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1 BOISE, IDAHO, WEDNESDAY, AUGUST 29, 2001, 1:15 P. M.
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4 COMMISSIONER KJELLANDER: We'll go back on
5 the record and when we left, Mr. Lord had been sworn in and
6 the testimony had been spread across the record and I
7 believe we are ready for cross with Idaho Power and
8 Mr. Ripley.
9 MR. RIPLEY: We have no questions.
10 COMMISSIONER KJELLANDER: You know, we could
11 have done that before lunch.
12 MR. RIPLEY: I didn't know that before lunch.
13 COMMISSIONER KJELLANDER: Okay, are there any
14 questions from the Commission?
15 COMMISSIONER HANSEN: Yeah, I've got a
16 couple.
17 COMMISSIONER KJELLANDER: You've got a couple
18 of questions? Okay, Commissioner Hansen.
19 COMMISSIONER HANSEN: I mean, Mr. Lord, you
20 came a long ways.
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CSB REPORTING COLLOQUY
Wilder, Idaho 83676
1 THOMAS J. LORD,
2 produced as a witness at the instance of the Staff, having
3 been previously duly sworn, resumed the stand and was
4 further examined and testified as follows:
5
6 EXAMINATION
7
8 BY COMMISSIONER HANSEN:
9 Q I guess just a couple of questions. On
10 page 2 of your testimony, lines 21 through 24, I take it
11 you're saying that Mr. Gale's testimony indicates that
12 Idaho Power won't be doing any real hedging for purchases
13 beyond 30 days in the future and I'm just kind of curious,
14 can you reference where Mr. Gale said that directly or are
15 you just assuming that's what he meant?
16 A Actually that has been clarified since is
17 that there was the possibility to infer that certain
18 hedging decisions, that it had changed. In discussions
19 with the Company since then and in response to Staff
20 questions, that has been clarified to -- and what I said
21 was that indicates I did not know whether that was or was
22 not. In response to Staff requests, that point has been
23 cleared up that yes, in certain circumstances long-term
24 hedging may occur.
25 Q Okay. On page 4, lines 10 and 11 of your
461
CSB REPORTING LORD (Com)
Wilder, Idaho 83676 Staff
1 testimony, you note that the PCA is not an effective
2 hedging mechanism. Does it offer any protection against
3 price risk in your mind?
4 A No. All it does is spread the liability for
5 that price risk over a future period of time such that all
6 of the price risk is absorbed by the customer if the PCA is
7 fully authorized and subject to such things as the 90-10
8 sharing, but that portion of the price risk to which the
9 customers are exposed will be spread across a future period
10 and in essence levelized.
11 Q A couple more questions I had. Referring to
12 your testimony on page 19 and 20, can you help me
13 understand how IES can profit from knowledge of Idaho Power
14 Company's future actions?
15 A This is the, and the term I used was, front
16 running in markets where liquidity is constrained, that is,
17 markets where the amount of potential transactions exceed
18 the ability to transact at any given time without moving
19 the price of the market. In those type of markets knowing
20 when someone who will have to do large trades will have to
21 transact gives you a better concept of the likelihood of
22 price direction and therefore gives you a greater
23 probability of being correct in your speculative decisions
24 on which way the market price will move.
25 Q I see, and the last question is in reference
462
CSB REPORTING LORD (Com)
Wilder, Idaho 83676 Staff
1 to page 21, lines 18 through 20, you say that hedging
2 activity by Idaho Power Company could reduce benefits to
3 IES, so are you saying that as Idaho Power Company expends
4 resources on hedging activities it would reduce the
5 benefits of IES?
6 A Assuming, and this is potential, this was
7 discussed in the context of what might occur, if that
8 knowledge, if you would, of when transactions will occur is
9 reduced by the hedging activities of IPC such that IPC does
10 not have to be in the market concurrently with IES, it is
11 possible that that would reduce IES's ability to forecast
12 potentially the direction of price.
13 Q So you're saying there could be a conflict
14 there?
15 A I'm saying that the hedging could in essence
16 reduce potentially that conflict.
17 Q I see.
18 A Assuming that they are actually acting in
19 that manner, which I said this was done in the context of
20 what could occur. The information is not there and has not
21 been presented to me to make any statement as to whether it
22 is occurring.
23 COMMISSIONER HANSEN: Thank you. That's all
24 the questions I have, Mr. Chairman.
25 COMMISSIONER SMITH: Mr. Chairman?
463
CSB REPORTING LORD (Com)
Wilder, Idaho 83676 Staff
1 COMMISSIONER KJELLANDER: Commissioner Smith.
2 COMMISSIONER SMITH: I just wanted to clarify
3 that you will be here for the -16 case?
4 THE WITNESS: Yes.
5 COMMISSIONER SMITH: Thank you.
6 COMMISSIONER KJELLANDER: That moves us to
7 redirect.
8
9 REDIRECT EXAMINATION
10
11 BY MS. NORDSTROM:
12 Q Mr. Lord, you indicated when you were being
13 sworn in that your answers to the questions that were posed
14 in your direct testimony were the same; is that correct?
15 A That is correct.
16 Q Why did you clarify that?
17 A Because --
18 MR. RIPLEY: Mr. Chairman, I'm going to ask
19 what redirect is this? There must be some grounds upon
20 which the redirect is founded upon, I assume the
21 cross-examination of the questions of Commissioner Hansen.
22 COMMISSIONER KJELLANDER: I would have to
23 concur that when we start to look at the purpose of
24 redirect that this seems to fall outside of that.
25 MS. NORDSTROM: Okay. I guess my thought was
464
CSB REPORTING LORD (Di)
Wilder, Idaho 83676 Staff
1 that if his testimony is somehow changed in any way that
2 the Commission would want to be apprised of that, but if
3 that's not the case --
4 COMMISSIONER KJELLANDER: I would have
5 thought that that would have been in the introductory
6 remarks with the testimony.
7 MS. NORDSTROM: Well, because he clarified
8 his answer, that's what I was trying to explore.
9 MR. RIPLEY: We're happy with the way the
10 record is, Mr. Chairman.
11 COMMISSIONER KJELLANDER: That's fine. I
12 don't know that the clarification would really fit within
13 the boundaries of redirect.
14 MS. NORDSTROM: Okay.
15 Q BY MS. NORDSTROM: Commissioner Hansen spoke
16 of hedges. Is it your understanding or based on your
17 review of the internal policies and risk management
18 guidelines that govern Idaho Power, were all of the hedges
19 in conformance with those internal policies and guidelines?
20 A I believe not.
21 Q Would you elaborate?
22 A Specifically, the discussion that has
23 occurred that has been prefaced as a pricing practice, the
24 swap, in essence, that was discussed by Ms. Hoyd yesterday,
25 is actually a multi-period hedge. It is a transfer of
465
CSB REPORTING LORD (Di)
Wilder, Idaho 83676 Staff
1 day-ahead pricing or real-time pricing to day-ahead
2 pricing, that is correct; however, as performed by the
3 Company, that has had a multi-month impact. Multi-month
4 hedges under the corporate policies and procedures require
5 Risk Management Committee approval.
6 We have no minutes and/or discussion from the
7 Risk Management Committee authorizing that transaction.
8 There is no paper trail, in essence, for the Staff to
9 review the decision process for that hedge. In essence,
10 that hedge would have required Risk Management Committee
11 approval, transmission of authorization to the trader and
12 trader execution. None of those have occurred. That swap
13 is, in essence, a transaction outside of corporate policies
14 and procedures.
