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HomeMy WebLinkAbout20100525Staff 71-106 to AVU.pdfDONALD L. HOWELL, II DEPUTY ATTORNEY GENERAL IDAHO PUBLIC UTILITIES COMMISSION PO BOX 83720 BOISE, IDAHO 83720-0074 (208) 334-0312 IDAHO BAR NO. 3366 £'11: í'f-r\.~..Vi. 26m"AY 25 AM 9: 59 KRISTINE A. SASSER DEPUTY ATTORNEY GENERAL IDAHO PUBLIC UTILITIES COMMISSION PO BOX 83720 BOISE, IDAHO 83720-0074 (208) 334-0357 BAR NO. 6618 Street Address for Express Mail: 472 W. WASHINGTON BOISE, IDAHO 83702-5918 Attorneys for the Commission Staff BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION ) OF A VISTA CORPORATION DBA A VISTA ) UTILITIES FOR THE AUTHORITY TO ) INCREASE ITS RATES AND CHARGES FOR ) ELECTRIC AND NATURAL GAS SERVICE )IN IDAHO. ) ) ) ) CASE NO. AVU-E-lO-l AVU-G-I0-l FOURTH PRODUCTION REQUEST OF THE COMMISSION STAFF TO A VISTA CORPORATION The Staff of the Idaho Public Utilities Commission, by and through its attorney of record, Kristine A. Sasser, Deputy Attorney General, requests that Avista Corporation (Company; A vista) provide the following documents and information on or before TUESDAY, JUNE 15, 2010. FOURTH PRODUCTION REQUEST TO AVISTA 1 MAY 25, 2010 This Production Request is to be considered as continuing, and A vista is requested to provide, by way of supplementary responses, additional documents that it or any person acting on its behalf may later obtain that wil augment the documents produced. Please provide answers to each question, supporting workpapers that provide detail or are the source of information used in calculations. The Company is reminded that responses pursuant to Commission Rules of Procedure must include the name and phone number of the person preparing the document, and the name, location and phone number of the record holder and, if different, the witness who can sponsor the answer at hearing if need be. Reference IDAPA 31.01.01.228. In addition to the written copies provided as response to the questions, please provide all Excel and electronic fies on CD with formulas activated. REQUEST NO. 71: Please demonstrate that investors supply the working capital funds for the utility to operate during the lag period (reference Staff Production Request No. 16). REQUEST NO. 72: In Christie's testimony, page 4, lines 18-21, he says "Therefore, a portion of cushion gas is estimated to be non-recoverable from the facility and that portion is depreciated over the estimated life of the facility (account 352.3-Nonrecoverable natural gas)." Please explain how this cushion gas is valued (i.e.-original cost over the life of the facilty). REQUEST NO. 73: In Christie's testimony, page 7, lines 20-22, regarding the assignment of Jackson Prairie (JP) capacity costs to Oregon customers vs. Idaho customers, he says "This proportion was based on forecasted jurisdictional sales volumes for the Nov. 2008- Oct. 2009 period." Please explain why you used a sales volume forecast associated with a 2007 deliverabilty expansion (FERC docket CP06-412-000), instead of using actual sales volumes or a more recent forecast. In your response, please provide an executable electronic comparison of forecasted vs. actual sales volumes for the Nov. 2008 - Oct. 2009 period. REQUEST NO. 74: In Christie's testimony, page 10, lines 10-15, regarding the estimated value of the seasonal Sumas price spread, he says "Page 1, Schedule 1 of Exhibit No. 11 shows the present monthly forward prices at Sumas over the next three years. These forward FOURTH PRODUCTION REQUEST TO AVISTA 2 MAY 25, 2010 prices reflect the purchase price today for gas delivered during that future month. As shown, the average seasonal price spread over the next three years is $1.79 Dth." Please explain: a. Why you decided to use monthly forward prices over the next three years for estimating the value of the seasonal price spread. b. Why you did not weight the seasonal price spread (including and excluding transportation) of all the basins used to supply JP storage. c. Why you did not use a similar weighting factor to figure 1.3 in the recent IRP, or in your short term gas procurement planning, to incorporate the spread (risk margin) built into forward market prices. d. Why you did not use historical seasonal prices for estimating the value of the seasonal Sumas price spread. REQUEST NO. 75: Please provide all of the executable electronic workpapers