Avista and the IVR can automatically 13 associate the customer's telephone number with the 14 location of an outage. In that case, the customer would 15 hear a recorded message advising that Avista was aware of 16 the outage, the cause of the outage (if known), and an 17 estimated time of repair and restoration. One of the most 18 important benefits of the two systems being linked is the 19 ability of the Company to reduce the number of employees 20 needed to answer incoming telephone calls during outages. 2l It also eliminates the need to research each customer's 22 circumstances in order to provide an adequate response. 23 Improvements to Existing Technologies 24 Q.Over the past five years, has Avista upgraded 25 any of its existing technologies? And if so, what were 674 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 13 STAFF e e e 1 those improvements? 2 A.Yes. The Company redesigned its Website and 3 made improvements to i ts Interactive Voice Response (IVR) 4 system. 5 Website 6 One of the biggest enhancements to the Website 7 was the addition of the ability for customers to make 8 payment arrangements online. Customers also can start and 9 stop service and conduct almost any customer service 10 function without having to speak in person to a customer 11 service representative. Another feature added to the 12 Website was the ability of customers to sign up to receive 13 monthly billing statements via the Internet rather than 14 through the mail. Adding this ability dramatically 15 increased the number of customers who have opted to 16 receive online bills. In fact, in 2004 the Company 17 reported that less than 3,000 Idaho customers received 18 online bills. In 2009, the number of Idaho customers 19 receiving online bills had grown to 14,991. With nearly 20 15,000 customers opting to receive their bills online, the 21 annual dollar savings in postage alone is more than 22 $75,000. 23 Interactive Voice Response 24 The Interactive Voice Response (IVR) system has 25 further automated customer service functions for those 675 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 14 STAFF e e e 13 1 customers who were asking for the ability to handle more 2 transactio~s through automation wi thout being required to 3 talk to a customer service representative. Customers who 4 wish to speak with a customer service representative, 5 however, still have the ability to wait for a prompt that 6 will allow them to do so. 7 Q.What percentage of Avista' s total incoming 8 telephone calls is handled by. its IVR and how do those 9 percentages compare to the totals at the time of the last l 10 rate case? 11 A.The use of the IVR has increased since 2004. In 12 2004, 30% of incoming calls (408,721) were handled by the IVR compared with 43% (682,797) in 2008, indicating that 14 customers are gradually becoming more familiar and 15 comfortable with using an IVR system to accomplish many 16 transactions that were handled previously by customer 18 17 service representatives. Q.In 2008, a provision was added to Rule 203.03 of 19 the Utility Customer Relation Rules that states, 20 "Utilities shall implement procedures designed to monitor 21 and identify customers who may be billed under an 22 inappropriate tariff schedule." Has Avista implemented 24 23 procedures to be in compliance with this new provision? A.Yes. According to Avista, on the first of each 25 month, a report called "Rate Schedule Comparison" is 676 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 15 STAFF e e e 1 generated to identify customers who may be eligible for a 2 different rate schedule. If it is determined a change in 3 rate schedule is necessary, a letter is sent advising the 4 customer of that fact, giving the customer an opportunity 5 to call the Company and discuss the proposed change. The 6 customer is also given a brochure that shows how to 7 calculate and compare the customer's current rate versus 8 the new proposed rate. Additionally, a weekly report is 9 generated to review all newly-opened accounts for J 10 potential rate changes as well. 11 Remote Disconnects and Reconnects Pilot Program 12 Q.In July of 2008, the Commission authorized l3 Avista to implement an 18 -month pilot program for remote 14 disconnection and reconnection of customers. Order 30603, 15 Case AVU-E-07-09. In that case, Avista was ordered to 16 prepare a detailed report to the Commission at the end of 17 its pilot program. To date, how many remote devices has 18 Avista installed in Idaho? 19 A.Avista's Application proposed to install 20 approximately 600 devices. As of March 1, 2009, the 21 Company had installed 559 remote devices. 22 Q.What are some of the primary reasons the devices 23 were placed at residences of Avista's customers? 24 A.The majority of installations, 541, were for 25 credit and collection purposes. These devices were placed 677 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 16 STAFF e e e 1 on homes where a customer had at least two field 2 collection visits (see definition below) or disconnections 3 for non-payment in the preceding 12 months. The remaining 4 devices were placed at residences where meter access was 5 difficult or the occupant had animals that hampered access 6 to the meter by Avista employees. 7 Q.How many times has Avista used the devices since 8 implementation of the program? 9 Avista reported that as of March 2009, it hadA.l 10 used the devices 707 times for the purpose of 11 disconnecting and/or reconnecting service. 12 Q.What is a "field collection visit?" 13 A.A field collection visit takes place when a 14 Company representative goes to the premises of a 15 delinquent customer for the purpose of disconnecting 16 service due to non-payment of the account but service is 17 not actually disconnected. If an adult at the premises 18 pays the past due amount to the Avista employee at the 19 premises prior to being disconnected, the disconnection is 21 20 avoided. Q.Has Avista reported any problems with 23 22 installation or operation of the remote devices? A.Avista reports it has encountered minimal 24 problems and that productivity of employees has been 25 greatly improved where the devices are installed. Field 678 CASE NOS. AVU-E-09-1/AVU-G-09-l OS/29/09 PARKER, M. (Di) 17 STAPF e e - 1 2 as soon âs possible. personnel and management are eager to expand the program 3 Q.What kind of customer feedback has Avista 4 received from customers affected by the devices at their 6 5 residences? A.Avista reported that the majority of customers 7 have been pleased with the short turnaround time for 8 restoring service after their payment obligations were 9 10 met.,#. Q.Has the Commission received any complaints 11 regarding either installation or operation of the remote 12 devices? 13 A.Yes, the Commission has received one complaint 14 from a customer regarding a disconnection. Staff 15 concurred with the Company's action because there had been 16 5 field collection visits to that residence within the 18 17 past 12 months. 19 20 21 22 23 24 25 Q.Does this conclude your direct testimony? A.Yes it does. 679 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 PARKER, M. (Di) 18 STAFF , e e e 1 2 for the racord. Q.Please state your name and business address 3 A.My name is Curtis Thaden. My business address 4 is 472 West Washington Street, Boise, Idaho. 5 6 Q.By whom are you employed and in what capacity? A.I am employed by the Idaho Public Utilities 7 Commission as a Utili ties Compliance Investigator. I 8 accepted that position with the Consumer Assistance Staff 9 in July 2007. 10 Q.What is your professional and educational 11 background? 12 13 A.Prior to my employment with the Idaho Public 14 private industry for Hewlett Packard in a variety of Utilities Commission, I had 18 years experience working in 15 manufacturing positions which include Material Handler, 16 Administrative Assistant, Technical Product/Process 17 Specialist and Engineering Coordinator. In my position as 18 an Engineering Coordinator, I worked with engineering teams 19 to document and communicate, worldwide, the changes made to 20 products and manUfacturing processes. I received. an 2l Associate of Science Degree from Links School of Business 22 (now known as ITT Technical Institute) in Boise, Idaho, in 23 September of 1983. Additionally, I am a licensed real 24 estate agent in the State of Idaho. 25 680CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 1 STAFF e - - 1 Q.Have you previously testified before the 2 Commission? 3 4 A.Yes, I have. Q.What is the purpose of your testimony in this 5 proceeding? 6 A.i will be addressing the following: 7 (1) demographics of the 10 Idaho Counties in Avista's 9 to pay their bills i (3) programs offering financial 8 service territorYi (2) factors affecting customers' ability 10 assistance to Avista's Idaho customersi (4) programs, 11 payment plans and payment arrangements offered by Avista to 12 its customersi and (5) Low-Income Weatherization and other 13 14 Energy Efficiency Programs. Q.Please summarize your recommendations to the 15 Commission as discussed in your testimony. 16 Staff recommends that the Commission:A. 17 (1) direct Avista to confer with Staff to assess the 18 effectiveness of the Company's new payment plans and 19 identify ways to decrease the number of customer defaults 20 on payment arrangements ¡and 2) encourage the Company to 21 look for new and creative ways to increase energy 22 efficiency and provide assistance to customers, 23 particularly those customers who are economically 24 disadvantaged. 25 681 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 2 STAFF e e e 4 1 Demographics and Factors Affecting Bill Payment 2 Q.Has the Staff prepared a demographic profile 3 of Avista's service territory in Idaho? A.Yes. Exhibit No. 127 includes both 5 demographics obtained from the most recent Census Bureau 6 data and unemployment data obtained from the Idaho 7 Department of Labor for each of the counties served by 8 Avista. For comparison, this Exhibit also includes 9 statistics for the State of Idaho and the United States. 10 Exhibit No. 128 shows the 2009 Federal Poverty Level (FPL) 11 Guidelines. For purposes of Staff's analysis, income at or 12 below 100% of poverty was used. A map of the ten counties 13 served by Avista can be found in Exhibit No. 129. 14 In reviewing the data, what stands out asQ. 15 particularly noteworthy? 16 A.Unemployment is a particularly acute problem 17 in Avista' s service terri tory. Seven out of the ten 18 counties within the service territory exceed the April 2008 19 seasonally adjusted state average unemployment rate of 20 7.0%.1 Five of these seven counties (Benewah, Boundary, 2l Clearwater, Idaho and Shoshone) have unemployment rates 22 exceeding 9% and rank in the state's top eleven counties 23 wi th the highest unemployment. Four of these five counties 24 (Benewah, Boundary, Clearwater, and Shoshone) have double- 25 1 At the time this testimony was pre-filed in May 2009, the most recent forecast of unemployment data was from April 2009. 682 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 3 STAFF e e e 1 digit unemployment rates. 2 When comparing each county within the service 3 territory,' it is obvious that some counties are better off 4 than others. Kootenai County has the area's highest median 5 income and the lowest percentage of individuals living in 6 poverty (11.3%). In contrast, Shoshone County has the 7 area's lowest median income and the state's highest 8 percentage of individuals living in poverty (17.5%). 9 Nine of the ten counties (Benewah, Bonner, 10 Boundary, Clearwater, Idaho, Kootenai, Lewis, Nez Perce and 11 Shoshone) exceed the state average of persons over 65 years 12 of age (11.7%). This statistic is significant because the 13 elderly tend to have special needs and are often the most 14 vulnerable members of society. 15 Seven counties (Benewah, Bonner, Boundary, 16 Clearwa ter , Idaho, Latah, Shoshone) have high percentages 17 (over 14.7%) of individuals living at or below 100% of 18 Federal Poverty Level Guidelines. This exceeds the state 19 average of 12.1%. 20 With the exception of Latah County, these 21 counties also have high unemployment rates (over 8.9%) . 22 High unemployment rates coupled with the high poverty rates 23 suggest that these counties have a large percentage of 24 individuals who are challenged with paying for life's basic 25 683 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 4 STAFF e e e 1 needs. These individuals face high energy burdens. 2 2 In summary, the ten counties that comprise the 3 area that 'Avista serves have the state's highest average 4 unemployment rate (9.2%) and the state's highest average 5 poverty rate (l4.8%). 6 Q.Do the Federal Poverty Level Guidelines 7 reflect an accurate gauge of poverty in the United States 8 and Idaho? 9 A.Not necessarily. The 100% of poverty level is 10 regarded by social service organizations such as CAPAI 11 (Community Action Partnership Association of Idaho) as 12 underestimating what it costs to maintain a basic standard 13 of living. Realizing this, federal and state agencies 14 charged with the responsibility to protect human health and 15 welfare set household income eligibility limits for social 16 service programs at levels that exceed the Federal Poverty 17 Guideline's benchmark of 100% of poverty. 18 Avista's service territory has the highest 19 poverty level in the state when compared to other regulated 20 utility service areas. However, since the Federal Poverty 21 Guideline is regarded as an underestimation, the actual 22 number of those who live in poverty in Avista i s service 23 territory is even greater. 24 25 2 Energy Burden is the percentage of a household's income that is spent on all home energy expenses, which includes all energy used for space heating and cooling, lighting, and water heating. 684 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 5 STAFF e e e 1 An example of the underestimation of those 2 living in poverty can be seen by comparing the Federal 3 Poverty Level Guideline's (FPL) estimation of Idaho 4 households living in poverty to the state's LIHEAP (Low 5 Income Home Energy Assistance Program) estimation of those 6 living in poverty and eligible for financial assistance. 7 Under the FPL 44,000 households in Idaho are at or below 8 LOO% of poverty. Under Idaho's LIHEAP Program calculations 9 (which are based upon 150% of poverty), 101,000 households 10 qualify for benefits. The difference between these two 11 estimates is 57,000 households statewide. 12 13 14 Q.What conclusion can be drawn from these demographics? A.Customers who are living in poverty and/or are 15 unemployed have limited or diminished financial resources 16 with which to pay utility bills. Given the recent economic 17 turmoil, Staff believes that the Census data, although 18 somewhat stale, provides a fairly good picture of Avista' S 19 customers today. In fact, there is reason to believe, as 20 discussed below, that customers may be worse off in the 21 future. Staff is concerned that a significant number of 22 Avista' s customers will have problems paying their electric 23 and natural gas bills, especially when faced with 24 increasing rates. 25 Q.What do you see as the greatest threat that 685 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 6 STAFF e e e 1 could impact the ability of customers to pay their utility 2 bills? 3 A.As previously discussed, unemployment 4 continues to be a great concern. Current Idaho Department 5 of Labor data as of April 2009 ,shows a continued and 6 sustained upward trend in the state's unemployment rate, 7 which now stands at the highest level in twenty-one years 8 (7.0%). Exhibit No. 130 provides Department of Labor press 9 release excerpts (March and April 2009) pertaining to the 10 current trend in unemployment in both Idaho and the United 11 States. 12 An increase in the unemployment rate can lead 13 to an increase in the percentage of Avista customers who 14 fall below the Federal Poverty Level. As a result, more 15 strain will be placed upon agencies that provide financial 16 assistance for payment of utility bills. The number of 17 disconnections has the potential to increase as people 18 experience difficulty paying their bills. Even people who 19 were high wage earners can find themselves in a tight 20 financial situation following a layoff. Higher 21 unemployment, rising fuel costs and increasing food costs 22 are additional stresses that will have an impact on 23 people's finances. 24 Q.Do you see any other factors that might 25 inhibit a customer's ability to pay his/her utility bill? 686CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 7 STAFF e e e 1 The current housing crisis (record number ofA. 2 foreclosures) has placed additional pressure on households. 3 According to RealtyTrac, Inc., the nation's 4 largest online foreclosure marketplace, Idaho is now ranked 5 eighth out of the top ten states for having the highest 6 foreclosure rates in the country. One in every 147 housing 7 units received a foreclosure filing in the first quarter of 8 2009 (January - March 2009), up 15.56% from the previous 9 quarter (October - December 2008). In just one month, from 10 February 2009 to March 2009, the foreclosure rate increased 11 a. 90% (1,921 new filings) .3 Due to the steady rise in 12 unemployment, the pressure on homeowners to maintain 13 monthly mortgage payments will most likely increase 14 throughout the year. 15 Homeowners with ARs (Adj ustable Rate 16 Mortgages) that are unable to refinance their home due to 17 declining property values and/or job loss will be faced 18 with making a higher mortgage payment when their AR resets 19 in 2009. This could cause a severe hardship on individuals 20 who are already strapped with having to pay higher utility 21 costs. Low income households are not the only ones 22 impacted. This is an issue that impacts a diverse group of 23 wage earners. 24 In October 2008, a new federal program called 25 3 Regional foreclosure data specific to Avista's service area was not available. 687 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 8 STAFF e e e 1 UHope for Homeowners" (H4H) was authorized by the Housing 2 and Economic Recovery Act of 2008. The program targets 3 homeowners who are at risk of loan default and foreclosure. 