15 Q Based on your review of these policies that
16 govern risk management, do you feel that adequate policies
17 and procedures were in place for management to properly
18 manage the customer's speculative position specifically by
19 the Risk Management Committee?
20 A I believe that the decisions of the Company
21 have been all directed towards the reliability of the
22 system. Reliability, in essence, is a volume obligation,
23 the obligation to serve. The purchased cost adjustment is
24 a mechanism by which the price at which the Company
25 transacts is transferred to the customers. The customers
466
CSB REPORTING LORD (Di)
Wilder, Idaho 83676 Staff
1 therefore, in essence, have a speculative position which is
2 managed by the Company. By the Company saying we will look
3 at forward prices, but we will firmly and mainly direct our
4 decision process towards reliability, they said they have
5 minimized the discussion or at least not put forward as a
6 primary goal the discussion of managing that customer
7 speculative risk.
8 They have in the discussion talked about VAR
9 and CVAR which are the -- which says that they have
10 corporately on the nonregulated side certain processes for
11 determining the scope of risk based on forward market
12 volatilities, the expectation of the market of forward
13 price movements. That is what the calculation of VAR and
14 CVAR implies; therefore, there were members of the Risk
15 Management Committee that had experience in that type of
16 analysis.
17 That analysis has not been brought to bear
18 for the customers; therefore, it appears that the range of
19 risks for the customers was not considered when these
20 decisions were made and I feel that that does not, in
21 essence, give them the capability to make the best
22 decisions for the customer.
23 Q Mr. Lord, in your capacity as an advisor,
24 what types of entities do you advise typically?
25 MR. RIPLEY: Objection, it's far outside the
467
CSB REPORTING LORD (Di)
Wilder, Idaho 83676 Staff
1 range of redirect that I can see.
2 MS. NORDSTROM: I'll tie this back in to the
3 corporate policies and procedures we've been discussing.
4 MR. RIPLEY: Discussing when?
5 COMMISSIONER KJELLANDER: Why don't you tie
6 it in as a question that you're posing as opposed to tying
7 it in down the road.
8 Q BY MS. NORDSTROM: In comparison with other
9 utilities that you have advised on similar types of
10 policies and procedures by their respective risk management
11 committees, how would you assess Idaho Power's relative
12 position to these other utilities in adequately planning
13 for market changes that are currently transpiring?
14 MR. RIPLEY: Again, I will object it's
15 outside the scope of redirect.
16 COMMISSIONER KJELLANDER: And based on what
17 we've seen so far, I would have to concur that it is
18 outside of the redirect.
19 MS. NORDSTROM: No further questions.
20 COMMISSIONER KJELLANDER: Thank you. Thank
21 you.
22 THE WITNESS: Thank you.
23 (The witness left the stand.)
24 COMMISSIONER KJELLANDER: And does that
25 conclude Staff's witnesses?
468
CSB REPORTING LORD (Di)
Wilder, Idaho 83676 Staff
1 MS. NORDSTROM: It does.
2 COMMISSIONER KJELLANDER: Okay. At this
3 point now we move towards the rebuttal side of the case
4 with Idaho Power and, Mr. Ripley, earlier you had presented
5 to this Commission some concern about testimony that had
6 been filed in addition to the previous prefiled testimony
7 for Ms. Carlock that may have some impact on your ability
8 to put forth your rebuttal case. Could you maybe bring us
9 up to where the Company is today with regards to its
10 rebuttal case so that we can move forward in at least
11 trying to plan out the remaining of the proceedings here?
12 MR. RIPLEY: Most certainly. The Company is
13 prepared to present witnesses Simard and Peseau as we go
14 forward now. As far as the witnesses of Carlock -- as far
15 as the witnesses of Hoyd and Gale are concerned, we had a
16 discussion during the noon hour and we are going to prepare
17 some additional testimony to address the issue raised by
18 Ms. Carlock. At this point I do not know if it's going to
19 be in Mr. Gale's testimony, Ms. Hoyd's testimony or both as
20 to any revisions that we would have to make to those two
21 witnesses, so we would request that probably the most
22 efficient way to do it is that we would proceed this
23 afternoon with Mr. Simard and Dr. Peseau and then we would
24 request that we be given overnight to prepare some
25 additional rebuttal and we would then present that
469
CSB REPORTING COLLOQUY
Wilder, Idaho 83676
1 additional rebuttal hopefully in a Q/A format along with
2 the rebuttal testimony of Mr. Gale and Ms. Hoyd.
3 COMMISSIONER KJELLANDER: Thank you. All
4 right, then is the order that at least has been proposed
5 earlier with Mr. Simard and Mr. Peseau still the order in
6 which you would like to proceed?
7 MR. RIPLEY: Yes, sir.
8 COMMISSIONER KJELLANDER: Then please
9 proceed.
10 MR. RIPLEY: If I could have a couple of
11 minutes to change books.
12 COMMISSIONER KJELLANDER: It sounds fine.
13 (Pause in proceedings.)
14 MR. RIPLEY: I call Mr. Simard.
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470
CSB REPORTING COLLOQUY
Wilder, Idaho 83676
1 TIM J. SIMARD,
2 produced as a rebuttal witness at the instance of the Idaho
3 Power Company, having been previously duly sworn, resumed
4 the stand and was further examined and testified as
5 follows:
6
7 DIRECT EXAMINATION
8
9 BY MR. RIPLEY:
10 Q Mr. Simard, would you please state your name
11 for the record?
12 A Tim Simard.
13 Q And your business address?
14 A My business address is Suite 610, 1414 8th
15 Street S.W., Calgary, Alberta, Canada.
16 Q Mr. Simard, did you have cause to be prepared
17 for this proceeding certain prefiled testimony consisting
18 of 27 pages and did your testimony also identify
19 Exhibits 17, excuse me, yes, 17 through 24?
20 A Yes, sir.
21 Q And if I asked you the questions that were
22 set forth in your prefiled testimony, would your answers be
23 the same today?
24 A Yes, sir.
25 Q And are there any changes to your exhibits?
471
CSB REPORTING SIMARD (Di-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 A No, sir.
2 MR. RIPLEY: I would ask that Mr. Simard's
3 prepared testimony be spread upon the record as if read and
4 his exhibits be marked as indicated in his prepared
5 testimony.
6 COMMISSIONER KJELLANDER: Without objection,
7 we will spread the testimony and admit the exhibits.
8 (Idaho Power Company Exhibit
9 Nos. 17 - 24 were admitted into evidence.)
10 (The following prefiled rebuttal
11 testimony of Mr. Tim Simard is spread upon the record.)
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472
CSB REPORTING SIMARD (Di-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 Q. Please state your name and business address.