used in Christie's testimony to estimate the value of the seasonal Sumas price spread shown on Exhibit No. 11, Schedule 1, page 1. REQUEST NO. 76: In Christie's testimony, page 12, lines 11-15, regarding the operational benefits storage provides, he says "This flexibilty is critical to maintaining mandated tolerances on pipelines and allows for active supply management during pipeline entitlements and operational flow orders. This level of management reduces the likelihood of incuring pipeline penalties." In executable electronic format, please provide the number, date, and duration of entitlements and operational flow orders over the last 10 years. As par of your response, explain how storage has been utilzed in these situations to avoid pipeline penalties. REQUEST NO. 77: In Christie's testimony, page 15, lines 15-20, regarding how the cost of injections during the pro forma period are estimated, he says "Injections into storage are priced at the 'forward' gas price for that month, i.e., the price at which gas can be purchased at today for delivery in a future month. In estimating the cost of injections during the pro forma period, the Company used a 60-day average of forward prices from November 5, 2009 to February 1,2010." Please explain why a 60-day average of forward prices was used to FOURTH PRODUCTION REQUEST TO AVISTA 3 MAY 25, 2010 determine the cost of injections instead of a 30-day average, and why November 5, 2009 to Februar 1, 2010 was selected instead of some earlier timeframe when the majority of injections are actually taking place (i.e.-summer or early fall). REQUEST NO. 78: In Knox's testimony, page 8, lines 14-17, she says "The natural gas weather adjustment is developed from a regression analysis of ten years of biled usage-per- customer and biling period heating degree-day data." Please explain why a regression analysis of ten years was used. As part of your response, please include an executable electronic copy of your regression analysis. REQUEST NO. 79: In Ehrbar's testimony, page 5, lines 4-7, regarding why the Company is proposing an increase of such magnitude in the customerlbasic charge, he says "A significant portion of the Company's costs are fixed and do not vary with customer usage. These costs include distribution plant and operating costs to provide reliable service to customers." (Emphasis added). He then says this again on page 32, lines 20-23. Given the recent outage on May 3rd that left 18,000 customers without power throughout the Eastern Washington and North Idaho service territory, please explain what the Company's criteria is for determining the performance reliabilty it provides to customers. Please include as part of your response an explanation of: a. How the Company quantifiably measures its reliabilty performance. b. How the Company incorporates the measurement parameters included in the "IEEE Guide for Electric Power Distribution Reliabilty" to make distribution plant and operating investment decisions. c. How the Company uses its Outage Management System (OMS) to determine what, where and how much improvement is needed. d. How the Company measures circuit performance, determines its tree trimming cycle, determines outage locations, dispatches crews to trouble areas, and identifies outages as uncontrollable events. e. The causes of momentar and sustained outages over the last 5 years. FOURTH PRODUCTION REQUEST TO AVISTA 4 MAY 25, 2010 REQUEST NO. 80: In Ehrbar's testimony, page 31, lines 4-8, regarding the proposed changes to Schedule 111, he says "The present rates for Schedules 101 and 1 1 1 provide guidance for customer placement: customers who generally use less than 200 therms/month should be placed on Schedule 101, customers who consistently use over 200 therms per month should be placed on Schedule 1 i I." Given guidance for customer placement is 200 therms, please explain why the "present (breakeven) relationship between the schedules" continues to be 192 therms. If the Company has apprehensions because of customers shifting, please explain why it has not designated Schedule 101 as "residential" or made slight moves toward 200 therms as the breakeven point. REQUEST NO. 81: Please provide an executable electronic workpaper summarizing by year, over the last five years, the customers who have transferred between Schedule 111 and Schedule 101. As par of