HomeMy WebLinkAbout20150407Simplot 19-22 to IPC.pdfPeter J. Richardson (ISB No. 3195)
Gregory M. Adams (ISB No. 7454)
Richardson Adams, PLLC
515 N. 27th Street
Boise,Idaho 83702
Telephone: (208) 938-7900
Fax: (208) 938-7904
peter@richardsonadams. com
greg@richardsonadams. com
Attorneys for the J. R. Simplot Company
IN THE MATTER OF IDAHO POWER
COMPANY'S PETITION TO MODIFY
TERMS AND CONDITIONS OF
PROSPECTIVE PURPA ENERGY SALES
AGREEMENTS.
BEFORE THE
IDAHO PUBLIC UTILITTES COMMISSION
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CASE NO. IPC.E.15.O1
SECOND PRODUCTION REQUESTS
OF THE J. R. STMPLOT COMPANY
Pursuant to Rule 225 of the Rules of Procedure of the Idaho Public Utilities Commission
(the "IPUC" or o'Commission"), the J.R. Simplot Company ("Simplot") by and through its
attorneys of record, Gregory M. Adams and Peter J. Richardson, hereby requests that Idaho
Power Company ("Idaho Power" or the "Company") provide responses to the following requests
for production.
This production request is to be considered as continuing, and the Company is requested
to provide by way of supplementary responses additional documents that it or any person acting
on its behalf may later obtain that will augment the documents produced.
Please provide one physical copy and electronic-mail copies of the responses to Mr.
Richardson and Mr. Adams at the addresses noted above. Please provide an additional
J.R. SIMPLOT COMPANY'S SECOND PRODUCTION REQUEST
IPC-E-15-01
PAGE I
electronic copy, or if unavailable a physical copy, to Dr. Don Reading at: 6070 Hill Road, Boise,
Idaho 83703, Tel: (208) 342-1700; Fax: (208) 384-l5l l; dreading@mindspring.com.
For each item, please indicate the name of the person(s) preparing the answers, along
with the job title of such person(s) and the witness who can sponsor the answer at an evidentiary
hearing.
REOUEST FOR PRODUCTION NO. 19
Reference the Company's response to IPUC Staff s production request no. 14, indicating that the
Company's single-run methodology does not take into account instances where the Company
makes off-system sales at a loss and instead if there are no displaceable resources
available in a specific hour, the energy rate is set to $0 in that hour.
a. Please explain if modifications could be made to the single-run methodology that would
accurately account for instances when the Company makes off-system sales at a loss due to
PURPA generation. Please explain what modifications could be made.
b. Please recalculate the avoided cost rates provided in response to J.R. Simplot Co.'s
request for production no. a(d) and (e) using the modification.
REOUEST FOR PRODUCTION NO. 20
Reference the Company's response to IPUC StafPs production request no. 14, indicating that the
Company's single-run methodology does not take into account instances where the Company
makes off-system sales at a loss and instead if there are no displaceable resources
available in a specific hour, the energy rate is set to $0 in that hour.
a. Please explain whether the double-run tRP methodology in effect prior to adoption of the
single run methodology would account for instances when the Company makes off-system sales
at a loss due to PURPA generation. If not, please explain why not and provide an illustrative
example with supporting work papers.
b. Please recalculate the avoided cost rates provided in response to J.R. Simplot Co.'s
request for production no. a(d) and (e) using the double-run methodology.
J.R. STMPLOT COMPANY'S SECOND PRODUCTION REQUEST
rPC-E-15-01
PAGE 2
e.
f.
REOUEST FOR PRODUCTION NO. 2I
For each of the QF projects that make up the 461 MW of executed solar contracts, please provide
the following information:
a. The date by which the project was required to provide delay default security in the FESA.b. Any extensions in the date specified in subpart a. granted by Idaho Power.
Whether the project provided the delay default security by the dates specified in a. and b.
Whether Idaho Power has issued a notice of default of the FESA.
Whether ldaho Power has issued a notice of termination of the FESA.
lf notices specified in subparts (d) and (e) have been supplied, explain the bases upon
which ldaho Power relies to conclude the project is likely to be brought online.
REOUEST FOR PRODUCTION NO. 22
Reference the Company's response to J.R. Simplot Co.'s production request no. 4(a)-(c),
indicating that of the 48 prospective solar QFs comprising the 885 MW of solar QFs that were in
the queue at the time Idaho Power filed the application in this case, 23 had not even provided
enough information to obtain indicative pricing and only one project had provided enough
information to Idaho Power to obtain a draft FESA under the IPUC tariff.
a. Please provide an update to the table supplied in response to request no. 4(a)-(c) and for
the projects that have not provided enough information to even obtain indicative pricing please
also explain what information was supplied to Idaho Power that leads it to believe the project
was likely to be constructed and sell its output to Idaho Power. Please also provide an update of
the number of projects and MW capacity that are still in the PURPA queue and actively seeking
FESAs.
b. Please state the number of projects and MW of capacity that have provided Idaho Power
with evidence that they possess site control in the form of real property rights to develop the
project.
c. Does Idaho Power agree that there is insuffrcient information to conclude that the 880
MW of projects are likely to be built and sell their output to Idaho Power? If not, please explain
what information or basis Idaho Power relies upon and provide all supporting documents.