2 A. My name is Tim J. Simard. I am employed by
3 RiskAdvisory. My business address is Suite 610, 1414 8th
4 Street S.W., Calgary, Alberta, Canada T2R 1J6.
5 Q. What position do you hold with RiskAdvisory?
6 A. I am a founding Principal of RiskAdvisory.
7 Q. Please describe your experience relevant to
8 this testimony?
9 A. I began working with energy companies with
10 respect to the use of risk management instruments and the
11 design of risk management programs in 1986 as an
12 institutional energy futures broker with the Burns Fry
13 Energy Group in Calgary, Alberta. In 1990, I moved to
14 Bankers Trust Canada where I went on to become Vice Chairman
15 with responsibilities for managing Bankers Trust's Canadian
16 energy derivatives operation. RiskAdvisory was created in
17 1995 and since that time the firm has worked on assignments
18 for over 150 energy companies in the United States, Canada
19 and New Zealand. I have been involved in assignments with
20 16 electric and natural gas utilities as a member of
21 RiskAdvisory, primarily with respect to the design and
22 implementation of risk management programs. I have served
23 as an expert witness on issues pertaining to the financial
24 management of energy risk in four regulatory hearings for
25 both natural gas and electric utilities.
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SIMARD, DI-REB 1
Idaho Power Company
1 Q. Have you been retained by Idaho Power Company
2 ("IPC") or its parent IDACORP, Inc. In any other
3 assignments prior to your involvement as an expert witness
4 for these hearings?
5 A. Yes. I was engaged by IDACORP, Inc. In
6 September 2000 to work with the non-operations group as an
7 Interim Risk Manager. The assignment was to have terminated
8 on December 8, 2000. However, my services were retained on
9 a part-time basis beyond this period until March 1, 2001.
10 Q. As part of this assignment, what involvement
11 did you have with the utility risk management activity of
12 IPC?
13 A. My activity was limited to attendance at most
14 of the Risk Management Committee ("RMC") meetings held
15 during the term of my assignment. I listened to the
16 discussions around the risk management issues for the
17 operating function, but did not actively participate in
18 these discussions. My focus was on reporting to the Risk
19 Management Committee those issues pertaining to the risk
20 portfolio of the non-operating trading and marketing
21 activities.
22 Q. What is the purpose of your testimony?
23 A. The purpose of my testimony is twofold. The
24 first purpose is to provide contextual information on price
25 movements in regional spot and forward electricity markets
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SIMARD, DI-REB 2
Idaho Power Company
1 over the course of the 2000 - 2001 Power Cost Adjustment
2 ("PCA") Year and the potential impact of these movements on
3 the risk management activities of regional utilities. The
4 second purpose of my testimony is to discuss the transfer
5 pricing mechanism used to price utility transactions
6 between the operating and non-operating functions of IPC.
7 Q. What data and testimony have you reviewed in
8 the course of this case?
9 A. I have reviewed historical pricing and
10 volatility data for the Mid-C market through the period
11 April 2000 - February 2001. I have reviewed all the
12 testimony submitted for IPC-E-01-7 and IPC-E-01-11. I have
13 reviewed volume estimates provided by Dow Jones with respect
14 to the Mid-C indexing mechanism. I have reviewed forecast
15 and actual IPC resource and load statistics supplied by IPC
16 for the April 2000 - February 2001 period.
17 Q. What are forward prices?
18 A. A forward price is the price established in a
19 marketplace between buyers and sellers for a specific asset
20 or commodity for delivery on or during a specific timeframe
21 at a specific delivery point with a specified degree of
22 firmness or reliability. If buyers and sellers today agreed
23 to a price of $100 for firm November 2001 on-peak power
24 delivered at Mid-C, then $100 would be today's forward price
25 for electricity to be delivered throughout the month during
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SIMARD, DI-REB 3
Idaho Power Company
1 on-peak hours for the month of November at Mid-C.
2 Q. How are forward market prices set?
3 A. In an efficient forward marketplace, the
4 forward price represents the markets consensus expectation
5 of the future spot price. Assume that a detailed review
6 conducted today of all the fundamental factors that might
7 affect November Mid-C prices led market participants to
8 believe that the average on-peak spot price for Mid-C in
9 November will be $80. If the current forward price was $100,
10 market participants would quickly enter the market and
11 commit to sell the power at a fixed price of $100 for
12 November on-peak deliveries, with the expectation that they
13 would generate a $20 per MWh profit. This would be
14 accomplished by purchasing spot power during the month of
15 November at their expected November price of $80 to supply
16 the commit to deliver power at the fixed price of $100. In
17 a similar fashion, if the current November Mid-C on-peak
18 forward price was $60, then market participants would
19 quickly enter the market and commit to purchase power at a
20 fixed price of $60 for November on-peak deliveries. The
21 expectation again would be for a $20 profit with the belief
22 that these fixed price purchases of $60 could be sold back
23 into the spot market in November at the expected spot price
24 of $80. This buying and selling activity by participants
25 will continue until the equilibrium forward price equates to
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SIMARD, DI-REB 4
Idaho Power Company
1 the market consensus of future spot prices during the month
2 of November.
3 The ability to profit from buying or selling
4 in forward markets is predicated on the existence of some
5 form of competitive trading advantage and the willingness
6 to take risk. Competitive trading advantages are rare and
7 only the most skilled traders can consistently generate
8 profits by taking directional price views on forward
9 markets. Consistent profits earned from taking directional
10 price views in the past does not provide any guarantee that
11 consistent trading profits will be generated from taking
12 these price views in the future.
13 Q. Will the forward price for a given period
14 usually be lower than actual spot prices for that period?
15 A. No. In the testimony of Terri Carlock on
16 page 8 it is stated that "Term transactions reduce the price
17 variability and usually the cost for that time period." This
18 implies that the forward price for a given period is usually
19 lower than the actual spot prices for that period. If one
20 was a trader and knew this to be the case, one would always
21 buy power on the forward market and then wait to sell this
22 power into the higher-priced spot market at the time of
23 delivery. If the trading community in general was aware of
24 this relationship, all the traders would always be
25 purchasing power on the forward market. It should be clear
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SIMARD, DI-REB 5
Idaho Power Company
1 that at some point all this buying leads to very high
2 forward prices and that the likelihood of spot prices
3 falling below these high forward prices increases. To
4 reiterate, the forward price represents the market
5 consensus of future price movements there is no free lunch
6 and unfortunately no standard trading rule that can allow
7 one to make riskless trading profits by buying or selling
8 in the term market.
9 Q. What is meant by implied volatility?
10 A. Implied volatility is a term associated with
11 the valuation of put and call options. Options provide their
12 holders with the right but not the obligation to buy or sell
13 an underlying asset or commodity at an agreed-upon price at
14 some defined point in the future. Options are similar to
15 conventional insurance policies: the owner of a call option
16 has acquired insurance against higher prices, while the
17 owner of a put option has acquired insurance against lower
18 prices. In the same way that there is a component to the
19 pricing of conventional insurance that is tied to the
20 likelihood of occurrence of the even that is being insured,
21 there is a component of option pricing that gauges the
22 likelihood of a payout on the option contract. In financial
23 markets, the probability of a payout on the option is based
24 on the expected breadth of the distribution of possible
25 prices for the underlying asset or commodity at the maturity
478
SIMARD, DI-REB 6
Idaho Power Company
1 date of the option. If the price distribution is expected to
2 be very narrow, the value of the price insurance falls and
3 the cost of the option will be lower. If the price
4 distribution is expected to be quite wide, the value of the
5 insurance rises and the cost of the option will increase.