this summary, please provide the annual median monthly usage and the average monthly usage of these customers. REQUEST NO. 82: In Ehrbar's testimony, page 32, lines 9-15, regarding the Company's proposal to change Schedule 150 concurrent with the rate case, he says "The rates contained in Purchase Gas Cost Adjustment Schedule 150 have been incorporated into the present and proposed rates." He then goes on to say "present rates under the schedule have been zeroed-out and included in the Company's proposed general service tariffs." Please provide a detailed explanation and all supporting executable electronic analyses used to support the Company's decision to zero-out Schedule 150 and include it in base rates. In your response, please include an explanation of how gas costs in base rates wil change, and how customers wil benefit. REQUEST NO. 83: In Ehrbar's testimony, page 36, lines 8-14, regarding why increasing the basic charge won't send the wrong price signal through the energy rates, he says "one might argue that a lower basic charge results in higher commodity prices and a stronger price signal related to volume usage. However, sending a price signal to customers through a residential rate design that contains a two tier increasing block rate for electric (natural gas has FOURTH PRODUCTION REQUEST TO AVISTA 5 MAY 25, 2010 just one volumetric rate) was developed just for that reason." Please explain how the proposal to increase residential natural gas customers' basic charge by nearly 69% and maintaining one volumetric rate where the increase is approximately 6%, preserves the "ability to provide price signals for conservation purposes." REQUEST NO. 84: In Ehrbar's testimony, page 37, lines13-17, regarding the Company's proposal having adequate price signals, he says "For natural gas, the Company included several forecasts in its 2009 Integrated Resource Plan which, for the most par, all show forecasted natural gas prices at Henry Hub over the next ten years being lower than Avista's retail rates." Please explain the forecasts in Figure 1.3 of the 2009 IRP. Also include an explanation of how the NYMEX weightings were derived and applied. REQUEST NO. 85: In Ehrbar's testimony, page 42, lines 8-13, he explains that "traditional thinking might lead one to believe that a low income electric customer would tend to be a low user of electricity," and then he goes on to say "Although the Company has not conducted a demographic survey of its customers in recent years, the limited data that we do have would suggest that just the opposite is true." Please provide the limited data you have in executable electronic format suggesting that "just the opposite is true." In your response, please explain why you have not completed a demographic surveyor analysis to confirm your assumption. REQUEST NO. 86: In Ehrbar's testimony, page 42, lines 16-22, he says "many low income customers, I believe, tend to stil use electricity for space and water heating. These customers, in my view, tend to live in aparments (which in Avista's service territory predominantly have electric space and water heat), live in areas where natural gas is not available, or live in areas with natural gas, but cannot afford to convert." Please provide all the data in electronic executable format that leads you to believe these assumptions are true. REQUEST NO. 87: In Ehrbar's testimony, page 43, lines 13-17, regarding the implications of the Company's proposed rate design on limited income natual gas customers, he FOURTH PRODUCTION REQUEST TO AVISTA 6 MAY 25, 2010 says "Data gathered as par of the review of the Company's Washington natural gas Decoupling Mechanism showed that limited income natural gas customers tend to use slightly less natural gas (58 therms per month) than the traditional residential customer (63 therms per month)." Please provide all the data "gathered as par of the review of the Company's Washington natural gas Decoupling Mechanism," specifically data comparing income levels and demographics of customers to natural gas usages. REQUEST NO. 88: In Ehrbar's testimony, pages 38-44, he prepares several tables ilustrating the impact the proposed rate design changes would have on customers, please provide these tables in executable electronic format. As par of your response, please include all the data used to determine low, average, and high