4 Lenders are allowed to voluntarily refinance delinquent 5 mortgages by "writing down" the loan amount to 90% of a 6 home's newly appraised value. The new loan is backed by 7 the Federal Housing Administration (FHA) using current 8 fixed mortgage rates that will reduce the monthly mortgage 9 payment.4 10 Q.Has the number of customers who have been 11 disconnected for non-payment increased or decreased? 12 The number of Idaho Avista residentialA. 13 customers disconnected for non-payment has greatly 14 increased over the past four calendar years (2005-2008) 15 from 4,588 to 6,959. This represents a 5l% increase in the 16 number of disconnections. Traditionally, Avista's service 17 territory suffers from higher unemployment and poverty 18 rates. As the economic downturn continues and more 19 customers struggle financially, it is apparent that a 20 greater need to provide help for those needing financial 2l assistance exists within the community. This also, presents 22 an opportunity for Avista to address the issue of 23 24 25 4As of March 2009, though $300 billion was allocated for the new program, only one homeowner in the U.S. benefited. The major reason for the program's lack of success is that lenders consider the program too costly. Lenders prefer to either extend the term of the existing loan up to 40 years or allow for interest rate reductions (temporary or permanent). To date the program has been a failure. Source: CNoney..com, "Hope prevents i foreclosure", March 25, 2009. 688 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 9 STAFF - e - 1 disconnects due to non-payment by offering its customers 2 additional payment options, which will be discussed later. 3 When a residential customer is disconnectedQ. 4 for non-payment of their bill, does Avista require a 5 deposit to reestablish service? 6 A.Yes. For low income customers who have been 7 disconnected from service for non-payment, a deposit 8 requirement makes it more difficult for them to reestablish 9 service and further places them into debt. Staff believes 10 that the additional financial burden of a deposit 11 requirement causes a greater hardship for low income 12 customers and often presents a barrier to customers in 13 obtaining or retaining service. Allowing customers to make 14 installment payments on deposits over a period of time 15 longer than the current minimum of two months required by 16 the UCCR (Utility Customer Relation Rules) might prove 17 beneficial to the Company and affected customers. Taki~g 18 this approach may lessen the impact of an additional 19 financial burden placed upon customers. 20 Avista is currently working with Staff to 21 dèvelop a study regarding the impact and .effectiveness of 22 deposit collection. Avista offered to conduct a study in 23 its comments filed with the Commission in Case No. 24 GNR- U- 08 - 01, which addressed energy affordabili ty issues. 25 Once completed, the study can be used to evaluate deposit 689 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 10 STAFF e e e 1 policies. 2 Programs Offering Financial Assistance 3 Q.What resources are available to help customers 4 pay their 'energy bills? 5 A.LIHEAP (Low Income Home Energy Assistance 6 Program) is funded by the Federal government through a 7 grant to the State of Idaho. Unlike the situation in other 8 states, state government funding is not available in Idaho 9 to help customers pay energy bills at any time of year. 10 For the 2008/2009 heating season only, a one- 11 time increase in federal funding for LIHEAP occurredi 5 12 allowing for larger benefit amounts to be given to each 13 participant. In addition, eligibility guidelines changed 14 to allow for more households to participate in the LIHEAP 15 program. The level at which a household is eligible to 16 receive assistance changed from a maximum of 150% to 160% 17 of the Federal Poverty Level Guidelines. Because this was 18 a one-time funding increase added to the yearly grant, 19 Staff anticipates the total funding amount will probably 20 decrease for the next winter heating season, and the 21 previous eligibility requirement will be reinstated to l50% 23 22 of poverty level. 24 25 5 An increase in LIHEA Funding for this past winter heating was authorized on September 30, 2008, by HR 2638, The Consolidated Security, Disaster Assistance, and Continuing Appropriations Act, 2009.As a iresul t, funds available to state of Idaho this past winter heating season increased from $9,410,895 to $17,439,570. ú90 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 11 STAFF e e e 1 For the 2008-2009 winter heating season, 2 $2,830,660 in LIHEAP funding was distributed to 6,850 3 Avista customers in Idaho to help pay home heating bills. 4 The average amount paid to each participant was $413. The 5 table below reflects the number of Avista customers in 10 11 12 13 6 Idaho who received LIHEAP benefits and the average dollar 7 amount allocated during the last three heating seasons. 8 Regular LIHEA Funding 9 Program Year Funding #of Participants Avg.Benefit 2006/2007 $1,499,729 5,201 $288 2007/2008 $1,453,885 5,199 $280 2008/2009 $2,830,660 6,850 $4l3 14 sufficiently meet the energy needs of low income customers. Energy Assistance funding provided by LIHEAP does not 15 Therefore, Crisis Funding benefits are available to 16 customers whose circumstances qualify them for additional 17 financial assistance under the LIHEAP program. Money is 18 not always available for Crisis Funding. Even when funds 19 are available, the number of people who can be helped is 20 quite small. For the 2008-2009 winter heating season, 21 $76,014 in Crisis Funding benefits was distributed to 130 22 Avista customers in Idaho. The average amount paid to each 23 participating customer in 2007-2008 was $585. The table 24 below reflects the number of Avista customers in Idaho who 25 received LIHEAP Crisis Funding benefits and the average 691 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 12 STAFF e e e 1 dollar amount allocated during the last three heating 2 seasons. 3 Crisis LIBEA Funding 4 Program Year 5 2006/2007 6 2007/2008 7 2008/2009 Funding #of Participants Avg.Benefit $70,196 211 $336 ~78,747 177 $445 $76,014 130 $585 10 8 Q.Are there other programs in place that can 9 help Idaho customers? A.Yes. In Avista' s service terri tory, two CAP 11 Agencies (Community Action Partnership and Spokane 12 Neighborhood Action Programs) administer a program, Project 13 Share, which provides financial assistance. The program is 14 a fuel-blind fund, which means that monies are dispersed 15 towards payment of bills that are for any energy sources 16 (electric, natural gas, wood, coal, propane, kerosene and 17 oil). All money collected, with the exception of 18 administration costs, goes back to the community. 19 In the past three fiscal years (2006 - 2008), 20 Avista shareholders donated $200,425 to Proj ect Share for 21 Idahoi Avista customers in Idaho donated $210,919. Of the 22 total amount collected ($411,344), $41,134 of both the 23 shareholder and customer contribution (10% of funds 24 collected) was paid to the two CAP agencies for 25 administering the program. The table below reflects total 692 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 13 STAFF dollar amounts donated by Avista customers and its shareholders in the past three fiscal years. Fiscal Year Avista Customers Shareholders 2006 $73,355 $50,000 2007 $63,231 $100,425 2008 $74,333 $50,000 Q.In addition to customer and shareholder donations was any additional Project Share money provided to assist with heating costs in each of the past three fiscal years? A. Yes, an additional $250,444 was available. Therefore, during the past three fiscal years a total of $662,118 was provided to Idaho households served by Avista. Because Proj ect Share donations are pooled together from both Idaho and Washington, Idaho receives an assistance amount that is greater than the total amount that is donated by Idaho Avista customers and shareholders. The table below reflects the total dollar amounts paid to assist Idaho households with their heating costs. Fiscal Year Money Disbursed 2006 $182,104 2007 $305,700 2008 $174,314 Q. What efforts does Avista put forth to make the community and its customers aware of Project Share? 693 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 14 STAFF e e e 1 Avista publicizes Project Share through itsA. 2 website, newsletters, and monthly customer billings. 3 Avista is doing well marketing Proj ect Share and Staff 4 encourages the Company to continue promoting the program. 5 Programs, Payment Plans and Payment Arrangements 6 Q.What utility programs are in place to help 7 customers avoid being disconnected during the winter 8 months? 9 Besides LIHEAP and Project Share, the IdahoA. 10 Moratorium Program and Winter Payment Plan also address 11 this issue. 12 Idaho's Moratorium Program allows residential 13 customers whose household includes children, elderly or the 14 infirm to be protected from disconnection during the months 15 of December through February if they declare that they are 16 unable to pay their utility bill in full. However, 17 customers are not absolved of paying their utility debt. 18 The Winter Payment Plan allows customers who 19 have declared eligibility for the moratorium an additional 20 two months of protection (November and March) if they agree 21 to accept and follow-through on monthly payments during the 22 winter protection period that are equal to half of the 23 monthly average of the previous 12 months' billings. 24 A brochure entitled "Helpful Information About 25 Your Avista Utilities Account," with information on both 694 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 15 STAFF e 1 2 3 4 5 6 7 8 9 10 11 12 e 13 14 15 16 17 18 19 20 2l 22 23 24 25 e the Idaho . Moratorium Program and Winter Payment Plan, is sent to all residential customers annually. All customers that receive a Final Disconnection Notice during the months of November through February are made aware of the Idaho Moratorium Program and the Winter Payment Plan through a bill insert entitled "Winter Payment Plan, Moratorium Information. " For those customers who have declared eligibility for the moratorium, a brochure on the Winter Payment Plan is provided with the December, January and February payment reminder notices that are sent out. The intent of this brochure is to encourage these protected customers to pay a portion of their energy bills during the winter months. Both Customer Service Representatives and Field Personnel receive training on the options available to customers who are struggling to pay their energy bills. Avista adequately educates its customers on both the Idaho Moratorium Program and Winter Payment Plan. Q. Has the number of customers who have declared eligibility for the moratorium increased or decreased? A. The number of Avista customers in Idaho who declared eligibility for the moratorium during the 2008/2009 winter heating season totaled 2,188. This represents a 17% decrease in comparison to the previous winter heating season. The decrease in the number of those requesting winter protection could be attributed to more 695 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 16 STAFF e e e 13 1 people receiving financial assistance through the LIHEAP 2 program this past winter. As discussed earlier in my 3 testimony, more households received LIHEAP benefits, and 4 larger grant amounts were paid out to each LIHEAP 5 participant on average. 6 Therefore, Staff anticipates that the number 7 of individuals who declare eligibility for the moratorium 8 will increase next winter heating season. Exhibit No. 131 9 reflects the total number of moratorium participants in the 10 past three winter heating seasons. 11 Q.Has there been an effort by Avista to increase 12 the number of participants in the Winter Payment Plan? A.Of the 2,188 participants who declared 14 eligibility for the moratorium in the 2008/2009 winter 15 heating season, 54.1% elected to be placed on the Winter 16 Payment Plan. This is significantly higher than the 17 previous winter heating season, when only 14.3% of 18 moratorium participants had a Winter Payment Plan. The 19 increase could be attributed to Avista' s educational 20 efforts in providing information on the payment plan and 21 attempting to encourage customers protected from 22 disconnection to pay at least a minimal amount toward their 23 heating bills. Exhibit No. 131 reflects the total number 24 of plan participants in the last three winter heating 25 seasons. 696 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 17 STAFF e e - 1 Q.Have customers on the Winter Payment Plan been 2 able to successfully pay down their outstanding account 3 balances before the end of the winter protection period on 4 March 31? 5 A.Of the 1,184 participants who elected to be 6 placed on the Winter Payment Plan during the 2008/2009 7 winter heating season, 63% were not able to meet their 8 monthly payment. In the previous winter heating season, of 9 the 484 participants who elected to be placed on the Winter 10 Payment Plan, 80% were unable to meet their' monthly 11 payment. 12 While the decrease in the percentage of 13 defaul ts is encouraging, the percentage of defaults is 14 still high at 63%. Such high default percentages cause 15 concern about the effectiveness and success of the Winter 16 Payment Plan. 17 Q.Have the number of residential payment 18 arrangement agreements and defaultèd payment arrangement 20 19 agreements made on accounts increased or decreased? The number of Idaho Avista residentialA. 21 customers has steadily increased over the past four 22 calendar years (2005-2008) from 128,130 to 136,890. This 23 represents a 6.8% increase. During this time period the 24 number of payment arrangement agreements increased by 17% 25 and the number of defaulted payment arrangements increased 697 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 18 STAFF e e - 1 2 arrangement in a given month for an account and customers by 39 .8%. A customer can have more than one payment 3 can have more than one account. Because of this, a number 4 of payment arrangement agreements and payment arrangement 5 defaults do not. correlate to the actual number of 6 customers. This table shows the number of customers, 7 payment arrangements and payment arrangement defaults. 8 9 10 11 12 13 Year #of customers Arrangements Defauits %Defauits 2005 l28,130 63,003 28,600 45% 2006 130,396 66,700 30,600 46% 2007 133,508 67,881 31,318 46% 2008 136,890 73,768 39,994 47% Q.What can be done to help reduce the number of 14 customers who default on their payment arrangement 16 15 agreements? A.At this time, Staff is not sure why customers 17 are not meeting the terms of payment arrangements. It may 18 be that a more diligent effort by Avista to provide monthly 19 customer reminder calls would be beneficial, allowing the 20 Company to assess each customer's situation and reinforce 21 to each customer the importance of making the agreed upon 22 payment. However, it may be that customers are simply 23 agreeing to make payments in an amount and/or at a time 24 that is not feasible given their financial circumstances. 25 Whether customers are doing so because they feel they have 698 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 19 STAFF e e e 1 no choice but to agree to terms suggested by the Company, 2 are using ,payment arrangements as a means to defer 3 disconnection of service due to a lack of ability to budget 4 for expenses i or some other reason, more study is required 5 to determtne why so many arrangements result in default. 6 During the last four years the percentage of payment 7 arrangement defaults has remained relatively high, ranging 8 between 45% and 47%. Unless an effort is put forth by the 9 Company to address the reason as to why so many payment 10 arrangements end in default, the number will remain high. 11 Q.What new payment options have been implemented 12 by Avista to assist customers who have fallen behind on 13 their monthly payments and are struggling to pay down their 14 arrearages? 15 In March 2009, Avista added three new paymentA. 16 plan options (Budget Billing, Flexible Payment, and Bill 17 Plus), in addition to its existing payment plan offerings 18 outlined in Exhibit No. 132. A fourth plan (Pay Day) , 20 added that allows a customer to change the monthly billing 19 though technically not a payment arrangement, was also 21 due date. The Company realized the need for additional 22 bill payment options that offer more flexibility in meeting 23 the needs of its customers. A brief summary of each plan 24 can be found in Exhibit No. 133. 