6 If there are options trading on a particular
7 commodity, the price at which these options are valued
8 provides an indication of the market's assessment of the
9 anticipated future variability in the price of that
10 commodity. Option pricing models exist which allow one to
11 input the price of a specific option and the output will be
12 this indication of future price variability over the life
13 of the option, and it is this estimate of future price
14 variability which is termed implied volatility.
15 Q. How are implied volatility levels established
16 in the marketplace?
17 A. Implied volatility levels are established
18 based on the market's consensus view around the anticipated
19 future price variance of the underlying commodity. Assume a
20 November forward price is currently trading at $100. Also
21 assume that the nature of the current fundamental supply and
22 demand environment leads market participants to believe that
23 it is highly unlikely that actual spot prices in November
24 will trade outside of a band between $95 and $105. In this
25 environment, the cost of a $105 call option which would
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SIMARD, DI-REB 7
Idaho Power Company
1 ensure one against a price rise above $105 would not be very
2 valuable. Now assume that the market price of this $105 call
3 option is $100. Market participants who believe that there
4 is only a remote possibility of prices trading above $105
5 would sell this option and collect the insurance premium of
6 $100. Now assume that this $105 call option is trading at
7 $0.01. While the likelihood of prices trading above $105 may
8 be deemed to be low, the small probability of a price rise
9 above this level would justify market participants
10 purchasing this price insurance for $0.01. This buying and
11 selling of the option would continue until an equilibrium
12 price was attained that reflected the expected payout on
13 the option tied to the market's expectation of the magnitude
14 of the potential price distribution at maturity. This once
15 again is measured by the implied volatility of the option.
16 The implied volatility measure provides an
17 objective assessment of the market's expectation of
18 potential price dispersion in the future. If implied
19 volatility levels are high, this implies that there is a
20 substantial risk associated with maintaining market
21 exposure because the market anticipates material swings in
22 price. Low implied volatility would suggest there is less
23 risk associated with maintaining market exposure.
24 Q. Please describe the movement in forward
25 prices for the December 2000 - February 2001 timeframe over
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SIMARD, DI-REB 8
Idaho Power Company
1 the course of the 2000 - 2001 PCA year.
2 A. Exhibit 17 details the movement in the
3 average forward price for this three-month on-peak block
4 for Mid-C deliveries. The chart shows the clear upward
5 trend starting from $35 at the beginning of the PCA year
6 and escalating to $120 by the end of August. After a
7 two-month hiatus in the price escalation, the market for
8 this three-month forward period resumed its climb in
9 November, culminating in a spot average over the three
10 months for on-peak deliveries of $367.92.
11 Q. Please describe the movement in implied
12 volatility levels for the December 2000 - February 2001
13 timeframe over the course of the 2000 - 2001 PCA year.
14 A. Implied volatility levels associated with
15 this forward period rose steadily over the course of the
16 year as shown in Exhibit 18. There was a significant
17 increase in implied volatility in the July through September
18 period with the volatility rising from 26% to 67% over this
19 period. The implied volatility increased again in November
20 and continued on to higher levels in December and January.
21 Q. Is it reasonable to assume that IPC should
22 have had advance knowledge of the significant price
23 increase that occurred during the December 2000 - February
24 2001 timeframe?
25 A. No. Exhibit 19 incorporates both forward
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SIMARD, DI-REB 9
Idaho Power Company
1 price and implied volatility information to arrive at an
2 assessment of the market's consensus expectation of severe
3 price rises. The actual daily average unweighted Mid-C on-
4 peak index price for the December - February timeframe was
5 $367.92. Up until July 1, 2000, the market was assigning
6 only a 5% probability to the average December - February
7 price rising above $85. Even at the beginning of October,
8 the market was only assigning a 5% probability to prices
9 rising above $160. The movement above $350 was not
10 anticipated by the marketplace until it happened. It should
11 also be remembered that if the market had advance warning
12 that spot prices would average above $350 for this three-
13 month period, then the forward prices at which one would be
14 able to enter into term purchases would also be above $350.
15 There may be a perception that the clear
16 underlying upward trend in prices through 2000 would have
17 provided IPC with a signal that market prices would continue
18 to rise through the December - February timeframe. In the
19 testimony of Terri Carlock on page 30 it is stated "Price
20 trends from Idaho Power documents also reflect forward
21 prices for January 2001 increasing." If the trading rule
22 existed that rising markets in the past indicated rising
23 markets in the future, today the NASDAQ would be setting new
24 highs. No matter what has happened to forward market prices
25 in the past, there will always be approximately an equal
482
SIMARD, DI-REB 10
Idaho Power Company
1 probability that the price will either fall or rise from
2 today's forward pricing level.
3 Q. If a trading company profits from a forward
4 market purchase in a particular month because market prices
5 subsequently rise after the purchase, can one state that
6 the trading company entered the position because it
7 believed prices were likely to rise?
8 A. No. Many trading companies profit from
9 arbitrage opportunities or spread transactions rather than
10 from the establishment of positions based on outright
11 directional market views. Arbitrage transactions represent
12 riskless or low-risk transactions. For example, if one can
13 purchase term power at a fixed price at Point A and arrange
14 firm transmission to move the power to Point B, and in turn
15 sell the power at Point B on a term basis at a fixed price
16 above the sum of the fixed purchase cost and the cost of
17 transmission, one has achieved a low risk arbitrage. In this
18 transaction, the fixed price term purchase at Point A is
19 made without regard for a directional price view. In fact,
20 even if the trading company was somewhat negative on future
21 price direction, the purchase at Point A would still likely
22 be made in order to capture a low risk arbitrage profit.
23 Trading companies also frequently take
24 positions on the direction of price spreads in the
25 marketplace. In many instances, the risk in a spread
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SIMARD, DI-REB 11
Idaho Power Company
1 position is less than the risk in an outright purchase or
2 sale, and the lower-risk nature of these transactions will
3 appeal to many trading groups. For example, a trading
4 company may believe that Mid-C prices are likely to rise
5 more or fall less than Palo Verde prices. If this is the
6 case, the trading company would purchase term power at Mid-C
7 and in turn sell term power at Palo Verde. The purchase at
8 Mid-C could be made even if the trading company believed
9 that the market price at Mid-C was likely to fall.
10 An example of the extent to which purchases
11 are often offset by sales is evidenced by the trading
12 practices of the non-operating trading group at IPC during
13 the recent PCA year. Exhibit 20 depicts the monthly term
14 purchases and sales entered into by the Idaho Power non-
15 operations trading group. A glance at the Purchases column
16 in isolation would suggest that the trading group had a
17 strong underlying price view all year long that prices would
18 rise. However, if one nets the term sales against these term
19 purchases, a much different story emerges. First, the
20 magnitude of the net position is only a fraction of the
21 outright purchases and sales (typically under 5%). More
22 importantly, the data reveals that in most months through
23 the year, the trading group actually entered into a greater
24 volume of sales than purchases.