usage levels. REQUEST NO. 89: In the case of a customer receiving both electric and gas service, please provide a detailed explanation summarizing all of the economic efficiencies gained by providing electric and natural gas service. In your response, please provide an executable electronic summary ilustrating each class's annual percentage of Idaho dual service customers over the last 10 years. REQUEST NO. 90: Please explain how you have determined the Schedule 111 four-tier declining block-rate differentials. In your response, explain why these differentials have been chosen. Include all executable electronic workpapers associated with these decisions (e.g. - bil frequency study, load factor study, etc.). REQUEST NO. 91: In Case AVU-G-09-01, the Company changed from a 25-year to a 30-year average for determining "normal" heating and cooling degree days reported for each month. Since the case settled without a decision regarding the change, please provide a detailed explanation and all supporting executable electronically formatted analysis (with the exception of the 2007 & 2008 "Factors WC_1209_w_30 yr rollng") ilustrating: a. Why a 30-year average more accurately captures "normal" heating and cooling degree days than a 25-year average. If less variability is the determining factor, FOURTH PRODUCTION REQUEST TO AVISTA 7 MAY 25, 2010 include an explanation of why this should be the determining factor, even though it is important to capture recent climactic cycles and the Company continues to fie frequent rate cases. b. A comparison ofthe change from a 25-year to a 30-year average for normal degree days. In your response include all comparisons ilustrating how the final Revenue Requirement is different with respect to the change from a 25-year to a 30-year average for normal degree days. REQUEST NO. 92: Please provide a comparative explanation and analysis ilustrating the Company's interpretation of the similarities and differences between the services Advantage IQ provides vs. A vista Utilities DSM department. In your response, please explain how these similarities and differences might evolve over time. REQUEST NO. 93: Please provide copies of the planed Coyote Spring 2 Inventory Audit and the planned Green House Gas Inventory Audit (reference Avista's response to Audit Request No.9) when they are available. Staff understands that these audits may be completed in the 3rd or 4th quarter of2010. REQUEST NO. 94: Please provide a detailed discussion and the underlying documentation related to the decision to conduct a Coyote Springs 2 Inventory Audit. REQUEST NO. 95: Please provide copies of the "Unusual Journal Entry Analysis" performed quarterly for 2008,2009, and 2010 to date. REQUEST NO. 96: Please provide a list, in Excel format with formulas activated, of all charges to the following accounts for 2009. The list should include FERC account, FERC subaccount, date, vendor, amount, a brief description, and some method of tracking, i.e. voucher number or invoice number. 598000 813000 824000 DISTRIBUTION MAINT-MISC OTHER EXPENSE NAT GAS STORAGE-OTHER EXPENSES FOURTH PRODUCTION REQUEST TO AVISTA 8 MAY 25, 2010 837000 874000 879000 880000 887000 889000 892000 894000 903000 905000 908000 909000 910000 912000 913000 916000 921000 922000 923000 924000 925100 925200 925300 928000 930100 930200 935000 NA T GAS STRGE MAINT -OTHER EQUIP DIST EXPENSES OPER-MAINS&SVCS EXP DIST EXP OPER-CUST INSTALL EXP DIST EXP OPER-OTHER EXPENSES DIST EXP MAINT-MAINS DIST EXP MAINT-MEA & REG STAT EQP GEN DIST EXP MAINT-SERVICES MAINT OF OTHER DISTRIBUTION EQUIPMENT CUST ACCOUNTS EXP-RECORDS & COLLECT MISC CUST AC EX CUST SVC & INFO EXP-CUST ASST EXP INFO AND INSTRUCT ADVERT EXP CUST SVC & INFO EXP-MISC SALES EXPENSES-DEMONSTRATING ADVERTISING EXPENSE MISC SALES EXPENSES OFFICE SUPPLIES & EXPENSES ADMINISTRA TIVE EXPENSE TRANSFERRD OUTSIDE SERVICES EMPLOYED PROPERTY INSURANCE INJURIES & DAMAGES NON PB INJURIES & DAMAGES PB INJURIES & DAMAGES PB CLEARIG REGULATORY COMMISSION EXPENSES GENERAL ADVERTISING EXPENSE MISC GENERAL EXPENSE MAINT OF STRUCTURE & IMPROVEMENTS REQUEST NO. 97: Please provide a list of all outside legal expenses incured by the Company during 2009 and 2010 to date, with a brief description of the services performed. If services were performed in support of a docketed state or federal court or regulatory action, please