25 At this time, Staff believes that Avista's 699 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 20 STAFF e 1 2 3 4 5 6 7 8 9 10 11 12 e 13 14 15 16 17 18 19 20 21 22 23 24 25 e offering of additional bill payment options will benefit customers who are financially stressed, offering them a better opportunity to payoff past due balances. Staff also believes that these options could have a positive impact in helping reduce the amount of payment arrangement defaults. Staff recommends that Avista be directed to confer with Staff to assess the effectiveness of the new payment plans and identify ways to decrease defaults. Q. What new effort has Avista taken to educate its customers about the available programs intended to assist with paying their energy bills? A. In March 2009, Avista launched an advertising campaign in both Washington and Idaho to inform and educate its customers about the various assistance and bill payment options that are available (Exhibit No. 134). Radio and print ads direct customers to contact Avista so they can either talk to a customer service representative or access the Company's website. The media campaign ran from March 30, 2009 through May 22, 2009. Q. Has Avista implemented any programs in Idaho designed to assist senior citizens? A. Yes, Avista now offers Senior Energy Conservation Workshops. The program has been in place in Washington and was recently implemented in Idaho in the faii of 2008. Workshops are conducted at a variety of 700 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THADEN, C (Di) 21 STAFF different locations such as senior citizen centers, senior nutrition meal sites, and various other non-profit organizations. The goal of the workshops is to provide education on energy savings for seniors without reducing at-home comfort and safety. All workshop participants receive an "Every Little Bit" Energy Conservation Kit which contains compact fluorescent light bulbs, home weatherization supplies and energy saving tips. Avista began this program when it came to the Company's attention that seniors on fixed incomes tend to reduce their use of heat in order to cut monthly heating expenditures so that they are able to pay for medication and food. Unfortunately, due to the late implementation of the program in Idaho, a delay in materials not arriving for the workshops and the time constraints of the facilitators no workshops were conducted in Idaho in 2008. Q. What is the status of the Energy Conservation Education program that was approved by Order No. 30647 in Avista's previous rate case (AVU-E-08-01)? A. As part of the recent rate case settlement Avista agreed to support an Energy Conservation Education program in Idaho by providing $25,000 in annual funding through its DSM tariff rider. Avista's 2009 contract with Communi ty Action Partnership includes this funding amount, but the program has not yet been implemented. The 701 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 22 STAFF Community Action Partnership has recently hired a new employee, an Energy Education Specialist, to oversee the program that will begin later this year. The purpose of the program is to provide conservation education to LIHEAP participants. Q. Does Avista provide personalized customer service to those customers who have special needs? A. Yes. The Company has a Case Management Program called CAES (Customer Assistance Referral and Evaluation Services). The CAES staff is comprised of four - full-time specialized customer service representatives who assist customers with special needs (elderly or disabled) and/or hardships to gain access to both utility and non- utility resources. The assistance provided includes special payment arrangements, a personalized assessment of energy usage, advice on energy saving practices, utilizing energy efficiency programs, home weatherization, and referrals to other community agencies. The four CAES representatives handle about 4,000 customers living within the Company's service territory (Oregon, Washington and Idaho). CAES benefits both the customer and the Company by assisting the special needs person, which allows them to remain as a customer and also lowers the number of disconnects experienced by the Company that otherwise might have occurred. 702 CASE NOS. AVU-E-09-l/AVU-G-09-1 OS/29/09 THAEN, C (Di) 23 STAFF e e - 1 Low Income Weatherization and Energy Efficiency 2 Q.What other Avista programs are available to 3 assist low income customers? 4 A.Energy efficiency programs can make bills more 5 affordable by decreasing usage, thereby lowering energy 6 costs. The Low Income Weatherization Program offers 7 financial assistance to qualifying low income customers 8 with both natural gas and electrically-heated homes for 9 weatherization of their homes. A household whose income is 10 150% of poverty or less qualifies to receive weatherization 11 services i 160% was allowed this past winter heating season 12 due to an increase in federal funding. This program is 13 administered by the Community Action Partnership (CAP) 14 located within Avista's Idaho service territory. The total 15 number of dwellings weatherized in Idaho in 2008 was 101 at 16 a total cost of $351,000. This amount includes CAP 17 administration costs but does not include Avista' s 18 administrative costs. In Case No. AVU-E-08-01 the 19 Commission approved annual funding for low income 20 weatherization of $465,000. Funding for the low income 21 weatherization program comes from the Company's existing 22 DSM tariff riders. 23 Avista offers its Idaho customers additional 24 energy efficiency programs that are available to households 25 of all income levels. Such programs include: 1) Senior 703 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 24 STAFF e e e 1 Energy Conßervation Workshopsi 2) Energy Conservation 2 Education Programs for Childreni 3) High Efficiency 3 Equipment Incentives i 4) CFL Lighting i 5) Refrigerator 4 Recycling Programi 6) Conversion from Electric Straight 5 Resistance i 7) Energy Star Appliances i 8) New Construction 6 Energy Star Homes Programi 9) Multi-Family Energy 7 Efficiency Programi 10) Rooftop Dampersi and 11) Home 8 Energy Analyzer. 9 More detailed summaries of the programs can be 10 found in Exhibit No. 135. 11 Q.Does Avista adequately address the needs of 12 its customers through its various programs? 13 A.Although there is always more that can be 14 done, Avista' s programs do help customers in a variety of 15 different ways. 16 What efforts has Avista taken to addressQ. 17 energy affordability issues? 18 Avista actively participated in the energyA. 19 affordability workshops that took place in October 2008 in 20 Case No. GNR-U-08-01. Workshop participants explored ways 21 to address energy affordability and the inability of 22 customers to pay energy bills. 23 Avista also spearheaded efforts to enact 24 legislation during the 2009 Legislative Session that would 25 have allowed utilities to propose bill payment assistance 704CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 25 STAFF e 1 2 3 4 5 6 7 8 9 10 11 12 e 13 14 l5 16 17 18 19 20 21 22 23 24 25- programs for low-income customers. Currently, Avista funds a bill payment program called LIRAP (Low Income Rate Assistance Program) in both Oregon and Washington. The program assists low income customers with paying their energy bills and is administered in the same manner as LIHEAP (Low Income Heating Assistance Program). Q. will an increase in Avista' s rates affect customers' ability to pay their bills? A. Yes. As I have pointed out earlier in my testimony, there are many factors affecting customers' ability to pay, and a rate increase will add to the financial difficulties faced by customers. The Company will need to continue to be more flexible in making payment arrangements. It will need to work with the customers to ensure that payments can be made based upon schedules that fit the customers' circumstances and needs. . By implementing three new payment arrangement plans, the Company has shown a willingness to do so. Staff recommends that the Company be encouraged to look for new and creative ways to increase energy efficiency and provide assistance to customers, particularly those customers who are economically- disadvantaged. Q. Does this conclude your testimony? A. Yes, it does. 705 CASE NOS. AVU-E-09-1/AVU-G-09-1 OS/29/09 THAEN, C (Di) 26 STAFF e e e Q. Please state your name and business address. 2 A. My name,is Larry Crowley and my business address is 5549 South Cliffsedge 3 Avenue, Boise, Idaho 83716. 4 Q. By whom are you employed and in what capacìty? 5 A. I am the fóunder and Director of The Energy Strategies Institute, Inc., a 6 consulting company consisting of a network of experienced professionals wìth 7 diverse experience and interests, specializing in energy and utility matters. The 8 Institute is dedicated to developing and implementing practical solutions for 9 energy service providers and customers. The Institute provides regulatory and 10 lìtigation support, industry restructuring support including economic and financial 11 analysis, and business and organizational development analysis and 12 implementation support. The Institute also offers assistance and facilitation with 13 energy and utility strategic planning initiatives, resource planning studies, and 14 strategic, financial aiid feasibility studies for mergers and acquisitions and new 15 business development. Regulatory services include costing/pricing studies, 16 preparation of direct testimony and testifying in support of the studies provided. 17 The Institute offers regulatory expertise with the preparation of exhibits and 18 testimony for jurisdictional separation and revenue requirement studies, class cost 19 of service studies, unbundled cost studies, and rate design studies. Major clients 20 include the Idaho Forest Group, Grangevile, Idaho; The Washington Group 21 International, Boise, Idaho; Wisconsin Electric Power Company, Milwaukee, 22 Wisconsin; Duquesne Light Company, Pittsburgh, Pennsylvania; Montana- 23 Dakota Utilities, Bismarck, North Dakota; The US Departent of Energy, Office 706 Crowley, Di 1 Idaho Forest Group LLC e e e of Renewable Energy and Energy Efficiency, Washington, D.C.; The 2 Intematiop.al Energy Agency, Paris, France; and The World Ban, Washington, 3 DC. 4 Q. Please describe your educational background and professional experience. 5 A. I have a Bachelor of Science degree in Economics from the University of 6 Maryland, College Park, Maryland. My professional experience consists of over 7 30 years of senior-level positions with a number of electric or dual fuel utilities. 8 During that time, I testified as an expert witness before the Idaho Public Utilities 9 Commission, the Oregon Public Utilities Commission, the Nevada Public Service 10 Commission, the Colorado Public Utilities Commission, the Wisconsin Public 11 Utilities Commission, the Michigan Public Service Commission, the North 12 Dakota Public Service Commission, the Montana Public Service Commission, the 13 Texas Public Utility Commission, the Pennsylvania Public Utility Commission, 14 and the Federal Energy Regulatory Commission. A summary of my professional 15 experience is attached to this testimony as Exhibit 201. 16 Q. On whose behalf are you testifying in this proceeding? 17 A. I am testifying on behalf of the Idaho Forest Group (IFG), a Schedule 25 18 customer of Avista Utilities. 19 Q. Please describe IFG's operations in Avista's electric service area. 20 A. IFG operates a large lumber mill in Grangeville, Idaho. Through its predecessor 21 corporation, Bennett Forest Industries, it began its operation at the Grangevile 22 location in 1995, and expanded its facilities in 2005/2006. IFG currently employs 23 160 persons, making it the largest private employer in the Grangevile area, and 707 Crowley, Di 2 Idaho Forest Group LLC e e - consequently, IFG is an important contributor to the economy of Idaho County 2 and the surrounding area. For example, it purchases approximately 24,000 3 truckloads of logs per year from various state, federal and private landowners and 4 it provides approximately 6,500 truckloads of chips and sawdust per year to the 5 Clearater Pulp Mill in Lewiston, Idaho. In calendar year 2008, IFG purchased 6 almost 23,220,000 kWh of electric energy from Avista at a cost of almost 7 $1,084,000. 8 Q. What is the purpose of your testimony? 9 A. The purpo'se of my testimony is to recommend that a uniform percentage increase 10 (or decrease) be applied to any increase (or decrease) ultimately approved by the 11 Commission in this proceeding. 12 Q. Please explain your reasons for recommending a uniform percentage increase (or 13 decrease) in this proceeding. 14 A. The Company's last rate case was approved by the Commission in its Order No 15 30647 dated September 30,2008. The approved rates became effective on 16 October 1,2008. In its order, the Commission noted that "neither Avista nor Staff 17 believes major changes in rate design are waranted given the imprecise and dated 18 nature of the Company's cost of service studies." With the exceptions of 19 increasing the residential monthly basic charge from $4.00 to $4.60 per month 20 and the smaller percentage increase to Schedule 25P, all other "rate components 21 are (were) increased by a uniform percentage to generate the required revenue." 22 Q. Did Order No. 30647 provide further guidance to Avista regarding cost of 23 service? 708'Crowley, Di 3 Idaho Forest Group LLC e e e 1 A. Yes, the Order provides, "We direct the Company in its next general rate case to 2 provide updated load data as par of its COS study, or in the alternative, show 3 how the lack of such an update affect COS-based revenue allocations to customer 4 classes" (pg. 13). 5 Q. Has Avista fied more precise cost of service studies in this proceeding? 6 A. No. However, A vista has stated that it is in the process of developing or 7 acquiring updated class load data which wil allow it to prepare mOre precise class 8 cost of service studies in future rate cases. Until such time as the Company has 9 more precise or updated class load information, a uniform percentage increase (or 10 decrease) would maintain the current relative rate differentials among the 1 I Company's rate classes. 12 Q. How would the uniform percentage increase (or decrease) be applied in the 13 proceeding? 14 A. I am proposing that essentially the same approach the Commission approved in 15 the Company's last rate case be applied only without any exceptions previously i 6 noted. That would result in all rate components in all rate schedules being 17 increased (or decreased) by a uniform percentage adequate to generate the 18 required rèvenue in this proceeding. 19 Q. Does that conclude your testimony? 20 A. Yes it does. 7'Ö:9'Crowley, Di 4 Idaho Forest Group LLC e Q. 2 A. 3 4 Q. 5 A. 6 7 8 Q. 9 A. 10 ell 12 13 A. 14 Q. 15 A. 16 17 Q. 18 19 A. 20 21 22e PLEASE STATE YOUR NAME AND BUSINESS ADDRESS. My name is Dennis E. Peseau. My business address is Suite 250, 1500 Liberty Street, S.E., Salem, Oregon 97302. BY WHOM AND'IN WHAT CAPACITY ARE YOU EMPLOYED? I am President of Utilty Resources, Inc. (URI). URI has consulted on a number of economic, financial, and engineering matters for various private and public entities for more than twenty years. ARE YOU SPONSORING EXHIBITS IN THIS CASE? Yes, attached are Exhibits 301,302 and 303, which were prepared by me or under my supervision. Q.DOES EXHIBIT 301 ACCURATELY DESCRIBE YOUR BACKGROUND AND EXPERIENCE? Yes. HAVE YOU TESTIFIED PREVIOUSLY BEFORE THIS COMMISSION? Yes. I have testified before the Idaho Commission on numerous occasions since the early 1980's. WHAT IS THE PURPOSE OF YOUR DIRECT TESTIMONY IN THESE PROCEEDINGS? My testimony discusses two issues in Avista Corporation's ("Avista" or "the Company") cost of service study that are, in my opinion, incorrect and paricularly onerous to higher load factor customers including my client, Clearater Paper Corporation. I believe the issues I raise, and the corrections I propose, significantly improve the accuracy of 71'0 DIRECT TESTIMONY OF DENNIS E. PESEA li ON BEHALF OF CLEARWATER PAPER CORPORATION - i e 1 2 3 4 5 6 7 8 9 10 11 12 -13 14 15 16 17 18 19 20 21 - Avista's cost of service. for Clearater without materially modifying the Company's eventual allocation of costs to other customer classes. Q. WHAT is THE FIRST COST OF SERVICE ISSUE YOU RAISE IN THESE PROCEEDINGS? A. The first issue pertains to the classification of transmission costs. I provide a brief historical background with examples of transmission cost classification methods currently used by neighboring utilties, as well as the Federal Energy Regulatory Commission ("FERC") to argue transmission costs are incurred to meet Avista's winter and summer peak loads. As this Commission and many other regulatory bodies have recognized, transmission facilties are constructed primarily for meeting system peak loads and such costs therefore are properly classified as demand. A vista, however, allocates nearly two thirds of system transmission costs to energy. Q. WHAT IS THE PRACTICAL RESULT OF A VISTA'S CLASSIFICATION OF SIGNIFICANT TRANSMISSION COSTS TO ENERGY? A. The Company's classification method shifts high system costs it incurs to meet peak demands to off -peak periods. This resulUs prejudicial and unfair to high load factor customers such as Clearwater. It is also a terrible economic policy because customer rates under this method will be too low during peak periods, and too high during lower- cost, off-peak periods. The skewed rates wil promote more on-peak demand, leading to greater required generation, transmission and some distribution facilties, to the detriment of all A vista customers. 7'11' DIRECT TESTIMONY OF DENNIS E. PESEAU ON BEHALF OF CLEARWATER PAPER CORPORATION - 2 e 1 2 3 4 5 6 7 8 9 10 11 12 -13 14 15 16 17 18 19 20 21 22 23 -24 Q. PLEASE DESCRIBE YOUR PROPOSED CORRCTION TO A VISTA'S CLASSIFICATION OF TRANSMISSION COSTS. A. I recommend that i 00% of A vista's transmission costs be classified as demand related. This is the method routinely used by FERC for both A vista and Idaho Power, and it is the classification adopted by this Commission in the last Idaho Power rate case. Admittedly, there are cases in which a small portion ofa company's transmission costs are classified as energy costs for various reasons, but Avista's classification of 63.5% of such costs to energy is completely unprecedented in my experience. Q. DOES A VISTA ATTEMPT TO JUSTIFY THIS CLASSIFICATION IN ITS TESTIMONY? A. Not really. I think the classification simply is an unintended result of a misapplication of the "peak credit" cost of service study A vista uses. Q. BOTH YOU AND A VISTA WITNESS MS. TARA KNOX REFER TO THE "PEAK CREDIT METHOD." WHAT IS THIS? A. The peak credit method has a long history of use, but for generation costs only. The peak credit method was first developed by the National Economic Research Associates, Inc. ("NERA") in 1977 as par of a national effort to foster a sound U.S. energy pricing policy among the states. These efforts eventually formed the underpinning for costing and reporting requirements under the Public Utilty Regulatory Policies Act ("PURP A") of 1978. The point that I must emphasize in this regard is that the peak credit method pertains to, and is valid only for, generation facilities. The peak credit refers to the process by which the total capital costs of a generation plant are split, or "credited" into demand and energy classifications. In short, the capital costs of baselo~a generating plants, because they are 712 DIRECT TESTIMONY OF DENNIS E. PESEAU ON BEHALF OF CLEARWATER PAPER CORPORATION - 3 more efficient than a peaking plant, have a fuel savings component that is "credited" to energy, while the minimal capital costs associated with a combustion turbine ("peaker") are "credited" to demand. TO YOUR KNOWLEDGE, WAS THE PEAK CREDIT METHOD THAT AVISTA APPLIES TO BOTH GENERATION AND TRANSMISSION PLANT EVER INTENDED TO BE APPLIED TO TRANSMISSION PLANT? No. Unlike generating facilties, transmission facilities do not have a fuel savings component, and therefore, they have nothing logical to "credit" or classify to energy. The peak credit method originated by NERA was applied only to the classification of generation plant. Transmission plant was always classified to demand in the NERA 11 studies. A vista should reconsider this issue, and the Commission should use the 100% 12 -13 demand classification that it has adopted in all prior Idaho Power Company proceedings. Q.HAVE YOU MADE THESE RECOMMENDED CHANGES IN THE COMPANY 14 COST OF SERVICE MODEL? 