25 Q. Should the opinion of a trading entity with
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1 respect to the potential direction of market price
2 movements influence the implementation of forward market
3 risk management transactions for a regulated utility?
4 A. No. The risk management transactions
5 established by a utility on behalf of its ratepayers should
6 not incorporate price views. Given that the utility does
7 not have the ability to predict future prices, the
8 incorporation of price view into the hedging decision
9 injects an element of speculation that has no place in a
10 defensive risk management program.
11 Q. What were the risks faced by IPC if it had
12 established a forward long position in November 2000 in an
13 attempt to insulate ratepayers against higher power supply
14 costs?
15 A. There were several risks faced by IPC with
16 respect to the execution of a fixed price term purchase
17 during November 2000. First, there was a large degree of
18 uncertainty surrounding the actual surplus/deficit position
19 in any given month. If IPC had purchased power in the term
20 market to bring an expected deficit back into balance, an
21 increase in available generation could have put the utility
22 in a surplus position. If market prices had fallen (which
23 was just as probable as a market rise), losses would have
24 been incurred on a term purchase that as it turned out was
25 not necessary.
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Idaho Power Company
1 Second, by the time the risk of a substantial
2 price move was identified, market prices had already
3 escalated dramatically. Although the December - February
4 average forward price at the beginning of November was
5 $86.00, Exhibit 17 indicates that by mid-November the
6 average price for this three-month term purchase had
7 escalated to more than $150.00. Whether one looks at early
8 or late November, the price that could be fixed for this
9 period was a substantial multiple of the previous year's
10 price for this three-month period of $26.33. While the risk
11 of a further price rise was evident, it should be remembered
12 that a risk of a material price decline was also evident. If
13 a fixed price transaction had been established at $100,
14 substantial losses could have been incurred on this position
15 if prices had fallen. There was no assurance that the
16 regulator or intervenors would necessarily accept this high
17 price resource if market prices had collapsed. This
18 represents a common utility dilemma when regulators and
19 intervenors have not pre-approved a risk management
20 strategy. The problem rests with the fact that the utility
21 is acting on behalf of ratepayers and it is put in a
22 position where it must guess the risk appetite of the
23 ratepayers. Would ratepayers have wanted a $100 fixed price
24 term purchase in their portfolio that left no potential to
25 participate in a falling price environment? In hindsight it
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SIMARD, DI-REB 14
Idaho Power Company
1 is easy to respond in the affirmative. However, at the time
2 in the midst of a substantial escalation in price that left
3 forward markets well above year-earlier levels, it is not
4 so clear that ratepayers would have been desirous of a
5 forward market hedge at such a high price. Without
6 pre-approval of a hedging strategy, the utility is left in
7 the untenable position where after the fact, in a rising
8 price environment the regulator and intervenor can assert
9 that a hedge was desired, while in a falling price scenario
10 the claim could be made that no hedge was desired.
11 Q. Please comment on the magnitude of spot
12 market purchases in the IPC resource portfolio for January
13 and February 2001.
14 A. The testimony of Terri Carlock suggests a
15 concern surrounding the magnitude of day-ahead and real-time
16 purchases in the IPC portfolio as opposed to term purchases.
17 The concern is supported by Exhibit 109 which indicates that
18 over 90% of system purchases for these two months were on
19 the spot market while less than 10% of the portfolio was
20 supplied through term purchases. It is important to
21 recognize that the resources used to serve system load
22 requirements extend well beyond wholesale market purchases.
23 Exhibit 21 provides a depiction of the breakdown of the
24 actual IPC resource portfolio for the past PCA year. For
25 the months of January and February, spot market purchases
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SIMARD, DI-REB 15
Idaho Power Company
1 represented only 15% and 13% of the total resource
2 portfolio. The added complexity of factoring in the
3 uncertainty around hydro availability is evident in
4 Exhibit 22. Based on the Idaho Resource Plan, the months of
5 January and February were expected to be in surplus, so that
6 no spot purchases would have been required. Based on the
7 plan at the start of the year, one might ask why term sales
8 were not established to protect the value inherent in the
9 surplus for the months of January and February. Of course
10 this would have led to even greater spot purchase
11 requirements for these months given the contraction in
12 available generation resources versus the plan. This
13 highlights the difficulty inherent in entering into risk
14 management transactions with such uncertainty around hydro
15 output: term transactions that are established with the aim
16 of reducing risk can sometimes lead to higher risk
17 scenarios. Any analysis of IPC risk management activity
18 must recognize the fact that senior management will not
19 have perfect information about its future surplus/deficit
20 position.
21 Q. There is a perception that when energy was
22 transferred from the non-operating book to the operating
23 book at the specified market prices, and these market prices
24 were systematically higher than the actual non-operating
25 energy purchase prices, the utility purchased energy for the
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SIMARD, DI-REB 16
Idaho Power Company
1 system at a price higher than it should have paid. What is
2 your response to this criticism?
3 A. There are several responses to this
4 perception. First, as has been discussed earlier, many of
5 the low-cost term purchases made by the non-operating book
6 were offset by term sales. Power may have been purchased at
7 a low fixed price at Point A and then sold at a marginally
8 higher price at Point B. Both the term fixed purchase and
9 sale prices could easily be well below actual spot prices
10 through time.
11 Second, many of the purchases in the non-
12 operating book were made at delivery points other than the
13 IPC border and substantial transmission costs in many
14 instances would have to be incurred to move this power if
15 it was to serve native load.
16 Third, if the non-operating book was taking a
17 long speculative position, IDACORP shareholders were
18 exposed to the market risk in these positions. If power was
19 purchased on the term market at a fixed price of $100 and
20 then sold into a depressed spot market at $30, the
21 shareholders would absorb a $70 loss. The non-operating
22 book had no capacity to pass along high-priced purchases to
23 the system.
24 Fourth, as has already been discussed, if the
25 non-operating book did capitalize from time to time on a
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SIMARD, DI-REB 17
Idaho Power Company
1 speculative belief that market prices would rise, this does
2 not mean that this speculative market view should have
3 influenced system risk management transactions. Although
4 the non-operating book may have perceived that prices would
5 rise, it did not know that prices would rise. Prices could
6 just as easily have faltered. The decision to buy or sell
7 on the term market for the system should not be a function
8 of a price view.
9 Q. What is your understanding of the day-ahead
10 transfer pricing mechanism that has been used to price
11 transactions between the operating and non-operating
12 business units within IPC?
13 A. It is my understanding that the transfer
14 price between the operating and non-operating books for day
15 ahead transactions is the Firm Daily Index for Mid-Columbia
16 ("Mid-C") power transactions as published by Dow Jones,
17 adjusted for the cost of transmission to move the power
18 between Mid-C and the Idaho border. For sales made by the
19 system to the non-operating book, transmission costs are
20 subtracted from the index, and these costs are added for
21 purchases made by the system from the non-operating book.
22 Transmission costs are determined by taking the average firm
23 transmission tariffs plus transmission losses of all
24 transmission providers between Mid-C and the Idaho border.