identify the case name, case number and jurisdiction. REQUEST NO. 98: Please provide a list, in Excel format, of all charges to the Idaho DSM rider accounts for natural gas and electricity for 2008 and 2009. Please include date, vendor, amount, voucher number, and a brief description of the expense. Please separate the expenses by DSM program offering and by year. FOURTH PRODUCTION REQUEST TO AVISTA 9 MAY 25, 2010 REQUEST NO. 99: Please provide copies of the 2009 and 2010 actuarial reports for the Company's pension plan. REQUEST NO. 100: Please identify any costs associated with the Rearden Project referenced in Company witness Storro' s testimony that are included in the test year. Please identify all costs included by FERC account. REQUEST NO. 101: Company witness Storro, page 11, states, "In addition, the Company continues to place met towers at other locations within its service terrtory to collect wind data and explore other sites for potential development." Please identify all costs associated with the placement of the met towers that are included in the test year. Please identify all costs included by FERC account. REQUEST NO. 102: Please provide a detailed description of the Clark Fork PM&E measures and projects for 2009 and those planned and/or implemented for 2010. Please provide a list, in Excel format, of all charges, by FERC account, for the 2009 PM&E measures and projects. The list should include the date, vendor, amount, a brief description, and some method of tracking, i. e. voucher number or invoice number. REQUEST NO. 103: For the Clark Fork Project, please provide a schedule showing the various PM&E measures and projects, by calendar year, for thePM&E's, including the cost for each project for the years 2002 through 2008. REQUEST NO. 104: Please describe how actual Clark Fork Project PME expenditures from 2002 through 2009 compare to the expenditures originally specified for the period under the current project license. REQUEST NO. 105: Please provide a narrative description of how the collaborative group decides which projects to approve, and how much to expend per project. FOURTH PRODUCTION REQUEST TO AVISTA 10 MAY 25, 2010 REQUEST No. 106: Please provide Staff access to any and all reports describing the Clark Fork PM&E projects that have been planned or implemented. ~ Dated at Boise, Idaho, this ~5day of May 2010. rlcn ~rd.~ Kristine A. Sasser Deputy Attorney General Technical Staff: Patricia Harms171 Matt Elam172-92 Kathy Stockton/93-1 06 i :umisc: prodreq/avue ~ 10. i ksphmekls prod req4.doc FOURTH PRODUCTION REQUEST TO AVISTA 11 MAY 25, 2010 CERTIFICATE OF SERVICE I HEREBY CERTIFY THAT I HAVE THIS 25TH DAY OF MAY 2010, SERVED THE FOREGOING FOURTH PRODUCTION REQUEST OF THE COMMISSION STAFF TO AVISTA, IN CASE NOS. AVU-E-I0-0l AVU-G-IO-Ol, BY E-MAILING AND MAILING A COPY THEREOF, POSTAGE PREPAID, TO THE FOLLOWING: DAVID J MEYER VP & CHIEF COUNSEL A VIST A CORPORATION PO BOX 3727 SPOKANE WA 99220-3727 E-MAIL: david.meyerCfavistacorp.com PETER J RICHARDSON GREG M ADAMS RICHARDSON & O'LEARY 515 N 27TH ST BOISE ID 83702 E-MAIL: peterCfrichardsonandoleary.com gregCfrichardsonandoleary.com DEAN J MILLER MCDEVITT & MILLER LLP PO BOX 2564 BOISE ID 83701 E-MAIL: joeCfmcdevitt-miler.com ROWENA PINEDA ID COMMUNITY ACTION NETWORK 3450 HILL ROAD BOISE ID 83703 E-MAIL: RowenaCfidahocan.org BRAD MPURDY ATTORNEY AT LAW 2019N17THST BOISE ID 83702 E-MAIL: bmpurdyCfhotmail.com KEN MILLER SNAKE RIVER ALLIANCE PO BOX 1731 BOISE ID 83701 E-MAIL: kmilerCfsnakeriverallance.org KELL YO NORWOOD VP STATE & FED REG A VIST A CORPORATION PO BOX 3727 SPOKANE WA 99220-3727 E-MAIL: kelly.norwoodCfavistacorp.com HOWARD RAY CLEARWATER PAPER CORP 803 MILL ROAD PO BOX 1126 LEWISTON ID 83501-1126 E-MAIL: howard.rayCfclearaterpaper.com LARRY CROWLEY ENERGY STRATEGIES INSTITUTE 5549 S CLIFFS EDGE AVE BOISE ID 83716 E-MAIL: crowleylaCfaol.com LEEANNHALL 3518 S EDMUNDS ST SEATTLE WA 98118 BENJAMIN J OTTO ID CONSERVATION LEAGUE PO BOX 844 BOISE ID 83701 E-MAIL: bottoCfidahoconservation.org ROB PLUID PRESIDENT NORTH IDAHO ENERGY LOGS PO BOX 571 MOYIE SPRINGS ID 83845 E-MAIL: robpluidCfgmail.com CLARK FAIRCHILD VICE PRESIDENT NORTH IDAHO ENERGY LOGS PO BOX 571 MOYIE SPRINGS ID 83845 E-MAIL: energylogsCfgmaiL.com TOM OXFORD SECRETARY TREASURER NORTH IDAHO ENERGY LOGS E-MAIL: oxfordCfmeadowcrk.com (ELECTRONIC SERVICE ONLY) -.~SECRET Y