15 A.Yes. My Exhibit 302 contains a three page summary of the outcome of changing 16 Avista's original base case by a reclassifying of transmission to 100% demand. 17 Q.HOW WOULD YOUR PROPOSED CHANGE TO A VISTA'S COST OF 18 SERVICE MODEL BE IMPLEMENTED? 19 A.The change from Avista's assumed 36.49/63.51 demand/energy split to 100% demand 20 simply requires the user to locate the "assign worksheet" in the Company cost of service 21 model and change Avista's transmission classification percentages to 0% energy, 100% 22 demand. e 713 DIRECT TESTIMONY OF DENNIS E. PESEAU ON BEHALF OF CLEARWATER PAPER CORPORATION - 4 e 1 2 3 4 5 6 7 8 9 10 11 12 13 14_15 16 17 18 19 20 21 22 23 24 25 26 27 28e Q. PLEASE SUMMARIZE THE RESULTS OF YOUR PROPOSED RECLASSIFICATION. A. The results are sunimarized in Table 1 below. In this table, each customer class's return contribution is compared to respective rates for the class. A so-called "retu ratio" is then computed for each customer class. If each customer class had rates in effect that exactly equaled its costs to serve, the return ratio would be unity (one). If a customer class's return index is greater than (less than) one, it is paying a rate higher than (lower than) its cost of service. CUSTOMER CLASS BASE CASE-RETURN INDEX* CLEARWATER RETURN INDEX ** Resid-Schedule 1 General Service 1 1 - 1 2 Large Gen Service 21-22 Extra Large Gen 25 Extra Large Potlatch 25P Pumping Service 31-32 Lighting Service 41-49 .85 1.48 1.26 .59 .73 1.43 .92 .82 1.44 1.27 .64 .84 1.47 .94 *36.~9% demand, 63.51% energy * * 100% demand, 0% energy Note that the changes in the retur ratios of all customer classes, with the exception of Clearater, are very smalL. However, this change in transmission classification has a fairly significant impact on the calculated return ratio of Clearater-an increase from .73 to .84. This overall result is expected, due to Clearwater's relatively level consumption throughout the year. Again, I regard my change of transmission classification as consistent with the way A vista plans its system. It improves cost allocation to reflect peak and off-peak seasonal cost differences, and attributes demand costs according to cost causation. The detailed results of this modification are provided in my Exhibit 302. iÍ4 DIRECT TESTIMONY OF DENNIS E. PESEA U ON BEHALF OF CLEARWATER PAPER CORPORATION - 5 _Q. PLEASE EXPLAIN YOUR SECOND ISSUE REGARDING TRANSMISSION 2 COSTS. 3 A. The second issue is very similar to the first issue I raised above. A vista's cost of service 4 study fuher misallocates peak season transmission costs to off-peak seasons by, in effect, 5 assuming that customer demands use transmission capacity equally in each and every 6 month of the year. Just as I argued that Avista's system planing of transmission facilties 7 8 9 10 11 Q. 12 -13 A. 14 15 16 is driven by its need to meet peak season (summer and winter) customer demands, this same principle calls for allocation of transmission costs to Avista's peak seasons. Failing to do so, as now is the case in Avista's cost of service study, again understates higher peak season costs. Therefore, peak rates are under priced, while off-season rates are overpriced. HOW DOES A VISTA'S COST OF SERVICE STUDY MISALLOCATE TRANSMISSON COSTS? Unlike most electric utilties, including Idaho Power for example, A vista implicitly assumes that lower customer demands in the off-peak fall and spring seasons impose "stress"-that is, capacity utilzation of its transmission facilties-equal to that in the high demand winter and summer seasons. This canot be justified in fact. 17 Q. HOW DO MOST OTHER UTILITIES PERFORM TRANSMISSION DEMAND 18 ALLOCATIONS? 19 A. Since the need for transmission facilities is driven by seasonal peak demands, peak 20 21 22 23 -24 demand months are easily identified, and as a result, costs are allocated predominantly (not always entirely) to these months. Consequently, summer and/or winter months logically show the highest costs of service. An ilustration of transmission costs being allocated to the peak season is the Commission- approved Idaho Power method of weighting its transmission costs according to "peak 715 DIRECT TESTIMONY OF DENNIS E. PESEAU ON BEHALF OF CLEARWATER PAPER CORPORATION - 6 _1 2 3 4 Q. 5 6 A. 7 8 deficiencies" of each month. Peak deficiencies occur overwhelmingly in the months of June, July and August on Idaho Power's system. Idaho Power, therefore, allocates all transmission costs to this summer season. DOES A VISTA'S SEASONAL PATTERN OF CUSTOMER PEAK DEMANDS FOLLOW THOSE EXPERIENCED IN IDAHO POWER'S SERVICE SYSTEM? No. To appropriately modify Avista's current twelve-month, equally-weighted method, one must recognize that A vista typically experiences both summer and winter month system peak demands. 9 Q. HOW DO YOU PROPOSE TO MODIFY AVISTA'S COST STUDY IN THIS 10 REGARD? 11 A. A vista experiences significant winter month peak demands in November, December, _12 13 14 15 Januar and Februar. The Company experiences significant summer month peak demands in June, July and August. Rather than allocate transmission costs to summer only as Idaho Power does, it is appropriate to spread Avista's transmission demand costs to both the four-month winter and the three-month summer seasons. 16 Q. HAVE YOU COMPLETED AN AVISTA COST OF SERVICE STUDY THAT 17 INCORPORATES BOTH OF YOUR RECOMMENDATIONS PERTAINING TO 18 THE RECLASSIFICATION AND REALLOCATION OF AVISTA'S 19 TRANSMISSION COSTS? 20 A. Yes. My Exhibit 303, consisting of three pages, sumarizes the results of such a study. 21 22 23_ As expected, the better allocation of transmission costs to the higher cost peak demand seasons shows that customers using power on a level, more effcient basis throughout the year receive more favorable (lower) allocations of transmission costs. 7Új" DIRECT TESTIMONY OF DENNIS E. PESEAU ON BEHALF OF CLEARWATER PAPER CORPORATION - 7 e Q. 2 A. 3 4 5 Q. 6 A. 7 8 9 10 11 Q. 12 A.e e WHAT is THE SPECIFIC FINDING FOR CLEARWATER IN THIS STUDY? Exhibit 302, which only reclassified transmission to 100% demand, produced a return ratio of .84 for Clearwater. Exhibit 303 shows a return ratio for Clearwater of .92, or very nearly unity (Ex. 303, Pg. 1 of 3, line 40, column (k). PLEASE SUMMARIZE YOUR CONCLUSIONS AND RECOMMENDATIONS. After correcting Avista's cost of service treatment of transmission costs, Clearater's relative rate of return is roughly equivalent to the average for all customer classes. Given the fact that there are stil problems with the reliabilty of Avista's underlying cost of service data, I recommend that any increase in Avista's rates that may be granted in this case be spread "across the board" to all customer classes. DOES THIS CONCLUDE YOUR DIRECT TESTIMONY? Yes. 7Í7 ;) DIRECT TESTIMONY OF DENNIS E. PESEAU ON BEHALF OF CLEARWATER PAPER CORPORATION - 8 e 1 I. INTRODUCTION 2 Q:Please state your name and business address. 3 A:My name is Teri Ottens. I am the Policy Director of the Community Action Parership 4 Association ofIdaho headquaered at 5400 W. Franlin, Suite G, Boise, Idaho, 83705. 5 Q:On whose behalf are you testifying in ths proceeding? 6 A:The Community Action Parership Association of Idaho ("CAPAI") Board of Directors 7 asked me to present the views of an expert on, and advocate for, low income customers 0 8 AVISTA. 9 Q:Please describe CAP AI's organzation and the fuctions it performs, relevant to its 10 involvement in this case. 11 A:CAPAI is an association of Idaho's six Community Action Parnerships, the Communitye12Council of Idaho and the Canyon County Organzation on Aging, Weatherization and 13 Human Services, all dedicated to promoting self-suffciency though removing the causes 14 and conditions of poverty in Idaho's communities. 15 Q:What are the Communty Action Parerships? 16 A:Communty Action Parnerships ("CAPs") are private, nonprofit organizations that fight 17 poverty. Each CAP has a designated service area. Combining all CAPS, every county in 18 Idaho is served. CAPS design their varous progras to meet the unique needs of 19 communities located within their respective service areas. Not every CAP provides all of 20 the following services, but all work with people to promote and support increased self- 21 suffciency. Programs provided by CAPS include: employment preparation and dispatch, 22 education assistance child care, emergency food, senior independence and support, 23 clothing, home weatherization, energy assistance, affordable housing, health care access,e 24 and much more. Q:H Ïì d b £ tho ... M.S d'?25 ave you testi ie e ore is Commission in 0 er procee ings. DIRECT TESTIMONY OF TERI OTTENS 2 e 1 A:Yes, I have testified on behalf of CAP AI in numerous cases involving PacifiCorp, Idaho 2 Power Company, AVISTA, and United Water. 3 II.SUMMARY 4 Q:Please sumarze your testimony in this case? 5 A:The purose of CAP AI's involvement in this case is to seek assurce from A VISTA that 6 it will take measures to support legislative action in the 2010 legislative session that will 7 eliminate any potential prohibition against allowing public electrc utilties to voluntaly 8 propose and, if approved by the Commission, implement low-income bil payment 9 assistance programs for the Company's low-income customers. 10 Q.Are there any exhibits to your testimony in this case? 11 A.No.e 12 III.RECOMMENDATIONS 13 A.Please briefly describe the history behind CAP AI's efforts to seek the necessar 14 legislative enactments to allow low-income bil payment assistace. 15 Q:By way of background, CAPAI has pursued changes to Idaho's Public Utilties Law for 16 several years that removes prohibitions that have long been perceived to prohibit public 17 utilties from implementing programs that assist their low-income customers in paying 18 their bils. 19 Q.What actions have CAP AI and other stakeholders taken to achieve CAP AI's objective in 20 this regard? 21 A.Most recently, on September 29,2008, the Commission implemented Case No. GNR-U- 22 08-01 to provide a foru for the exploration of issues related to the afordabilty of 23 energy in Idaho. The Commission noted that a varety of factors were, and continue to,e 24 contrbute to upward pressure on electric and natual gas rates in Idaho. Consequently, 71197 25 energy affordabilty has become a central issue for many Idaho households and DIRECT TESTIMONY OF TERI OTTENS 3 e 1 2 3 4 5 6 7 8 9 Q. 10 11 A.e 12 13 14 15 16 Q. 17 A. 18 19 20 21 Q. 22 23 A.e 24 25 businesses, paricularly for low-income customers. As a result of the Commission's initiation of Case No. GNR-U-08-01, workshops were conducted in which all ofIdaho's largest public utilities and numerous other stakeholders, including CAP AI, contrbuted their respective perspectives on the issue of energy affordability and how best to address the problems Idahoans face. Pursuat to Commission diective, the Commssion Sta ultimately prepared and submitted a report to the Commission identifying the many issues raised by workshop paricipants, the position taken by the paricipants, and Staff s specific recommendations regarding those issues. Was the possibility of pursuing legislative change to allow bil payment assistance addressed during the workshops and included in Staffs report? Yes. It is fair to say that bil payment assistance was one of the more thorougWy discussed issues and potential means for addressing energy affordabilty. Though not every workshop paricipant supported permitting bil payment assistance programs, Staf ultimately supported the idea, noting that it would require legislative action to remove the existing barer to implementing such programs. What is the "barer" you refer to? Curently, Idaho law prohibits utilties from setting rates or charges, or taing any action, tht is preferential to any paricular customer or class. Because bil payment assistace programs would provide assistace to utilities' low-income customers and, arguably, would be preferentiaL. Exactly what legislative changes do CAP AI propose be implemented in order to pave the way for bil payment assistance programs? CAP AI proposed legislation that would possess the following characteristics. First, the Idaho Public Utilties Law would be amended to allow utilties to voluntarly propose 7'2Ó~programs that would assist their low-income customers in paying their bils. Second, the DIRCT TESTIMONY OF TERI OITENS 4 design of any such proposed program would be within the discretion of the utilties. There would be no universal format or design and each utility would be allowed to desi programs that would best suit the needs of their respective companies and customers. Finally, any program proposed by a utilty would be subject to Commission approval following a proceeding that would permit all members of the public to comment on the proposed program. Would a program such as you have described provide system-wide benefits that would be reaped by all ofa utilty's customers and not just those who are low-income? Yes. Over the course of the past few years, CAP AI has been a pary to numerous cases before this Commission, including rate cases for A VISTA, Idaho Power, Rocky Mountain Power, and United Water. In the process of its involvement in these cases, CAP AI has demonstrated that Idaho's public utilities incur substantial expense when a customer is disconnected for inability to pay and/or is often delinquent in paying their bil. These costs are not always recovered from the customer who is disconnected or is delinquent and, thus, the costs are passed on to all ratepayers. These costs include, among others, the costs of disconnection and reconnection, costs incured in attempting to collect from customers who are delinquent, legal costs of puruing collection and, ultimately, costs of wrting off bad debt. What was the Commission's reaction to the idea of seeking legislative change that would permit such programs? The Commission supported the concept of bil payment assistace programs. In Order No. 30724, issued in Case No. GNR-U-08-01 the Commission stated that is "supports legislation that would allow utilties to propose for Commission consideration programs, policies, and rates for the benefit of low-income residential customers. The legislation 121: should allow the utilities flexibility in the programs to be proposed, recognizing that each DIRCT TESTIMONY OF TERI OTTENS 5 e 1 2 3 4 5 6 Q. 7 8 A. 9 10 Q. 11e12 A. 13 14 15 16 17 Q. 18 19 A. 20 21 22 23e24 Q. 25 utility has differing circumstances and unique service areas. Details regarding the appropriate rate mechansm to support such programs can be discussed though futue cases as they come before the Commission. The proposal of such progrs should be voluntar on the par of the utìlty. The Commission urges all utìlties to support such legislation, even if some do not intend to propose programs." Order No. 30724 at pp. 2-3. What action, if any, was ultimately taken to pursue change to the curent legislative regime to allow bil payment assistance? CAP AI drafted proposed legislation that contained the characteristics I have already described and that, CAPAI believes, conforms to the Commission's Order No. 30724.. Did A VISTA take a position on bil payment assistace and, if so, what was that position and did A VISTA take any action in support of that position? Durng the workshops conducted in Case No. GNR-U-08-01, AVISTA expressed support for the general concept of bil payment assistance programs noting that it already has such a program in place in the State of Washington which permits these programs. In fact, low-income assistance programs can be found in the States of Oregon, Uta, Montaa and Wyoming as well as many other States thoughout the country. Did A VISTA offer a rationale other than solely assisting its low-income customers in support of bil payment assistace programs? Yes. A VISTA generally expressed its belief that such programs are beneficial from a purely business standpoint and, therefore, benefit all of the Company's customers. Ths rationale is based, in par, on avoiding the costs I referred to earlier regarding disconnections/reconnections of customers and having customers who are chronically delinquent in paying their bils. What action did AVISTA ultimately take in support of bil payment assistace? 7i2' DIRECT TESTIMONY OF TERI OTTENS The Company lobbied in support of a low-income bil that was introduced in the Idaho Senate. Although the bil failed to pass on the Senate floor by a single vote, A VISTA made a genuine and commendable effort to seek its passage. If A VISTA supported bil payment assistace legislation in the most recent legislative session, what does CAP AI seek in this proceeding? CAP AI seeks a commitment from A VISTA that it will continue to tae all reasonable steps to seek the ultimate passage of bil payment assistace legislation. CAP AI urges A VISTA to commit not only to passively supporting legislation, but to assist in the education and awareness of all interested paries regarding how and why bil payment assistace programs offer more than assistance to exclusively low-income customers but also reduce system costs resulting in lower overall rates for all customers. CAP AI also seeks a commitment from A VISTA that if bil payment assistace legislation is introduced in the 2010 legislative session, A VISTA will lobby in support of the legislation as it did in the 2009 session. Does this conclude your testimony? Yes, it does. 723 DIRECT TESTIMONY OF TERI OTTENS 7 .1 2 I. INTRODUCTION Q. , Please state your name, employer and business 3 address. 4 A.My name is Kelly o. Norwood and I am employed as 5 the Vice-President of State and Federal Regulation for 6 Avista utilities ("Company" or "Avista"), at 1411 East 7 Mission Avenue, Spokane, Washington. 