25 While the Services Agreement between IPC and IDACORP Energy
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SIMARD, DI-REB 18
Idaho Power Company
1 Solutions LP calls for the alternative use of a Palo Verde
2 index, in practice the Mid-C transfer pricing mechanism was
3 used exclusively through February 2001.
4 Q. Is the use of an index price commonly used as
5 a transfer pricing mechanism in the energy sector?
6 A. Yes, it is conventional practice in the
7 energy sector for transactions between buyers and sellers
8 to be tied to an index price. These indices take the form
9 of either price surveys of market participants reported in
10 industry publications like the Dow Jones Mid-C index, or
11 the pricing from a commodity exchange like the New York
12 Mercantile Exchange ("NYMEX").
13 Q. What are the benefits associated with the use
14 of an index transfer pricing mechanism?
15 A. An index transfer mechanism allows one to
16 enter into a term marketing/supply arrangement at a price
17 which on an ongoing basis is representative of the price at
18 which spot transactions are being conducted through time.
19 In addition, in more mature markets, the index pricing
20 mechanism allows one to enter into financial derivative
21 transactions to manage the volatility risk inherent in the
22 price index separate and apart from the underlying physical
23 transaction.
24 Q. What concerns should one have with the index
25 used in the transfer pricing mechanism?
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SIMARD, DI-REB 19
Idaho Power Company
1 A. The index price should be transparent,
2 meaning that market participants are able to track
3 transactions at that point through time. The index price
4 should be for a liquid point where many transactions are
5 concluded on a daily basis. The index price should be free
6 from manipulation by the parties using the index for a
7 transfer price. The index price chosen for a transfer price
8 between two entities should also be representative of
9 pricing for transactions similar to those contemplated
10 under the commercial transfer.
11 Q. Is the Mid-C index transparent?
12 A. Yes. The most transparent indices are those
13 tied to market exchanges like the NYMEX or electronic
14 exchange mechanisms. Transactions occur throughout the day
15 and prices and transaction prices are transmitted
16 immediately to market participants. While the Dow Jones Mid-
17 C index itself is not an exchange-based mechanism, the day-
18 ahead Mid-C market price is actively quoted by a number of
19 electronic exchanges. With the survey approach taken by Dow
20 Jones of significant market participants in the
21 marketplace, transactions that occur through the electronic
22 exchanges should make their way into the Dow Jones index
23 calculation. This provides an element of transparency to
24 this particular Mid-C index pricing mechanism.
25 Q. Is the Mid-C index point liquid?
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SIMARD, DI-REB 20
Idaho Power Company
1 A. Yes. It is estimated that approximately 2000
2 MW trades daily in the Mid-C day-ahead marketplace. In
3 addition, the ability to move power into and out of Mid-C
4 on a range of transmission paths causes the Mid-C price to
5 be affected by market developments throughout the Pacific
6 Northwest region. During the calendar year 2000, data from
7 Dow Jones indicates that the average daily on-peak
8 day-ahead volume recorded through their survey was 1430 MW,
9 representing more than 70% of the estimated average daily
10 volume transacted at Mid-C. Exhibit 23 provides a list of
11 the 40 key market participants who are surveyed by Dow
12 Jones as part of the index determination process. This
13 documents that the pricing information is based on the
14 transactional data of a broad industry group.
15 Q. Was the Mid-C index subject to manipulation
16 by the non-operating trading function of IPC?
17 A. Most indices based on industry surveys of
18 transactions are subject to potential manipulation. One can
19 report non-factual pricing to the surveyor in an effort to
20 distort the actual price. However, the index publications
21 recognize that the representative nature of the index is
22 crucial to the survival of the index as an industry pricing
23 benchmark. As a result, steps are taken to ensure the
24 accuracy of the submitted transaction prices. Dow Jones
25 attempts to match the price on reported purchases with the
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SIMARD, DI-REB 21
Idaho Power Company
1 price on reported sales and if there is a mismatch the
2 parties are contacted to correct the possible error. In
3 addition, Dow Jones retains the right to audit those groups
4 who are submitting prices and it has exercised its right to
5 audit in the past. These factors limit any group's ability
6 to manipulate the index.
7 It is possible that the non-operating book
8 generated profits from the day-ahead activity conducted for
9 the system, but this would not have been generated in a
10 risk-free fashion, and ratepayers would not have been
11 harmed by this action.
12 If one examines the day-ahead system
13 purchases and sales by the system during the April 2000 -
14 February 2001 timeframe, the average volumes do appear to
15 be material versus the estimated volumes trading at Mid-C.
16 However, this is mitigated to a large extent by the fact
17 that most of the purchases and sales done by the non-
18 operating book to meet its day-ahead purchase and sales
19 obligations to the system were not effected through the Mid-
20 C delivery point. Exhibit 24 highlights this point. Looking
21 at July as an example, the system purchased 342,356 MWh from
22 the non-operating trading group and the non-operating group
23 purchased only 102,408 MWh at Mid-C, representing less than
24 30% of the total purchased by the system. The balance of the
25 purchases would have been transferred in from other delivery
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SIMARD, DI-REB 22
Idaho Power Company
1 points or acquired at the IPC border. This serves to lessen
2 materially the influence that the system volumes might have
3 on the Mid-C index itself.
4 There is a concern that the information
5 imparted to the non-operating book with respect to the day-
6 ahead requirements of the system could lead to
7 "frontrunning" activity. Frontrunning occurs when a market
8 participant establishes a position for its own account prior
9 to executing transactions on behalf of a third party. The
10 proprietary position is established with the expectation
11 that the required market activity of the third party will
12 cause prices to move in favour of the position. The ability
13 to generate profits from this type of activity is a function
14 of the magnitude of transactions that must be executed by
15 the third party relative to the size of the entire market.
16 While the effect of the system volumes with respect to
17 moving the Mid-C market is mitigated by the use of power
18 sourced from other points than Mid-C, there is still a
19 possibility that the non-operating book could enter into
20 these types of transactions when it possesses information
21 about material day-ahead requirements for the system.
22 However, this should not be a concern to ratepayers. First,
23 if the non-operating book does enter into a purchase or sale
24 based on its assessment of the impact of system-related
25 volumes on the market, there will be no effect on the index
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SIMARD, DI-REB 23
Idaho Power Company
1 price used in the transfer pricing mechanism. Although the
2 non-operating book may initially purchase a day-ahead block
3 creating upward pressure on the index, it must also sell
4 this block later, creating downward pressure on the index.
5 The net effect will over time be neutral on the index.
6 Second, the buying or selling by the non-operating entity is
7 not risk-free. Assume that the non-operating book purchases
8 power with the expectation that prices will rise based on
9 system needs. Shortly after the purchase is consummated, a
10 large unit in the Northwest which was expected to be
11 offline comes back onstream. Day-ahead prices collapse,
12 even taking into account the system purchasing activity.