REQUEST FOR PRODUCTION NO. 23
Reference the Company's response to IPUC Staff s production request no. 18, indicating that
Idaho Power does not believe long-term, locked-in price estimates could potentially benefit
Idaho Power in some circumstances. Please explain why long-term locked-in prices that are
below the actual avoided costs for energy and capacity at the time of delivery would not benefit
customers.
J.R. SIMPLOT COMPANY'S SECOND PRODUCTION REQUEST
IPC-E-15-01
PAGE 3
REOUEST FOR PRODUCTION NO. 22
Reference the Company's response to J.R. Simplot Co.'s production request no. 11, providing a
non-responsive answer to the request that Idaho Power provide Mid-Columbia index prices for
the years 1999, 2000, 2001, and 2002.
a. Does lda]ro Power possess information or data regarding the Mid-Columbia index prices
for the years I 999, 2000, 2001, and 2002?
b. Please provide all data in Idaho Power's possession regarding Mid-Columbia index
prices for the years 1999, 2000, 2001, and2002.
DATED thisfta day of April, 2015.
Of Attomeys for the J.R. Simplot
Company
J.R. SIMPLOT COMPANY'S SECOND PRODUCTION REQUEST
IPC-E-15-01
PAGE 4
N ADAMS, PLLC
CERTIFICATE OF SERVICE
I HEREBY CERTIFY, that, in accordance with IPUC Order 33253, on theffrday of
April, 2015, a true and correct copy of the within and foregoing SECOND PRODUCTION
REQUEST OF THE J.R. SIMPLOT COMPANY was served as one printed copy upon the
Commission and by electronic mail to the following individuals:
Jean D. Jewell, Secretary
Idaho Public Utilities Commission
472 West Washington
Boise, Idaho 83702
jean j ewell@puc.idaho. gov
Donald L. Howell, II
Daphne Huang
Idaho Public Utilities Commission
472West Washington
Boise,Idaho 83702
don.howell@puc. idaho. gov
daphne. huan g@puc. idaho. gov
C. Tom Arkoosh
Twin Falls Canal Company
North Side Canal Company
American Falls Reservoir District #2
Arkoosh Law Offices
802 W Bannock Ste 900
Boise ID 83702
tom. arkoosh@arkoosh. com
Erin Cecil (Electronic Copies Only)
erin.cecil@arkoosh.com
Ben Otto
Idaho Conservation League
710 N 6th
Boise ID 83702
botto@ idahoconservation.ors
Matt Vespa
Sierra Club
85 Second St., 2nd Floor
San Francisco, CA 94105
matt. vespa@ sierraclub. ore
X Hand Delivery
_U.S. Mail, postage pre-paid
_ Facsimile
-_ Electronic Mail
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T
x
J.R. SIMPLOT COMPANY'S SECOND PRODUCTION REQUEST
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Leif Elgethun, PE, LEED AP
Intermountain Energy Partners, LLC
PO Box 7354
Boise, ID 83707
lei f@sitebasedenergy. com
Dean J Miller
McDevitt & Miller LLP
PO Box 2564
Boise ID 83702
ioe@mcdevitt-miller.com
Daniel E Solander
Rocky Mountain Power
201 South Main Street Ste 2400
Salt Lake City UT 841I I
daniel. solander@pacifi corp. com
datarequest@pacifi corp. com
Ted Weston
Rocky Mountain Power
201 South Main Ste 2300
Salt Lake City UT 84111
ted. weston@paci fi com. com
Kelsey Jae Nunez
Snake River Alliance
PO Box l73l
Boise ID 83701
knunez@snakeriveralliance.org
Donovan E. Walker
Idaho Power Company
l22l West Idaho Street
Boise,ID 83702
dwalker@ idahopower. com
dockets@ idahopower. com
Clint Kalich
Avista Corporation
l4l I E Mission Ave MSC-7
Spokane WA99202
clint. kalich@avistacom. com
_ Hand Delivery
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_ Facsimile
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Facsimile
Electronic Mail
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Facsimile
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J.R. SIMPLOT COMPANY'S SECOND PRODUCTION REQUEST
IPC-E-15-01
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Michael Andrea
Avista Corporation
l41l E Mission Ave MSC-23
Spokane WA99202
michael.andrea@avistacorp.com
Eric L. Olsen
Racine, Olson, Nye, Budge & Bailey, Ch.
PO Box 1391
Pocatello, ID 83204-1 391
elo@racinelaw.net
Anthony Yankel
29814 Lake Road
Bay Village, OH 44140
tony@yankel.net
Ronald L. Williams
Williams Bradbury, PC
l0l5 W. Hays
Boise, lD 83702
ron@.williamsbradbury. com
Irion Sanger
Sanger Law, PC
I117 SW 53'd Ave
Portland, OR 97215
irion@sanqer-law.com
Andrew Jakura
Camco Clean Energy
9360 Station St, Suite 375
Lone Tree, CO 80124
andrew j akura@camcocleanenergy. com
_ Hand Delivery
_U.S. Mail, postage pre-paid
_ Facsimile
X Electronic Mail
_ Hand Delivery
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X Electronic Mail
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_ Hand Delivery
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_ Hand Delivery
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_ Facsimile
X Electronic Mail
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_ Facsimile
X Electronic Mail
J.R. SIMPLOT COMPANY'S SECOND PRODUCTION REQUEST
IPC-E-15-01
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