8 Q.Would you briefly describe your educational 9 background and professional experience? 10 A.Yes. I am a graduate of Eastern Washington 11 University with a Bachelor of Arts Degree in Business Administration, majoring in Accounting.I joined the . 12 13 14 Company in June of 1981.Over the pas t 28 years, I have spent approximately 17 years in the Rates Department with involvement in cost of service,rate design,revenue15 16 requirements and other aspects of ratemaking.I spent 17 approximately 11 years in the Energy Resources Department 18 (power supply and natural gas supply) in a variety of roles, 19 wi th involvement in resource planning, system operations, 20 resource analysis, negotiation of power contracts, and risk 21 management.I was appointed Vice-President of State & 22 Federal Regulation in March 2002. 23 Q.What is the scope of your pre-filed testimony in 24 this proceeding? . 724/Norwood, Di 1 Avista Corporation .1 2 A. The purpose of my testimony is to describe and support the Stipulation and Settlement ("Stipulation") , 3 filed on June 16, 2009 between the Staff of the Idaho Public 4 Utilities Commission ("Staff"), Clearwater Paper Corporation 5 ("Clearwater"), Idaho Forest Group, LLC ("Idaho Forest"), 6 the Community Action Partnership Association of idaho 7 ("CAPAI"), the Idaho Community Action Network ("ICAN"), the 8 Idaho Conservation League ("Conservation League"), and the 9 Company, which, if approved by the Commission, would resolve 10 all of the issues in the Company's filing.These entities 11 are collectively referred to as the "Parties," and represent 12 all parties in the above-referenced cases. .13 14 The Stipulation is the product of settlement discussions held in the Commission offices on June 5, 2009, 15 which was attended by representatives of all Parties, with 16 the exception of the Conservation League.The Stipulation 17 between the Parties resolved all issues associated with the 18 calculation of the Company's requested cost of capital, 19 including capital structure and cost components,and 20 resolved all revenue requirement, rate spread and rate 21 design issues. 22 The Stipulation represents a compromise among differing 23 points of view.Concessions were made by all Parties to 24 reach a balancing of interests. As will be explained in the 25 following testimony, the Stipulation represents a fair, just. 725.Norwood, Di 2 Avista Corporation .1 and reasonable compromise of the issues and is in the public 2 3 4 interest. Q.Are you sponsoring any exhibits? A.Yes.I am sponsoring Exhibit No.1, which 5 consists of a spreadsheet that shows the proposed electric 6 changes in rates/revenues by service schedule. 7 Q.Please explain how the Parties arrived at the 8 Stipulation in this proceeding. 9 A.The Stipulation is the end result of extensive 10 audi t work conducted through the discovery process and hard 11 bargaining by all Parties in this proceeding.i would like 12 to express my appreciation to all Parties involved in this .13 14 proceeding for their efforts in arriving at this Stipulation and to this Commission for your willingness to 15 hear this matter promptly, in light of the proposed Augut 1 16 effective date. 17 18 Q.Would you briefly sumrize the Stipulation? A.Yes. Under the terms of the settlement agreement, 19 Avista will be allowed to implement revised tariff schedules 20 designed to recover $12,548,000 in additional annual 21 electric revenue, which represents a 5.70% increase in 22 electric annual base tariff revenues.Offsetting the 23 electric increase will be an overaii 4.2% decrease in the 24 current Power Cost Adjustment (PGA) surcharge. As a result 25 of the two adjustments, a residential customer using an. "/26 Norwood, Di 3 Avista Corporation .1 average of 982 kilowatt hours per month would see a $1.50, 2 or 1.9% I" increase per month for a revised monthly bill of 3 $79.97. 4 Included in the rates are relicensing costs for the 5 company'.s Spokane River hydropower projects.The parties 6 had agreed in the Stipulation that if Avista received 7 approval from the Federal Energy Regulatory Commission 8 (FERC) for the relicensing of its Spokane River hydropower 9 proj ects before July 22nd, the relicensing costs would be 10 included in the electric rate . 1increase.Avista received 11 FERC approval of the license on June 18,2009. 12 Avista will also be allowed to implement revised tariff 13 schedules designed to recover $1,939,000 in additional.14 annual natural gas revenue, which represents a 2.11% 15 increase in natural gas annual base tariff revenues. 16 Offsetting the natural gas rate increase for residential 17 customers will be an equivalent PGA decrease. As a result, 18 a residential customer using an average of 65 therms per 19 month would see no change in their $78.23 per month bill. 20 Other customer classes, except transportation customers, 21 will also see an offsetting PGA rate decrease. 22 In determining these revenue increases, the Parties 23 have agreed to various adjustments to the Company's filing, 1 The Stipulation includes information and data in the event that FERC did not issue the license prior to July 22od.. 727 Norwood, Di 4 Avista Corporation .1 2 which are sumarized in the Stipulation, and described further below in testimony. 3 The Stipulation calls for an overall rate of return of 4 8.55%, determined using a capital structure consisting of 5 50% common stock equity and 50% long-term debt,an 6 authorized return on equity of 10.50% and the cost of debt 7 of 6.60%. 8 The Stipulation also addresses accounting treatment of 9 the Spokane River Relicensing costs and I will provide 10 detail later in my testimony. 11 As part of the Stipulation, the funding level of the 12 existing low-income Demand Side Management programs and the .13 14 15 16 . funding to assist low-income outreach and education concerning conservation will continue. II. HISTORY OF FILING Q.Please describe the Company's general rate case 17 request, as filed. 18 On January 23, 2009, Avista filed an ApplicationA. 19 wi th the Commission for authority to increase revenue from 20 electric and natural gas service in Idaho by 12.8% and 3.0%, 21 respectively.If approved, the Company's revenues for 22 electric base retail rates would have increased by $3 i. 2 23 million annuallYi Company revenues for natural gas service 24 would have increased by $2.7 million annually.Coincident 25 with the effective date of new electric retail rates from 728 Norwood, Di 5 Avista Corporation .1 this general rate case filing, Avista proposed a reduction 2 in the current Power Cost Adjustment (PCA) surcharge of 3 5.0%. 4 The, Company proposed to spread the electric revenue 5 increase by rate schedule on a basis which: 1) moved the 6 rates for nearly all the schedules closer to the cost of 7 providing service, and 2) resul ted in a reasonable range in 8 the (net) proposed percentage increase across the schedules. 9 The PCA surcharge was applied on a uniform cents per kwh 10 basis across all schedules and resulted in a different 11 percentage increase by schedule depending on the level of 12 base tariff rates ¡revenue.By including the proposed 13 decrease in the current PCA surcharge during 2009, an.14 opportunity was presented to move base tariff rates closer 15 to the cost of providing service. The Company also proposed 16 to raise the monthly electric residential basic charge to 17 $5.00 from the current $4.60 charge. 18 The Company proposed utilizing the results of the 19 natural gas cost of service study, sponsored by Company 20 wi tness Knox, as a guide in spreading the overall revenue 21 increase to its natural gas service schedules and proposed 22 to raise the natural gas residential basic charge to $4.25 23 from the current $4.00. 24 Q.Wht are the primary factors causing the Company's 25 request for an electric rate increase in this filing?. 729 :Norwood, Di 6 Avista Corporation .1 A. This case is about more than just year-over-year 2 changes . in utility operating costs, such as power costs, 3 fuel, materials and supplies, and labor.We are also 4 investing large amounts of capital to preserve and upgrade 5 our existing utility infrastructure to meet growing customer 6 demand. We are also continuing to experience major cost 7 impacts related to meeting new reliability standards, 8 environmental compliance, and litigation related to the 9 preservation of what have historically been our low-cost 10 resources we have used for decades to serve our customers, 11 as explained in the Company's original filing. 12 Q.What are the primary factors driving the Company's 13 request for a natural gas rate increase?.14 A.The Company's natural gas request is primarily 15 driven by changes in various operating cost components, 16 mainly distribution operation and maintenance and 17 administrative and general expenditures.This causes an 18 increase in the ownership and operating costs of providing 19 natural gas service to customers. 20 III. RE REQUIRE ELEMNTS OF THE STIPULATION 21 Q.Please explain the derivation of the Electric and 22 Natural Gas Revenue Requirements outlined in the 23 Stipulation. 24 A.The Parties agreed that Avista will reduce its 25 electric revenue increase request to reflect the adjustments . 130 Norwood, Di 7 Avista Corporation .1 shown on the table on Page 1 of Appendix 1 to the 2 3 Stipulation. While Avista's filing requested an electric revenue requirement increase of $31.233 million,the 4 adjustments, including the agreed-upon rate of return, 5 reduce this amount by $18.685 million, resulting in a 6 recommended electric revenue requirement increase of $12.548 7 million. 8 Similarly, as shown on the table on Page 6 to the 9 Stipulation, while the Company requested a natural gas 10 revenue requirement increase of $2.74 million, the agreed- 11 upon adjustments serve to reduce this amount by $.801 12 million, resulting in a recommended natural gas revenue 13 requirement increase of $1.939 million..14 As can be seen by a quick review of the individual line 15 descriptions,the adjustments accepted for settlement 16 purposes cover a broad range of revenue and cost categories, 17 including the authorized rate of return.The individual 18 adjustments should not be viewed in isolationi rather, they 19 should be viewed in total as part of the entire Stipulation, 20 and are the resul t of hard bargaining and compromise. 21 Q.Please explain the parties' agreement in regards 22 to an Authorized Rate of Return, including the Return on 23 Equity. 24 A.The Parties have agreed to a revenue requirement 25 which produces an overall rate of return of 8.55%, based on . 731 Norwood, Di 8 Avista Corporation .1 a return on equity of 10.5% and an equity component at 50%. 2 By comparison, the Company's original filing requested an 3 overall ~ate of return of 8.80%, a return on equity of 11.0% 4 and an equity component of 50%.The cost of debt of 6.60% 5 and long-term debt component of 50% included in the original 6 filing was agreed to in the Stipulation. 7 Q.What is the proposed effective date of the 8 Stipulation? 9 A.The Parties have requested implementation of the 10 Stipulation on August 1, 2009. This proposed effective date 11 is an integral part of the Stipulation that was part of the 12 negotiated resolution of all of the issues. .13 14 15 Q.Please explain the accounting treatment related to the Spokane River Relicensing costs. A.Given the fact that FERC issued the license on 16 June 18, 2009, the Parties have agreed to include costs 17 associated with relicensing through December 31, 2009.The 18 parties agree that the costs included in the Company's 19 filing associated with the relicensing of the Company's 20 hydroelectric proj ects on the Spokane Ri ver are deemed 21 prudent and recoverable subj ect to an audit review of the 22 final costs. In this case these costs should be included as 23 part of the base rate increase. The capital costs that were 24 pro formed were revised for estimated costs through June 30, 25 2009.In addition, the annual Protection, Mitigation and . 732 Norwood, Di 9 Avista Corporation .1 2 Enhancement (PM&E) costs that were pro formed in the Company's filing have been revised to remove all 2010 costs 3 and revised to include annual 2009 labor costs that were not 4 otherwise reflected in the original filing.The net effect 5 of these revisions is a reduction to revenue requirement for 6 PM&E coats of $263,000. All PM&E costs incurred during the 7 six months ended June 30, 2010, will be deferred with a 8 carrying charge for subsequent recovery in rates, as part of 9 the Company's next general rate case.The annual carrying 10 charge shall be the then-current customer deposit rate. 11 Q.Please provide an overview of the revenue 12 requirement adjustments agreed to by the Parties. .13 14 A.A numer of the adjustments were standard-type adjustments that adjusted estimates to actual amounts.A 15 description of other adjustments follows: 16 (a.) Power Supply.The power supply adjustment 17 proposed by the Company in the original filing was adjusted 18 for the following: 19 20 21 22 (i. )To adopt Staff's position to remove short-term contracts already entered into for the pro forma period, reflecting an approximate reduction in revenue requirement of $6.8 million. These costs will 23 24 be recovered through the PCA, subject to the 90/10 percent sharing. . 733 Norwood, Di 10 Avista Corporation .1 2 3 (ii. ) To Use a one-month average natural gas price as proposed by Staff but for a more current period of May 1 through May 31, 2009 of $4. 79/Dth, as 4 5 6 7 compared to the cost of $7.67 /Dth, for the unhedged portion of the generation, reflecting an approximate reduction in revenue requirement of $7.1 million. (b.) Executive Compensation and Incentives. 8 Subsequent to the filing of this case, the executives of 9 Avista agreed to forego any increases in base salary in 10 2009. Due to this, the Parties agreed to remove all of the 11 2009 proposed salary increases for executive labor to 12 reflect this decision, and to remove the estimated increases for 2010.Also, the base salaries of all executives as of.13 14 15 March 31, 2009, were annualized to reflect a full twelve months of their current pay.In addition, all executive 16 incentives included in the Company's test period were 17 removed. 18 Staff witness Mr. English described Staff's approach in 19 analyzing the reasonableness of the executive compensation 20 package and its impact on residential customer rates. Staff 21 concluded that the level of executive salaries included in 22 the current case is comparable to the level approved in the 23 previous general rate case.Staff also concluded that 24 Avista's executive salaries, when compared to other utility 25 providers of comparable size, are paid below the average for. 734 Norwood, Di 11 Avista Corporation .1 2 3 the management of a business with $1.5 billion annual revenue. (c.) Remove 2010 Costs. - In the original filing, the 4 Company 'pro formed several costs to the level of expense 5 that the Company expects during the rate year (July 1, 2009 6 through June 30, 2010), including Colstrip Mercury Emissions 7 annual Protection,Mitigation and Enhancementcosts, 8 (PM&E) costs required with the FERC Spokane River License, 9 and Generation O&M costs.The Company agreed to adopt 10 Staff's proposal to include only 2009 costs and exclude the 11 2010 expense level pro formed by the Company. . 12 13 14 Avista utilities has(d.) Efficiency Gains. undertaken numer of improvements and efficiencya initiatives throughout our service area that are focused on 15 either increasing customer service and satisfaction, or 16 increasing productivity and reducing operating costs.The 17 Integrated Voice Response System, the Outage Management 20 . 18 System, and the Mobile Dispatch Program are a few of these 19 programs that are detailed further in Company witness Mr. Kopczynski's direct testimony.We believe these measures 21 have served to mitigate the impact on customers of the 22 proposed rate increase. The Company agreed to adopt Staff's 23 proposal to reflect certain reductions to costs for 24 efficiency gains from implementing new Information Systems 25 procedures and Asset Management Program procedures. 735 Norwood, Di 12 Avista Corporation .1 ( e .) Mi scel laneous Cos ts . - The Company adopted, for 2 settlement purposes, Staff's proposal to remove various 3 administrative and general costs,including 4 dues/sponsorships ($70,000 electric / $11,000 natural gas), 5 50% of Board of Director expenses ($151,000 electric / 6 $37,000 natural gas), non-recurring costs for the design of 7 the Ross Court building ($138,000 electric), and certain 8 non-recurring legal expenses ($12,000 electric I $23,000 9 natural gas) . 10 iv. OTHER ELEMNTS OF THE STIPULATION 11 Q.Please explain the settlement terms relating to 12 the recovery of Lancaster costs. .13 14 A.The Lancaster power plant is a 275 MW gas-fired combined cycle combustion turbine located in Rathdrum, 15 Idaho. Avista Utilities will purchase all of the output of 16 the plant through 2026.The Company reques ted the recovery 17 of the costs associated with the Lancaster Tolling Agreement 18 through the PCA.Staff has reviewed the purchase of the 19 output from Lancaster and has found it reasonable, and has 20 agreed to the recovery of these costs through the PCA, with 21 full recovery of the fixed costs2, but with the variable 22 fuel costs subject to the 90/10 sharing under the PCA. 2 As noted in Staff witness Hessing's pre-filed testimony, fied power supply costs are normally included in base rates for full recovery in a general rate case once these costs have been found to have been prudently incured. (Hessing Direct, at p. 11, lines 4-16). 73'6 Norwood, Di 13 Avista Corporation .1 2 3 Q. Please explain the settlement terms relating to cost of service. A.As part of its next general rate case (GRC), the 4 Company will prepare an analysis of the impacts of 5 allocatipg 100% of transmission costs to demand, as well as 6 allocating transmission costs to reflect any peak and off- 7 peak seasonal cost differences over seven months, rather 8 than assuming an equal weighting over twelve months.The 9 Company is also in the process of compiling twelve (12) 10 months of continuous load data for use in future analysis of 11 costs-of-service,and wi 1 1 share the resul ts 0 f the 12 consul tant' s analysis of such data with interested parties 13 as soon as it becomes available..14 Q.Please explain the settlement terms relating to 15 peA Sharing Percentage. 