13 The speculative long position incurs a loss.
14 Q. Is the Mid-C index mechanism representative
15 of pricing for the commercial transactions between the
16 operating and non-operating business units
17 A. Yes. While the purchases and sales that are
18 transacted by the non-operating business incorporate many
19 more delivery points than Mid-C, this index is viewed in the
20 marketplace as the representative pricing index for the
21 Northwest. Exhibit 23 showed the extent to which regional
22 utilities and marketing companies are participating in the
23 Mid-C index price survey. There may be times when the actual
24 price of power sourced or sold in the day-ahead market
25 including transmission costs lies above the Mid-C price and
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SIMARD, DI-REB 24
Idaho Power Company
1 other times when the actual price is lower than the Mid-C
2 index price. However, the Mid-C index price continues to be
3 the best index proxy for IPC's regional market.
4 Q. Does the non-operating trading function face
5 any risks associated with the day-ahead index-based
6 transfer pricing mechanism?
7 A. Yes. There is no guarantee that the non-
8 operating group will be able to match or outperform the day-
9 ahead index price with respect to actual prices achieved in
10 the market. Assume that 100 MW must be purchased for system
11 requirements. The non-operating book buys this power at Mid-
12 C at a price of $100. Subsequent to this purchase activity
13 market prices fall to $80 and the majority of the day's
14 transactions are consummated at this lower level. The net
15 result is that the index is set at $85. The purchase at
16 $100 is offset with a sale to the system at the index price
17 of $85. The non-operating book suffers a $15 loss because of
18 its inability to match the index price. This risk is
19 compounded by the fact that the index represents a mid-
20 market price. When purchases must be made for the system,
21 one must access the offer side of the market which is higher
22 than the mid-market price, and sales must access the bid
23 side of the market which is lower than the mid-market
24 price. From this perspective, the index mechanism is skewed
25 marginally against the non-operating group.
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SIMARD, DI-REB 25
Idaho Power Company
1 In addition to the market execution risk, the
2 non-operating group also faces a transmission risk. The
3 transmission adjustment is based on the average tariff of
4 transmission providers. If the only transmission available
5 is at a tariff greater than this average, the non-operating
6 group will suffer a loss equal to the difference between
7 the actual tariff paid and the average tariff calculation.
8 Q. Do you believe the day-ahead index-based
9 transfer pricing mechanism is fair?
10 A. Based on the range of issues discussed above,
11 the Mid-C index with the transmission component represents
12 a fair transfer pricing mechanism.
13 Q. What is your understanding of the real-time
14 transfer pricing method used to price transactions between
15 the operating and non-operating business units within IPC?
16 A. From December 2000 through February 2001,
17 real-time transactions during a particular hour were priced
18 on the basis of the weighted average delivered price of all
19 transactions entered into by the non-operating book at the
20 IPC border for that hour.
21 Q. Are there differences in the effectiveness of
22 the real-time transfer pricing mechanism vis-…-vis the
23 day-ahead transfer pricing mechanism?
24 A. Yes. There is no price transparency for the
25 real-time pricing mechanism. There will be limited liquidity
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SIMARD, DI-REB 26
Idaho Power Company
1 from time-to-time with respect to these transactions.
2 However, the index is completely representative of the
3 price at which a passive marketing/supply group would
4 manage the real/time surplus/deficit position.
5 Q. Do you consider the real-time transfer
6 pricing mechanism to be an appropriate method to price the
7 real-time transactions between IPC's operating and
8 non-operating business units?
9 A. Yes.
10 Q. Does this conclude your testimony.
11 A. Yes.
12
13
14
15
16
17
18
19
20
21
22
23
24
25
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SIMARD, DI-REB 27
Idaho Power Company
1 (The following proceedings were had in
2 open hearing.)
3 MR. RIPLEY: We would tender Mr. Simard for
4 cross-examination.
5 COMMISSIONER KJELLANDER: Okay, let's move
6 now to the Deputy Attorney General representing the PUC
7 Staff.
8 MS. NORDSTROM: Thank you.
9
10 CROSS-EXAMINATION
11
12 BY MS. NORDSTROM:
13 Q Good afternoon.
14 A Good afternoon.
15 Q Directing your attention to page 12 of your
16 testimony, in lines 4 through 6 you state that the risk
17 management transactions established by a utility on behalf
18 of its ratepayers should not incorporate price views; isn't
19 it true?
20 MR. RIPLEY: Excuse me, do you have the right
21 page, Counsel?
22 MS. NORDSTROM: I'm sorry, I thought it was
23 page 12.
24 MR. RIPLEY: This is Mr. Simard?
25 MS. NORDSTROM: Yeah.
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Wilder, Idaho 83676 Idaho Power Company
1 Q BY MS. NORDSTROM: Well, even if it isn't
2 page 12, that's the tenor of your testimony; is that
3 correct?
4 A I'm sorry, could you repeat the question?
5 Q Even if it's not on page 12, not
6 incorporating a price view into risk management decisions
7 is a tenet of your testimony; is that correct?
8 A For utilities, yes, that's correct.
9 Q Isn't it true that Idaho Power incorporated a
10 price view by considering historical prices when it decided
11 not to purchase a hedge for January 2001?
12 A I'm not exactly sure of what was going
13 through the minds of the Idaho Power Risk Management
14 Committee when it was thinking of hedge positions, but in
15 subsequent conversations, I think one of the things that
16 concerned them was that the application of a hedge position
17 would have been done in an environment where they did not
18 have certainty around the risk appetite of their
19 ratepayers, so, for example, if the opportunity presented
20 itself to establish a forward hedge position at $150 a
21 megawatt-hour, there would have been a question in the
22 minds of Idaho Power as to whether ratepayers really wanted
23 a hedge at $150, because as soon as that hedge position is
24 established, the ratepayer would forfeit any participation
25 in a falling price environment and so if prices had
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CSB REPORTING SIMARD (X-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 subsequently fallen to $25.00 a megawatt-hour, the
2 ratepayers would have been left in a position where they
3 were paying $150 a megawatt-hour for that energy and in
4 hindsight, there could have been some criticism potentially
5 directed at Idaho Power for establishing that kind of hedge
6 position.
7 Q And that's why you're advising them not to
8 incorporate price views; is that correct?
9 A My advice from the start has been with the
10 recent mandate assisting Idaho Power Company going forward
11 is that as much as possible it needs to reach a consensus
12 with ratepayer groups and Staff surrounding what is deemed
13 to be the appropriate strategy for managing the risk of the
14 ratepayer.
15 Q But back to my original question, was
16 considering historical prices in essence taking a price
17 view?
18 A If historical prices were considered in the
19 decision, that is using a price view as part of the
20 decision making process.
21 Q On page 2, line 15 of your testimony, you
22 indicated that you attended most Risk Management Committee
23 meetings. In your memory, was there any discussion of the
24 decision to enter into a long-term hedge of real-time
25 versus day-ahead prices?
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CSB REPORTING SIMARD (X-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 A No, there was not.
2 Q Back to page 13, you discussed several risks
3 faced by Idaho Power Company in November 2000. Wasn't one
4 significant risk factor whether or not the Company's
5 hydropower generation would meet normal forecast
6 projections?
7 A There was a risk as to whether it would meet
8 normal forecast projections, whether it would exceed normal
9 forecast projections or fall below normal forecast
10 projections.
11 Q If the Company estimates that its hydropower
12 generation will be less than normal, doesn't it have to
13 acquire additional power or reduce its load?