16 A.The Company proposed to change the sharing 17 percentages between Customers and the Company from 90%/10% 18 to 95%/5%, primarily due to the increased volatility of 19 power supply costs.The Company agrees to withdraw its 20 request to amend the PCA sharing ratio.The sharing ratio 21 shall remain at its current value of 90%/10%. 22 Q.Please explain the settlement terms relating to 23 prudency of energy efficiency expenditures. 24 A.The Parties agree that Avista' s expenditures for 25 electric and natural gas energy efficiency programs from . 737 Norwood, Di 14 Avista Corporation .1 2 January 1, 2008 through November 30, 2008 will be subject to further review for prudence and recovery in a subsequent 3 docket. 4 Q.Please describe the low-income portion of the 5 Stipulation. 6 A.There are five areas the Company addressed in the 7 Stipulation, as follows: 8 (a.) LIRAP Legislation Avista will support 9 legislation in the State of Idaho during the next 10 legislative session in order to establish a Low Income Bill 11 Payment Assistance Program. 12 (b.) Low-Income Weatherization Funding - The Parties 13 agree to maintain the annual level of funding of $465,000 to.14 15 Idaho service (CAP) agencies for funding of weatherization (which includes administrative overhead).The continuation 16 and level of such funding will be revisited in the Company's 17 next general rate filing, or other appropriate proceeding. 18 (c.) Funding for Outreach for Low-Income Conservation - 19 The Parties agree that annual funding in the amount of 20 $25,000 will be provided to Idaho CAP agencies for the 21 purpose of underwriting the dedication of agency personnel 22 to assist in low-income outreach and education concerning 23 conservation. This amount will be funded through the Energy 24 Efficiency Tariff Rider (Schedules 91 and 191), and wiii be 25 in addition to the $465,000 of Low-Income Weatherization . 113)8; Norwood, Di 15 Avista Corporation .1 2 Funding. The continuation and level of such funding will be revisited in the Company's next general rate filing or other 3 appropriate proceedings. 4 (d.) Payment Plans - The Company agrees to confer with 5 Staff to assess the effectiveness of its new payment plans 6 and identify ways to decrease defaults on payment 7 arrangements. 8 (e.) Low-Income Deposit Requirements - As proposed by 9 Staff, the Company will undertake a study to evaluate the 10 effectiveness of its deposit policies and practices. 11 Q.Does the Company have other programs in place to 12 mitigate the impacts on customers of the proposed rate 13 increase?.14 A.Yes. Avista Utili ties offers a range of programs 15 to help customers who have difficulty paying their energy 16 bills.Some programs are in cooperation with local Idaho 17 communi ty action agencies, who are specialized in targeting 18 assistance where it is most needed.We are very aware of 19 the impacts energy costs have on our customers. 2021 Programs designed to assist customers include: 22 . DSM Energy Efficiency Programs. In March 2008 Avista23 proposed, and the IPUC approved, modifications to the 24 Company's energy efficiency program offerings. The25 modifications further broadened the technical and26 financial support Avista provides to its customers, and 27 provides customers with increased opportunity to manage28 their energy bills. In 2008 Avista also launched the29 award-winning "Every Little Bit" energy efficiency . 73-9'Norwood, Di 16 Avista Corporation .1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 35 36 37 38 39 40 41 42 43 44 45 46 47 48 49 . . promotional campaign which integrates all of the Company's energy efficiency programs into one location. . Project Share. Project Share is a voluntary program allowing customers to donate funds that are distributed th~ough community action agencies to customers in need. In addition to the customer and employee contributions of '$74,333 in Idaho, Avista shareholders contributed $50,000, Idaho's share, to the program in 2008. . Comfort Level Billing. The Company offers the option for all customers to pay the same bill amount each month of the year by averaging their annual usage. Under this program, customers can avoid unpredictable winter heating bills. . payment Arrangements. The Company's Contact Center Representatives work with customers to set up payment arrangements to pay energy bills. . CARS Program. Customer Assistance Referral andEvaluation Services provides assistance to special- needs customers through access to specially trained (CARES) representatives who provide referrals to area agencies and churches for help with housing, utilities,medical assistance, etc. . Customer Service Automation. Customers are able to access Avista' s Interactive Voice Response system (IVR) for automated transactions to enter their own payment arrangements, listen to outage messages and conduct other business such as obtaining account balances and requesting a duplicaté bill. . Power to Conserve. In partnership wi th KREM television, a half-hour television program is annually developed that covers low-cost and no-cost ways to saveenergy at home. The goal of the program is to help limited income seniors and other vulnerable populations with their energy bills by providing home energy conservation education. The program provides helpful energy conservation tips, information on community resources and ways for customers to manage their energy bills. A DVD of the program has also been produced which is included as part of energy conservation kits provided in senior conservation workshops. . Senior Energy Workshops. Energy efficiency workshops that focus on safety as well as the wise use of energy 740 Norwood, Di 17 Avista Corporation .1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24.25 26 have been specially designed for the senior population. Kits are provided that contain energy-saving items such as 'compact fluorescent light bulbs, draft stoppers, rope caulking, etc. The Power to Conserve program DVD along with energy efficiency tip sheets are alsoincl uded in the ki t . Workshops are held at senior meal si tes, senior centers and other senior supportlocations. . KHQ.com - Caregivers Resource. Avista sponsors the Caregivers Resource page on KHQ's Senior Life website in order to reach seniors and caregi vers wi th a wide variety of resource information including energy efficiency, energy assistance information, Avista CARES, bill paying assistance, etc. Several video clips offer low-cost, no-cost energy saving ideas. . Senior Publications. Avista created a one page advertisement that is placed in several senior directories and publications as part of an effort toreach seniors with information about energy efficiency, Comfort Level Billing, Avista CARES, and energyassistance information. v. RATE SPREAD & RATE DESIGN Q.Are you sponsoring an exhibit that shows the 27 percentage change in electric rates/revenue by rate schedule 28 resulting from the Stipulation? 29 30 A.Yes.Exhibit No. 1 shows the percentage change 31 colum (g) shows the effect of the PCA rate decrease, and by rate schedule.Colum (f) shows the general increase, 32 colum (j) shows the net change. 33 34 How did the Stipulation address rate spread?Q. A.The table on Page 2 of Appendix 1 of the 35 Stipulation shows the impact on the energy rates under each 36 service schedule of the agreed-upon electric increase,. 741'Norwood, Di 18 Avista Corporation .1 2 including the effect of including the FERC Spokane River License.The proposed electric revenue increase of 3 $12,548, boo represents an overall increase of 5.70% in base 4 rates and is spread on a uniform percentage basis to all 5 schedules (applied only to the energy charges).The table 6 also shows the impact on each service schedule of the 7 change in the PCA rate, which was determined on a uniform 8 cents per kWh basis applicable to all schedules, as 9 required by Order No. 30361, which represents a reduction 10 in revenue of 4.2%. 11 Page 14 of the Stipulation shows the impact on each 12 service schedule of the agreed-upon natural gas increases. 13 The increased natural gas revenue requirement of $1,939,000.14 represents an overall increase of 2.11% in base rates. 15 Coincident with the effective date of the increase in base 16 natural gas rates, the Parties have agreed to reduce the 17 Company's Weighted Average Cost of Gas (WACOG) by reducing 18 the present rate reflected under Schedule 150 - Purchased 19 Gas Cost Adjustment, resulting in a net overall revenue 20 change for General Service Schedule 101 of 0%. The Staff's 21 proposed rate spread was used to determine the general 22 revenue requirement increase by schedule. The reduction in 23 the WACOG is 2.662 cents per therm, which is equivalent to 24 the general increase per therm for Schedule 101.Applying 25 this same reduction in the WACOG of 2.662 cents per therm. 742 Norwood, Di 19 Avista Corporation .1 for the remaining schedules, resul ts in the net change to 2 natural gas rates that are shown in the table on Page 14 of 3 the Stipulation. 4 Q.What is the basis of the Stipulation relating to 5 the rate design? 6 A.The Stipulation adopted Staff's position that 7 there will be no increase in the basic charges, monthly 8 minimum charges, or demand charges in Schedules 11, 21 and 9 25.Otherwise, a uniform percentage increase will be 10 applied to each energy rate within each electric service 11 schedule as proposed by Staff. 12 The parties also adopted Staff's position that the 13 current residential electric basic charge of $4.60 per.14 month and the residential natural gas basic charge of $4.00 15 per month wi 1 1 remain unchanged. 16 VI. CONCLUSION 17 18 Q.What is the effect of the Stipulation? A.The Stipulation represents a negotiated 19 compromise on a variety of issues among the Parties. Thus, 20 the Parties have agreed that no particular party shall be 21 deemed to have approved the facts, principles, methods, or 22 theories employed by any other in arriving at these 23 stipulated provisions, and that the terms incorporated 24 should not be viewed as precedent setting in subsequent 25 proceedings except as expressly provided. . 743 Norwood, Di 20 Avista Corporation .1 Q. In conclusion,why is this Stipulation in the 2 public interest? 3 A.This Stipulation strikes a reasonable balance 4 between the interests of the Company and its customers, 5 including its low-income customers. As such, it represents 6 a reasonable compromise among differing interests and 7 points of view. 8 The Parties have agreed that the Company has 9 demonstrated need for a revenue requirement increase for 10 both its electric and natural gas customers.The 11 Stipulation provides for recovery of these costs. In the 12 final analysis,however,any settlement reflects a 13 compromise in the give-and-take of negotiations ó The.14 Commission, therefore, has before it a Stipulation that is 15 supported by sound analysis and supporting evidence, the 16 approval of which is in the public interest. 17 Q.Does this conclude your pre-filed direct 18 testimony? 19 A.Yes, it does. . 7 4'4~) Norwood, Di 21 Avista Corporation ~ e e e 1 Q.Please state your name and business address for 2 the record. 3 A.M~ name is Randy Lobb and my business address is 4 472 West Washington Street, Boise, Idaho. 6 5 Q.By whom are you employed? A.I am employed by the Idaho Public Utilities 7 Commission as Utilities Division Administrator. 8 Q.What is your educational and professional 9 background? 10 A.I received a Bachelor of Science Degree in 11 Agricultural Engineering from'the University of Idaho in 12 1980 and worked for the Idaho Department of Water Resources 13 from June of 1980 to November of 1987. I received my Idaho 14 license as a registered professional Civil Engineer in 1985 15 and began work at the Idaho Public Utilities Commission in 16 December of 1987. My duties at the Commission currently 17 include case management and oversight of all technical 18 Staff assigned to Commission filings. I have conducted 19 analysis of utility rate applications, rate design, tariff 20 analysis and customer petitions. I have testified in 21 numerous proceedings before the Commission including cases 22 dealing with rate structure, cost of service, power supply, 23 line extensions, regulatory policy and facility 24 acquisitions. 25 Q.Are you the same Randy Lobb that previously filed 1,'45'CASE NO. AVU-E-09-1/AVU-G-09-1 06/24/09 LOBB, R. (Di) 1 STAFF ~ e e e 1 direct testimony in this case? 2 A.Yes I am. 3 Q.What is the purpose of your testimony today? 4 A.. The purpose of my testimony is to describe the 5 Stipulation (the Proposed Settlement) filed in this case 6 and to explain the rationale for Staff's support. 7 Q.Please summarize your testimony. 8 A.Staff believes that the comprehensive Stipulation 9 and Settlement resolving all issues in the general rate 10 case is in the public interest. The Settlement was agreed 11 to by all parties . It is just and reasonable and should be 12 approved by the Commission. 13 Q.Please provide an overview of the Stipulation and 14 Settlement. 15 A.The Stipulation filed with the Commission on June 16 16, 2009 settles a variety of issues to arrive at an 17 overall base rate revenue requirement increase of $9.43 18 million or 4.29% for electric service and $1. 939 million or 19 2.11% for natural gas service. The parties also 20 acknowledged that the revenue requirement for electric 21 service could increase to $12.548 million or 5.7% if FERC 22 issued a new Spokane River hydroelectric license by July 23 22,2009. 1 Nevertheless, the likely increase is relatively 24 lOn June 18, 2009, FERC issued a new 50-year license for 25 Avista's five hydroelectric facilities on the Spokane River. This issue is discussed in greater detail below. CASE NO. AVU-E-09-1/AVU-G-09-17'46 06/24/09 LOBB , R . (D i ) 2 STAFF .. e - e 1 close to the Staff recommendation provided in pre-filed 2 direct testimony of $8.62 million (3.91%) and $1.89 million 3 (2.06%) for electric and natural gas service respectively. 4 It also represents a significant decrease in the Company's 5 requested increase of $31.2 million (12.8%) and $2.7 6 million (3.0%) for electric and natural gas service, 7 respectively. 8 When proposed decreases in the Power Cost 9 Adjustment (PCA) rate for electric service and the Purchase 10 Gas Adjustment (PGA) rate for gas service are included, 11 there is no overall revenue requirement increase for gas or 12 electric service. However, overall electric revenue 13 requirement will increase by 1.5% when the Spokane River 14 relicensing costs are included. 15 Q.How does the revenue adjustments specified in the 16 Stipulation compare to revenue adjustments previously 17 proposed by Staff? 18 A.The difference in the base electric revenue 19 requirement agreed to in the Stipulation and that proposed 20 by Staff in pre-filed direct testimony is due to movement 21 by Staff on four issues. They are: 1) an increase in 22 anticipated net power supply costs using more current 23 forward natural gas prices, 2) a slight increase in 24 executive labor to reflect actual 2008 compensation, 3) an 25 increase in Information Services expense to reflect the CASE NO. AVU-E-09-1/AVU-G-09-J.i4706/24/09 LOBB, R. (Di) STAFF 3 e e e 1 2 of costs associated with Montana riverbed leases. With the actual 2009 level of employees and 4) rate base treatment 3 exception.of the Spokane River Relicensing, all other 4 revenue requirement adjustments listed in the Stipulation 5 are as proposed by Staff in direct testimony. 6 Q.How do the stipulated non-revenue issues compare 7 to the Staff position presented in pre-filed testimony? 8 All other issues described in the StipulationA. 9 such as class revenue spread, rate component adjustments, 10 evaluation of payment plans and review of low income 11 deposit requirements were resolved as proposed by Staff or 12 other intervenors in direct testimony. Finally, resolution 13 14 of the remaining issues represented a reasonable alternative to litigation in this case. For example, the 15 Company agreed to withdraw its request to change the PCA 16 sharing percentage, and agreed to request prudency of DSM 17 program costs in a subsequent docket . Moreover, all 18 parties agreed that the Company would further study cost of 19 service issues and continue to address a variety of low 20 income concerns. 21 Q.Does Staff believe the proposed Stipulation and 22 Settlement is reasonable? 23 A.Yes. As previously stated, the overall base 24 revenue requirement increase for electric and gas service 25 of $9.43 million (4.29%) and $1.939 million (2.11%) "1'48CASE NO. AVU-E-09-1/AVU-G-09-106/24/09 LOBB, R. (Di) 4 STAFF e e - 1 respectively, is quite close to the $8.62 million (3.91%) 2 and $1.89 million (2.01%) originally proposed by Staff in 3 direct testimony. Even with Spokane River relicensing 4 costs included, the increase of $12.548 (5.7%) million for 5 electric service is about 60% le~s than the Company's 6 original $31.2 million (l2:8%) request. The Company 7 originally requested an increase of $2.7 million (3.0%) for 8 gas service. 9 Other issues such as use of the PCA and PGA rate 10 reductions to offset the base rate increases, rate spread, 11 rate design, treatment of Lancaster costs, changes to PCA 12 sharing percentages, prudency review of DSM costs and 13 customer service considerations were consistent with 14.Staff's direct testimony. Staff believes that the 15 addi tional issues addressed in the Stipulation including 16 further cost of service analysis, agreement on low income 17 issues and rate implementation date were fairly straight 18 forward, reasonable accommodations to achieve comprehensive 19 settlement. 20 21 A.How did Staff approach settlement in this case? Q.After filing direct testimony on May 29, 2009, 22 Staff met with the Company and other parties on June 5, 23 2009, in an effort to resolve any undisputed issues. Staff 24 was only willing to consider movement on its revenue 25 requirement adjustments for those issues where updated '7d4:9~CASE NO. AVU-E-09-1/AVU-G-09-106/24/09 LOBB, R. (Di) 5 STAFF e - e 1 information was available or errors were identified. 2 Q.,In what areas did Staff agree to modify its 3 revenue requirement recommendations? 4 A.'Staff agreed to modify its revenue requirement 5 recommendations in the following four areas: 1) increase 6 net power supply costs recovered in base rates (line b, 7 Electric Table, p. 5) i 2) slightly increase executive 8 compensation (line f, p. 5) i 3) increase information 9 service expense (line g, p. 5) ¡and 4) allow rate base 10 treatment of costs associated with Montana riverbed leases 11 (note 3, p. 5). Staff also agreed to include Spokane River 12 relicensing costs in this case if FERC issued a new 13 hydroelectric operating license by July 22, 2009. While the Production Property Adjustment (line c,14 15 p. 5) and the Restatement of Debt Interest (line p, p. 5) 16 changed from that proposed by Staff in its direct 17 testimony, these adjustments are the direct results of 18 changes in other Staff adjustments as specified in the 19 Stipulation and flow through automatically. 20 Net Power Supply Costs 21 Q.Please explain the difference in the Idaho 22 jurisdictional net power supply cost adjustment of 23 $14,455,000 as recommended by Staff in its pre-filed direct 24 testimony and the $13,869,000 adjustment agreed to in the 25 Stipulated Settlement on line b, page 5. CASE NO. AVU-E-09-1/AVU-G-09-1S006/24/09 LOBB, R. (Di) 6 STAFF e - e 1 A.The difference is primarily due to a difference 2 in gas prices used in the AURORA analysis performed to 3 develop net power supply cost. In its initial Application 4 in this case, Avista used a three-month average of natural 5 gas prices from September 1, 2008 to November 30, 2008, of 6 monthly fòrward prices for the pro forma period. Staff, in 7 its analysis, used a one-month average of forward gas 8 prices from March 27, 2009 to April 27, 2009. Staff chose 9 to use a one -month average of prices because they were the 10 most recently available at the time it performed the AURORA 11 analysis. Staff believed that the most recent gas forward 12 prices were a better indication of prices likely to occur 13 in the pro forma period. 14 In the Settlement Stipulation, Avista adopts 15 Staff's position to use a one-month average of gas prices, 16 but proposes to use a more current average of prices from 17 May 1, 2009 to May 31, 2009 for the un-hedged portion of 18 the generation. Staff agrees that a one-month average of 19 gas prices using a more current period to derive the net 20 power supply costs is appropriate. 21 Q.Were any other changes made in Staff i s analysis 22 to derive the net power supply cost included in the 23 Settlement Stipulation? 24 A. Yes, a minor error in Staff's analysis was 25 corrected. The error involves necessary after-the-fact CASE NO. AVU-E-09-1/AVU-G-09-175106/24/09 LOBB , R . (D i) STAFF 7 e e e 1 additions of start-up fuel costs to the AURORA results, and 2 adjustment of fuel costs at Coyote Springs 2 that cannot be 3 accommodated in AURORA. 4 Q.Does Staff agree with the results of the analysis 5 done to d~velop the net power supply cost recommendation 6 included in the Settlement Stipulation? 7 A.Yes, Staff has reviewed the analysis, including 8 replication of the revised AURORA results and including the 9 minor errors identified in Staff's analysis. Staff agrees 10 with the revised AURORA results and supports using the more 11 current gas prices in the Staff proposed one-month average. 12 The parties agree as part of the Settlement to support 13 Staff's recommendation to exclude short-term contracts 14 already entered into for the pro forma period and instead 15 to recover these costs through the PCA subject to the 90/10 16 percent sharing. Consequently, Staff supports the net 17 power supply cost decrease adjustment of $13.869 million 18 included in the Settlement Stipulation. 19 Execu ti ve Labor Compensation 20 Q.What was Staff's position regarding Executive 21 Labor Compensation in its pre-filed testimony? 22 A.Staff removed all proposed increases to Executive 23 Labor expenses for 2009 and 2010, and annualized the 24 executi ve salaries at their current level of expense. 25 Q.Why did Staff agree to the smaller adjustment CASE NO. AVU-E-09-1/AVU-G-09-175206/24/09 LOBB , R . (D i ) STAFF 8 e e e 1 2 specified in the Stipulation on line f, page 5? A.Staff's original filing did not calculate the 3 overhead loading associated with the executive L.abor. The 4 Stipulation accepts Staff's position of excluding 2009 and 5 2010 increases for executives, and annualizes the current 6 level of Executive Labor expense. However, the Stipulation 7 recognizes the associated overhead applied to the 8 annualized Executive Labor. 9 Staff believes lt is appropriate to account for 10 indirect overhead expenses when computing labor expense. 11 The settlement on this adjustment corrects an oversight in 12 Staff's original filing. 13 Infor.ation Service Expense 14 Q. What was Staff's position regarding Information 15 Service (IS) Expense in its pre-filed testimony? 16 A.Staff excluded IS labor expense for four 17 positions that the Company intended to, but had not yet 18 filled. Staff further reduced IS expense to recognize 19 operating efficiencies gained by including the pro forma 20 level of expense in rates. 21 Q.Why did Staff agree to the smaller adjustment 22 specified in the Stipulation on line g, page 5? 23 A.The Stipulation includes Staff's recognition of 24 operating efficiencies, however, two positions that Staff 25 exci.uded were positions that were actually filled but the 753CASE NO. AVU-E-09-1/AVU-G-09-106/24/09 LOBB , R. (D i) 9 STAFF e e e 1 amounts were being capitalized rather than expensed. The 2 Stipulation recognizes that these positions were filled, 3 but because the Company did not include any expense 4 associated with these two positions in its original filing, 5 no Staff adjustment was necessary. 6 Montana Riverbed Leases 7 Q.In the last rate case, the Company was allowed to 8 defer unamortized payments it made to the State of Montana 9 for lease of the riverbeds for the Noxon Rapids and the 10 Cabinet Gorge hydroelectric projects. In this rate case, 11 the Company requested inclusion of the unamortized balance 12 in its rate base, thus collecting a return on that balance. 13 What was Staff's position on the inclusion of the 14 unamortized balance of deferred payments in the Company's 15 rate base with a return? 16 A.Staff initially agreed that the Company should be 17 allowed to amortize the unamortized balance over the 18 remaining eight (8) year life of the lease, but did not 19 recommend allowing the Company to earn a return on the 20 unamortized balance. 21 Q.How does the Stipulation treat the unamortized 22 balance for the Montana lease? 23 A.The Stipulation allows the Company to include the 24 unamortized balance of $1,582,501 in rate base to earn at 25 the authorized rate of return. The balance remains . 75~CASE NO. AVU-E-09-1/AVU-G-09-1 06/24/09 LOBB, R. (Di) 10 STAFF e e e 1 amortized over eight (8) years. 2 Q.Why did Staff agree to include the unamortized. 3 balance of $1,582,501 in the Company's rate base at the 4 overall rate of return? 5 A..The unamortized balance is the amount paid by the 6 Company to the State of Montana for its use of the 7 riverbeds at the Company~ s hydro-electric projects in, 8 Montana. The Montana courts have determined that the 9 Company was liable for use of the riverbeds owned by the 10 State of Montana at the Company's proj ects . Thus, the 11 Company entered into a lease with the State of Montana for 12 the use of the riverbeds. 13 In the last rate case the Company sought and 14 obtained an Order (Order No. 30647) from this Commission to 15 defer any payments it made pursuant to the lease and prior 16 to this rate case. Pursuant to our settlement discussions 17 and the Commission's prior approval to defer these lease 18 payments, Staff believes the payments were reasonable and 19 prudent for the production of electricity at the Company 20 facilities. Therefore, Staff included the amortization in 21 rates for recovery. Staff now accepts including the 22 unamortized balance in rate base at the Company's 23 authorized return because it was previously included in 24 this manner to establish the stipulated revenue requirement 25 in the last rate case, Case No. AVU-E-08-L. Language 755CASE NO. AVU-E-09-1/AVU-G-09-1 .06/24/09 LOBB, R. (Di) 11 STAFF e - e 1 included in that prior Stipulation indicated that the 2 return on the unamortized balance was at the customer 3 deposit rate (Stipulation, p. 7, 9 (c) AVU-E-08-1). , 4 However, this language related to the return during the 5 deferral period, not the return once it was included in 6 rates. 7 Spokane River Relicensing 8 Q.How did Staff originally propose to treat Spokane 9 River relicensing costs in this case? 10 A.Staff reviewed the costs associated with 11 relicensing and determined that they should not be included 12 for recovery in this case because a new FERC operating 13 14 15 license had not yet been obtained. The expenditures were therefore, not deemed used and useful. Q.Why did Staff agree to include the relicensing 16 costs in this case if a new license was issued by July 22, 17 2009? 18 A. The Company maintained that a new license was 19 imminent. In fact FERC issued the new 50-year license on 20 June 18, 2009 - two days after the Stipulation was filed. 21 Staff agreed that if a new license was obtained prior to 22 the Company's filed rebuttal or during the course of the 23 hearings, it is likely that the Commission would include 24 the cost in this case. It would also be difficult for 25 Staff to continue to argue that the relicensing costs were '7B6CASE NO. AVU-E-09-1/AVU-G-09-1 06/24/09 LOBB, R. (Di) 12 STAFF e .e -- 1 not used and useful. Therefore, Staff agreed to the July 2 22, 2009 cutoff date for the Company to obtain a license 3 with the caveat that un-audited costs are subject to audit 4 before they are reflected in rates. Additional revenue 5 requirement subject to recovery in this case with timely 6 receipt of the new license totals $3.11 million annually. 7 See Note 1 to Table on page 5 of the Stipulation. 8 Other Issues 9 Q.What other revenue requirement adjustments are 10 itemized in the Settlement Stipulation and how do they 11 compare to Staff's original recommendation? 12 A.Other revenue requirement adjustments itemized in 13 the Stipulation include return on equity (10.5%), 14 regulatory fees , non-executive labor, asset management, 15 Colstrip mercury emissions O&M, compensation incentives, 16 generation O&M expense, insurance expense, miscellaneous l7 expenses and the Coeur d' Alene Tribe Settlement. Other 18 than allocation of system adjustments, the capital 19 additions adjustment is the only issue specifically 20 identified on the natural gas ~ide. All of these 21 adjustments are the same as those originally recommended in 22 Staff's pre-filed direct testimony. 23 Q.What does the Stipulation provide in terms of 24 revenue spread and rate design? 25 A.The parties agreed in paragraph 15 to spread the CASE NO. AVU-E-09-1/AVU-G-09-~51 06/24/09 LOBB, R. (Di) 13 STAFF e e - 1 electric ~evehue increase uniformly across all customer 2 classes and increase only the energy component of rates in 3 each class as originally proposed by Staff. Likewise, the 4 Agreement follows Staff's original proposal to spread the 5 natural gas revenue increase to customer schedules based on 6 the company's cost of service study and increase only the 7 commodity component of the gas rate. 8 The Settlement endorses Staff's proposal to 9 reduce the PCA and PGA rates to mitigate the base rate 10 increase. The required PCA rate reduction is 0.266 cents 11 per kWh for electric customers and the required PGA rate 12 reduction is 2.662 cents per therm for natural gas 13 customers. The PCA rate reduction will not fully offset 14 the base rate revenue requirement with the Spokane River 15 relicensing costs included in this case. The PGA rate 16 reduction offsets the base rate increase in Schedule 101 17 and reduces the overall rate in other schedules by various 18 amounts. 19 Q.Are the higher PCA and PGA rate reductions 20 specified by the Settlement of any concern to you? 21 A.I have no concern regarding the PGA reduction. 22 Forecasted gas prices over the period that rates will be in 23 effect are well below the weighted average cost of gas 24 (WACOG) currently embedded in rates. The PCA reduction is 25 only slightly more likely to produce higher deferral CASE NO. AVU-E-09-1/AVU-G-09-17S(S(;06/24/09 LOBB, R. (Di) 14 STAFF e e e 1 balances for surcharge than that proposed by Staff in 2 direct testimony. The risk caused by the slightly lower 3 PCA rate is also partially o.ffset by stipulated higher 4 power supply costs embedded in rates. 5 Q.Are there other issues identified in the 6 Stipulation that are consistent with Staff recommendations 7 presented in direct testimony? 8 A.Yes, the Stipulation in paragraph 14 on page 11 9 specifically addresses the Company's proposal to change the 10 PCA sharing percentage from 90%/10% to 95%/5%. Staff did 11 not believe the Company. sufficiently justified its proposal 12 in direct testimony and the Company withdrew the issue as 13 part of the settlement. 14 The Stipulation in paragraph 12 on page 11 also 15 specifies that the issue of prudence review of DSM 16 expenditures for the period January 1, 2008 through 17 November 30, 2008 will be addressed in a future docket. 18 Staff did not believe the Company provided sufficient 19 evidence in its direct case to justify a finding of 20 prudency for these expenditures. Consequently, Staff 21 believes it is reasonable to delay a prudency review to a 22 later date when more information is available. 23 In addition, the Stipulation reiterates Staff's 24 position supporting the Company's proposed cost recovery of 25 the Lancaster power project tolling agreement. See ~ 10. 15~9/CASE NO. AVU-E-09-1/AVU-G-09-106/24/09 LOBB, R. (Di) 15 STAFF e e e 1 The Stipulation also supports Staff's original 2 recommendation provided in direct testimony for cost 3 recovery Qf the Coeur d' Alene Tribe Agreement. See ~ 9 (0) 4 on p. 10. 5 Finally, the Stipulation supports Staff's 6 original proposals that the Company evaluate its payment 7 plans and low income deposit policies for effectiveness. 8 See ~ 16 (d) and (e) on p. 15. 9 Q.What issues are included in the Stipulation that 10 were not originally addressed by Staff in direct testimony? 11 A.Issues supported by Staff in the Stipulation that 12 were not originally addressed by Staff in direct testimony 13 include additional cost of service evaluation (see ~ 13), 14 continuation of low income customer service programs (see 15 ~ 16 (b) and (c)), and new rate implementation on August 1, 16 2009 (~ 15 (f)). The cost of service recommendations to 1 7 evaluate various methods of allocating transmission 18 facili ties and to provide twelve months of current load 19 data in a timely manner are necessary to properly determine 20 cost of service and are supported by Staff. 2l The low income recommendations for Avista to 22 support low income rate assistance legislation, to continue 23 funding for low income weatherization and outreach 24 education are a continuation of existing support and 25 programs. Staff supports these recommendations based on CASE NO. AVU-E-09-1/AVU-G-09-~6006/24/09 LOBB, R. (Di) 16 STAFF e e e 1 its belief that they reasonably improve low income 2 affordability. 3 Q.Why did Staff support an August 1, 2009 4 implementation date for new rates rather than the statutory 5 deadline of August 23, 2009? 6 A.This provision was agreed to by Staff as part of 7 the give anâ take of settlement negotiations. Staff 8 believed thåt the accelerated implementation date was 9 reasonable given that comprehensive settlement would reduce 10 the need for lengthy hearings, complicated deliberations 11 and time consuming development of the final Commission 12 Order. Staff also accepted the Company position that a 13 first of the month implementation of new rates would 14 simplify calculation of monthly power supply costs for 15 determination of PCA deferral balances. 16 Q.Does this conclude your testimony in this 17 proceeding? 18 19 20 21 22 23 24 25 A.Yes, it does. 7'€)-'CASE NO. AVU-E-09-1/AVU-G-09-106/24/09 LOBB , R . (D i ) 1 7 STAFF e e e 1 (The following proceedings were had in 2 open hearing.) 3 MR. MEYER: Thank you. And one other process 4 point: We did not separately mark and identify the Stipulation 5 itself as an exhibit, but it's part of the official record. 6 And we have extra copies if you have a preference to otherwise 7 mark that. 8 COMMISSIONER REDFORD: Why don't we go ahead and 9 mark that. I f you have an extra copy, why don i t we go ahead 10 and mark that as Applicant Exhibit No.1. 11 MR. MEYER: Could we make that No. 2 since we 12 have an Exhibit 1 attached to Mr. Norwood's testimony? 13 COMMISSIONER REDFORD: Fine. 14 MR. MEYER: Thank you. 15 COMMISSIONER REDFORD: So it will be Exhibit 16 No.2. If you will give it to the court reporter, please? 17 MR. MEYER: Thank you. And would you like one? 18 You each have your own? 19 COMMISSIONER REDFORD: I think we have our own. 20 (Avista Exhibit No. 2 in support of the 21 Stipulation was marked for identification.) 22 MR. MEYER: Thank you. And with that, I call to 23 the stand Mr. Norwood. 24 COMMISSIONER REDFORD: Thank you. 25 Mr. Norwood. Commissioner Smith will swear you, 762 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 COLLOQUY - e 20 21 22 23 1 Mr. Norwood 2 3 KELLY NORWOOD, 4 produced as a witness at the instance of Avista, being first 5 duly sworn, was examined and testified as follows: 6 7 COMMISSIONER REDFORD: Mr. Meyer, are you -- 8 9 DIRECT EXAMINATION 10 11 BY MR. MEYER: 12 Q.Are you ready, Mr. Norwood? 13 A.Yes. 14 Q.Thank you. For the record, please state your 15 name and your employer. 16 A.Yes. My name is Kelly Norwood, and I work for 17 Avista Corporation. 18 Q.And have you filed direct testimony in support of 19 the Stipulation? A.Yes, I have. Q.Do you have any changes to make to that? A.No, I do not. Q.So if I were to ask you the questions that appear 24 in that pre filed testimony, would your answers be the same? e 25 A.Yes. 763 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Di) Avista e e e 1 Q. Are you also sponsoring what has been marked for 2 identification as Exhibit NO.1? 3 A.Yes. 4 Q.And is the information true and correct? 5 A.Yes, it is. 6 MR. MEYER: With that, Mr. Chairman, I ask that 7 Mr. Norwood i s testimony be spread into the record as if read, 8 and move the admission of Exhibit No.1, as well as Exhibit 9 No.2, which is a copy of the multi-party Stipulation. 10 COMMISSIONER REDFORD: Fine. I think that by our 11 previous ruling, all the testimony has been spread, but we will 12 spread your testimony on the record as if it had been read 13 aloud. 14 (Avista Exhibit Nos. 1 and 2 in support of 15 the Stipulation were renumbered by the court reporter as Avista 16 Exhibit Nos. 14 and 15, respectively, and admitted into 17 evidence. ) 18 COMMISSIONER REDFORD: Why don't we start with 19 Mr. Howell. 20 MR. HOWELL: Staff has no questions. Thank you. 21 COMMISSIONER REDFORD: Okay. Mr. Creamer. 22 MR. CREAMER: No questions, Mr. Chair. 23 MR. MILLER: Nor I. 24 COMMISSIONER REDFORD: Mr. Purdy. 25 MR. PURDY: I have none. 764 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Di) Avista e e e , i MS. BRIDGE: No questions. 2 COMMISSIONER REDFORD: Thank you. Well, that was 3 quick. Do the Commissioners have any questions? Ms. Smith. 4 5 EXAMINATION 6 7 BY COMMISSIONER SMITH: 8 Q.Mr. Norwood, this is just, you know, our 9 opportuni ty I think to ask the Company how it i s doing generally 10 and what issues and problems you see coming up. Of particular 11 concern to me based on the letters from your customers, letters 12 to the editor in the newspapers that we see in the clips, and 13 even various editorials, it seems to me that your company needs 14 to pay special attention to your -- perception of your company 15 by your customersi and I just wondered if the Company felt that 16 way and what measures you saw available to you to help them 17 understand what you i re doing in their interest, and any other 18 issues you think the Commission ought to be aware of. 19 Okay. Thank you. We do recognize and I haveA. 20 read, personally, every comment that was submitted to the 21 Commission, and we appreciate, as a company, the Commission 22 providing those letters and comments to us so we can see what 23 customers are saying. Obviously, many of us are out in the 24 community and we are hearing from them also, and what we're 25 hearing, from my perspective as I speak to rotary groups or 765 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Com) Avista e e e 1 others, once we provide them more information about what's 2 going on in our business, then they may not like it but at 3 least they understand and they're more receptive and they 4 appreciate the information. 5 So what we have done in recent months is to step 6 up our communication to customers, and we're doing that through 7 paid advertising in newspapers, we're doing that through 8 e-mails to our customers, through speaking to groups throughout 9 the communi ties. We're sending letters out to our customers. 10 And so we are encouraging them to have a dialogue with us to 11 ask us questions, which gives us then an opportunity to provide 12 more information to them. And so far that has been going very 13 well, but there's basically a campaign to continue at least 14 through the balance of this year so that customers have a 15 better understanding of the issues: You know, salary issues, 16 earnings issues. 17 I think there's a perception out there that the 18 profi t issue is extra money over and above what's needed to run 19 the business, and so we're making an effort to educate 20 customers that that is a necessary part of dollars that need to 21 go back to those investors that have lent us money to keep the 22 facilities in place. 23 And so we've stepped up our education effort. 24 There's a lot more to do, but I'm happy with the progress we're 25 making on that. 766 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Com)Avista e e 1 Q. I guess that I understand the need for the 2 advertising. That's kind of a double-edged sword, because then 3 people complain that you're spending all your money on the 4 advertising. So I don't have a way out of that, but I just 5 wanted you to know that I think the communication with your 6 customers, is especially important. 7 A.Yes, thank you. We understand that. 8 COMMISSIONER SMITH: Thank you.. 9 COMMISSIONER REDFORD: Commissioner Kempton. 10 11 EXAMINATION 12 13 BY COMMISSIONER KEMPTON: 14 Q.Just a general question, Mr. Norwood: 15 In this case and in the Stipulation both, 16 emphasis is on -- as far as the requirements for additional 17 revenue -- is on combination of growth and the capability of 18 integrating new, renewable resources, just as a part of the 19 base. Could you address what your indications are currently on 20 growth compared to the 2008 projections that were made, 21 roughly, when you made these; not the natural gas issue I'm 22 aware of, you know, I understand that, but just the growth 23 factors themselves going into 2009 to 2010. 24 e 25 A.On the electric side, our load growth has slowed as one would expect. We are still seeing and still expect load 767 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Com) Avista 1 growth in terms of energy from '09 to 2010 in the one percente2to 1.2 percent, so we are still seeing an increase in energy 3 usage by customers. We're also continuing to hook up new 4 customers, although at a much slower pace than we saw in '08 5 and' 07, but nonetheless, there's a continuing need to hoök up 6 new customers. 7 Q.And on the integration side as far as the 8 resources most expected to be your integrated resource for. base 9 load on your variable resource with integration, for example, 10 or any other variable resources you're picking up, solar ör 11 whatever? 12 A.In terms of -- I'LL talk about two different e 13 areas there to try to answer your question. One is the 14 resources we're planning to add. The other would be what we 15 plan to use to integrate those resources. 16 First of all, with our current resource mix, the 17 addi tion of Lancaster which comes in in January of 2010, that 18 will put us in an even to long position through approximately 19 2017 from the energy perspective and similar time frame for 20 capacity. So we're in pretty good shape for energy and 21 capaci ty, but we are looking and continuing to look at -- let 22 me step back. 23 In terms of other resources, that assumes that we 24 continue to aggressively pursue demand-side management, which e 25 we are going to do. 768 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Com) Avista e e 1 And then the other component would be wind. And 2 as we mention in our testimony, the Reardon proj ect is one that 3 we've been working on for a couple of years. It's a 4 50-megawatt wind proj ect in our service area. It's basically 5 licensed. The site is there, so it's just a matter of timing 6 as to when we put that in place. 7 Gi ven the economy, we had delayed that proj ect. 8 We were planning to do that right away, but we recently delayed 9 that. But with the availability o£ the investment tax credit, 10 that would give us a tax credit of -- a federal tax credit of 11 roughly 30 percent of the proj ect cost. Also, in the state of 12 Washington right now, there's a sales tax credit which is about 13 six and a quarter percent that we would also be able to take 14 advantage of. So given those changes, we are taking a new look 15 at whether we do Reardon sooner rather than later simpiy 16 because there's a pretty big benefit, and so we're comparing 17 that with delaying that. So you may see us start that project 18 up. We haven't made a final decision on that. 19 We have a number of other wind resources 20 primarily in our service area where transmission -- our 21 transmission -- is available that we're pursuing, but those may 22 come a little bit later. 23 Otherwise, we are also looking at biomass 24 projects, cogeneration projects that might be available, so e 25 we'll continue to look at those as we go to the future. 769 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Com)Avista e e e 1 In terms of integration, we are currently 2 receiving about 35 megawatts of wind from the Stateline 3 proj ect. We're getting about 10 average megawatts of energy. 4 We're using our hydro system to integrate that. We do have 5 some room to integrate more wind on our system with our hydro. 6 What we also have, we have the existing Coyote 7 Springs 2 combined cycle gas unit, and there's the opportunity 8 to flex that unit to integrate wind with the addition of 9 Lancaster in 2010 that will give us additional flexibility tö 10 integrate wind. Now, that comes at a little bit of an 11 additional cost but it's much less expensive than using simple 12 cycle, as an example, to integrate wind. 13 So as we work through this in the next several 14 years we'll gain more experience with the true cost of 15 integrating wind once we get beyond the hydro and into the 16 combined cycles to integrate it. 17 COMMISSIONER KEMPTON: Okay, thank you. No 18 additional questions, Mr . Chairman . 19 20 EXAMINATION 21 22 BY COMMISSIONER REDFORD: 23 I want to thank Avista for, or congratulate youQ. 24 Is there anythingon, receiving the relicensing of the dams. 25 left to be done as far as that relicensing issue is 770 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Com) Avista e e e 1 concerned? 2 A.Thank you for that. We are very pleased to get 3 the license, and it's a 50--year license. We are still looking 4 at the FERC Order and the conditions on that. The initial 5 indications -- and I'll emphasize initial -- is that it looks 6 pretty good, pretty consistent with what we had laid out with 7 the other parties. There will be -- it looks like there will 8 be some cost changes related to implementing that license, but 9 at this point, they appear to be pretty small, small 10 differences compared to what the estimates were that we put 11 together. But, obviously, there's lots of work to be done in 12 terms of carrying out the plan, but in terms of the license 13 itself, we have 30 days to review the Order and seek å 14 Reconsideration on that, but the initial indication is it looks 15 pretty good. 16 Q.Thank you. You and the Staff worked out the 17 Stipulation, and, of course, all the other Intervenors, and I'm 18 interested in how whether there were any hiccups or 19 difficulties in determining cost of service. Did you all agree 20 on what the cost of service was, is? 21 What we -- on the electric side, in the priorA. 22 case we had talked about the need for new load data, which we 23 are in the process of gathering. Meters are in place and we're 24 gathering data, and we should have a full year of that data by 25 the end of this year. 771 HEDRICK COURT REPORTING P.O. BOX 578, BOI SE, I D 83701 NORWOOD (Com)Avista e e e 1 In the mean time, what we agreed to do from a 2 rate-spread perspective is to use a uniform percentage rate 3 adj ustment to all schedules and adj ust just the energy 4 component of those. So all the parties did agree with that 5 rate spread in the Stipulation. 6 Q.So you didn't really get into much of a 7 discussion about cost of service? 8 A.There was some discussion about cost of service. 9 There was one issue related to the way transmission charges 10 were allocated to the different customer groups, and we have 11 agreed as part of the Stipulation to take a look at allocating 12 the transmission costs differently in the next case, so that 13 will be included in our next case. 14 We also agreed to take a look at the seasonal 15 impacts of some of those fixed costs, and so we'll take a look 16 at that also. 17 In our original filing, we had put together a 18 number of scenarios to see what the sensitivity was to changes 19 in loads, changes in demand, and by different customer classes, 20 and what we found based on the analysis that we put together is 21 that we believe that based on using a uniform percentage spread 22 across customer classes right now is probably a very reasonable 23 way to do it until we get the new load data available. 24 Q.You don't have a class for, or do you have a 25 class for, irrigators? 772 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Com) Avista e e . 1 A. We do have.It's called our pumping service. 2 It's Schedule 31, yes. 3 And is thatQ.is Pumping 31 extensive or is 4 it -- as compared to, say, Idaho Power who's got the irrigator 5 class? 6 A.It's -- I don i t know the number of irrigators 7 that we have, but compared to Idaho Power it iS a very, very 8 small number of customers, and the load is very small compared 9 to Idaho Power's. 10 Q.And their rates are probably a little higher . 11 Right? 12 A.As compared to? 13 Q.Percentage of increase for all classes. I guess 14 the reason why I i m asking you is do you take into consideration 15 in setting their rates that the irrigators use the power during 16 the peak months? 17 A.Yes. When we do our cost of service, that would 18 be taken into consideration.If you look at the overall rate 19 adjustment that would come out of this case, the total is 1.5 20 percent if the Commission approves the Stipulation. The 21 irrigators would get a 1.9 percent, so it's just slightly 22 higher than the overall. 23 24 e 25 Q.But you peak in the winter? A.We do peak in the winter. The summer peak is getting very close to the winter peak, but we are still a 773 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Com) Avista e e 1 winter-peaking utility. 2 COMMISSIONER REDFORD: I have no further 3 questions. 4 As a result of the questions that the Commission 5 has asked, is there anyone of the parties or anyone of the 6 parties wish to inquire further? 7 MR. MEYER: No, your Honor. 8 COMMISSIONER REDFORD: Thank you. 9 You may step down, Mr. Norwood, and thanks for 10 your testimony. 11 THE WITNESS: Thank you. 12 (The witness left the stand.) 13 COMMISSIONER REDFORD: Mr. Howell. Excuse me. 14 Do you have anything else to present on your case 15 in chief? 16 MR. MEYER: I do not, thank you. 17 COMMISSIONER REDFORD: Thank you. So, 18 Mr. Howell. 19 MR. HOWELL: The Staff would call Randy Lobb to 20 the stand. 21 22 23 24 e 25 COMMISSIONER REDFORD: Thank you. 774 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 NORWOOD (Com)Avista e e 1 RANDY LOBB, 2 produced as a witness at the instance of the Staff, being first 3 duly sworn, was examined and testified as follows: 4 5 DIRECT EXAMINATION 6 7 BY MR. HOWELL: 8 Q.Could you state your name and spell your last 9 name for the record, please? 10 A.It's Randy Lobb, L-O-B-B. 11 Q.And, Mr. Lobb, whom are you employed by and in 12 what capacity? 13 A.I'm employed by the Idaho Public Utilities 14 Commission. I am the administrator of the utilities division. 15 Q. And are you the same Randy Lobb that filed 16 supporting testimony with the Stipulation dated June 24, 17 2009? 18 A.Yes. 19 Q.Do you have any changes and corrections to that 20 testimony? 21 22 A.I do not. Q.And if I were to ask you the questions laid out 23 in that pre filed testimony, would your answers be the same? 24 e 25 A.Yes, they would. MR. HOWELL: With that, Mr. Chairman, I would 775 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 LOBB (Di)Staff e e 1 move to mark his -- well, we've spread the testimony on the 2 record, but I would make Mr. Lobb available for 3 cross-examination. 4 COMMISSIONER REDFORD: Why don't we start with 5 Mr. Creamer today. 6 MR. CREAMER: No questions, Mr. Chairman. 7 MR. MILLER: Nor I, Mr. Chairman. 8 COMMISSIONER REDFORD: Mr. Purdy. 9 MR. PURDY: No quest ions. 10 MS. BRIDGE: No questions. 11 COMMISSIONER REDFORD: Okay. Mr. Meyer. 12 MR. MEYER: No questions. 13 COMMISSIONER REDFORD: Does the Commission have 14 any questions? 15 COMMISSIONER SMITH: I don't. 16 COMMISSIONER KEMPTON: No questions. 17 COMMISSIONER REDFORD: No questions. Since there 18 haven't been any questions, there's no reason to ask if you 19 have anything to bring up as a result of the no questions, so 20 thank you, Mr. Lobb. You may step down. 21 22 23 24 e 25 (The witness left the stand.) COMMISSIONER REDFORD:I will ask again,does that conclude your case? MR.HOWELL:It does,Mr.Chairman. COMMISSIONER REDFORD:As a result of the 776 HEDRICK COURT REPORTING COLLOQUY P.O.BOX 578,BOISE,ID 83701 e e 20 21 22 23 24 e 25 1 conclusion of the case of the Applicant and Staff, does -- I'll 2 ask again, do any of the Intervenors wish to bring any matter 3 to the attention of the Commission or do you wish to present 4 any testimony? 5 None? Hearing none, then we'll deem this 6 Stipulation and Motion having been fully submitted, and we 7 will, wi thin the statutory and procedural limit, render our 8 Decision accordingly. 9 If there's nothing else to come before the 10 Commission, why, we will stand adj ourned and thank you very . 11 much, everyone. 12 MR. MEYER: Thank you. 13 (Avista Exhibit Nos. 1 through 13, Staff 14 Exhibit Nos. 101 through 135, Idaho Forest Group Exhibit 15 No. 201, and Clearwater Paper Corporation Exhibit Nos. 3Q1 16 through 303, having been premarked for identification, were 17 admi tted into the record.) 18 (The hearing adjourned at 9:56 a.m.) 19 777 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 COLLOQUY e e 20 21 22 23 24 e 25 1 AUTHENTICATION 2 3 4 This is to certify that the foregoing is a 5 true and correct transcript to the best of my ability of the 6 proceedings held in the matter of the Application of Avista 7 Corporation for the authority to increase its rates and charges 8 for electric and natural gas service to electric and natural 9 gas customers in the state of Idaho, Case Nos. AVO-E-09-01 and 10 AVU-G-09-01, commencing on Monday, June 29, 2009, at the 11 Commission Hearing Room, 472 West Washington, Boise, Idaho, and 12 the original thereof for the file of the Commission. 13 Accuracy of all prefiled testimony as 14 originally submitted to this Reporter and incorporated herein 15 at the direction of the Commission is the sole responsibility 16 of the submitting parties. 17 18 19 ~~II"""""" ..........\. MUR.t ....~~ WENDY J. MURR , No ary i~~...-~J- "l! in and for th tate of Idaho, i~i.i ~#lY \. \residing at Meridian, Idaho. i~\~°tl.tI (,) ¡My Corrission expires 2-5-2014. '! 0.""; 10 IIdaho CSR No. 475';. PUv .. t: I.~ ~ ..-c"ftf~.~ .11' ~ \,v !l~"I"", ATE O'i .......... ~6'eU¡¡a~liilílll." 778 HEDRICK COURT REPORTING P. O. BOX 578, BOISE, ID 83701 AUTHENTICATION