14 A Yes, but that can be done against a myriad
15 number of pricing mechanisms. It does not necessarily
16 imply that a fixed price purchase needs to be established
17 to cover that shortfall.
18 Q How would the Company normally acquire that
19 additional power?
20 A It could acquire additional power through a
21 wholesale forward transaction. It could acquire power on a
22 day-ahead basis or it could acquire power on a real-time
23 basis.
24 Q But for the last half of the PCA period,
25 isn't it true that the Company relied primarily on
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CSB REPORTING SIMARD (X-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 day-ahead short-term markets to buy that additional power?
2 A Most of the power source to supply native
3 load came from the system's own resources. The resulting
4 until December unexpected shortfall in resources relative
5 to the native load position ended up being supplied
6 primarily by day-ahead and real-time purchases as opposed
7 to entering into forward transactions at very, very high
8 prices.
9 Q During the 2000-2001 PCA year, Idaho Power
10 Company was the counterparty for all hedging and
11 speculative trades. To assist in determining the credit
12 risk exposure of Idaho Power Company during that time,
13 could you generally discuss what types of speculative
14 trading the non-operating group was engaging in?
15 A I have a reasonable idea of the nature of
16 many of the transactions that the non-op trading group was
17 engaged in and many of those transactions were arbitrage
18 transactions tied to non-territorial transmission positions
19 that had been acquired.
20 Q Do you have a general sense of the cost of
21 credit intermediation services in the energy market?
22 A I have a general sense, but it's difficult
23 for me to apply a standardized rule to the credit support
24 practices in the industry.
25 Q Could you just generally describe the range
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CSB REPORTING SIMARD (X-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 of these costs in the open market?
2 A They range from nil to probably two to three
3 percent as a rough estimate.
4 Q Do you believe that the non-operating
5 system's speculative view of the market and the potential
6 risks and rewards of forward market in prices should be
7 reflected in Idaho Power Company's hedging positions?
8 A No, I do not.
9 Q The Staff's understanding is that one
10 potential benefit of the Idaho Power/IDACORP Energy
11 relationship was the retention of this type of market
12 knowledge. As the non-operating system or IDACORP Energy's
13 speculative position would imply, why shouldn't Idaho Power
14 Company have the advantage of such knowledge?
15 A I would have thought that one of the reasons
16 that the separation between the Idaho Power non-op group
17 and the operating group was created in the first place was
18 to ensure that the Idaho Power Company ratepayers were not
19 exposed to risk positions in the marketplace. When Idaho
20 Power, when non-op Idaho Power, engages in forward
21 transactions, there is never any certainty around those
22 speculative positions as to whether they are going to make
23 money or not and I think it would be entirely inappropriate
24 if a risk position was identified at the Idaho Power
25 Company level that was viewed as being an intolerable risk
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Wilder, Idaho 83676 Idaho Power Company
1 to be taking on the part of the ratepayers.
2 If a decision to hedge was postponed because
3 of a price view emanating from the non-op group, for
4 example, if Idaho Power is significantly long resources in
5 a surplus position in one month and with that long position
6 is subsequently exposed to a fall in prices, it may be
7 deemed appropriate assuming certain risk tolerances
8 expressed by the ratepayers to go out and hedge that
9 transaction and they would hedge that transaction by
10 selling that power forward at a fixed price.
11 On the same day, it might be possible that
12 the non-op trading group believes prices will rise, doesn't
13 know prices will rise, but believes prices will rise and I
14 don't think it is appropriate for the ratepayers who are
15 desirous of a low risk position to have that potential
16 hedge shelved because of the price view emanating from a
17 trading and entrepreneurial marketing operation.
18 Q Since you believe that Idaho Power Company
19 should reject using a price view, how should Idaho Power
20 Company take market price risk and range of potential
21 market prices into effect in setting hedging strategies?
22 A They should be governed largely or entirely
23 on the risk tolerances expressed by Staff and ratepayers
24 and if one reaches a position where the amount of risk in
25 the Idaho Power Company position exceeds that risk
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CSB REPORTING SIMARD (X-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 tolerance, then regardless of price levels, a hedge would
2 be implemented to bring the risk back within the
3 appropriate risk tolerance.
4 Q Since IE trades in the market more frequently
5 and with greater expertise, don't they have a more informed
6 impression of potential future risks and rewards of market
7 price movements than Idaho Power does?
8 A Idaho Energy may have more expertise with
9 respect to attempting to forecast prices. They're an
10 organization that has been set up to take risks and given a
11 certain amount of risk capital available to them, they will
12 attempt to maximize the profits they can generate from the
13 risk positions they take, but the key is that those
14 positions entail risk and the trading performance of
15 trading and marketing entities can be extremely volatile
16 and that is typically not the kind of exposure that a
17 utility ratepayer would want in his portfolio.
18 Q Well, that's not to say that Idaho Power
19 Company has to blindly do or rely on whatever impressions
20 IDACORP Energy has, but shouldn't they have the benefit of
21 those impressions?
22 A Once again, I think not because if the non-op
23 trading company thinks the price is going up, I can tell
24 you that there's another informed player in the marketplace
25 who thinks the price is going down. If all the informed
507
CSB REPORTING SIMARD (X-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 players in the marketplace thought the price was going up,
2 the price would already be up, so for example, if everybody
3 thought the price was going to be $100 a megawatt-hour in a
4 given month and the forward price today is trading at
5 $80.00, then it's not going to take very long before that
6 forward price is trading at $100 and once we get to that
7 equilibrium level of $100 it's because many in the market
8 believe the price is going to go up and many in the market
9 believe the price is going to go down.
10 Q You've identified Idaho Power Company's
11 acknowledgment of risk tolerance. What actions did Idaho
12 Power Company take to determine Staff or customer risk
13 tolerance?
14 A Idaho Power is in the process, I believe as
15 we speak as part of the 16 case, is in the process of
16 developing that consultative and collaborative process to
17 attempting to identify the appropriate level of risk
18 tolerance. I would also ask what direction has been given
19 by ratepayers or the Staff or the board in the past with
20 respect to their risk tolerance?
21 Q I'm afraid I'm not sworn. I can't answer
22 that.
23 A That's fair.
24 Q If Idaho Power Company hasn't done it thus
25 far, to your knowledge, do you know why they haven't?
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CSB REPORTING SIMARD (X-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 A I think the main reason is that this whole
2 area of establishing a collaborative approach with
3 ratepayers around the appropriate risk management activity
4 is still very much in its embryonic stage throughout North
5 America.
6 Q Does the Idaho Power/IDACORP Energy service
7 agreement allow the IE model to minimize the outright price
8 speculation and to instead take advantage of superior
9 market knowledge of energy movement constraints?
10 MR. RIPLEY: Mr. Chairman, I'm going to
11 object simply because we are going outside the bounds of
12 the 7/11 case and now encroaching on the bounds of the 16
13 case. Mr. Simard is going to testify in the 16 case and
14 what agreements are or are not in place for IES is more
15 properly in the 16 case. There was no agreement, I believe
16 this record clearly demonstrates, up to at least
17 February 28, 2001 as far as its application to the PCA in
18 this proceeding except for real-time pricing.
19 MS. NORDSTROM: Staff will withdraw its
20 question.
21 COMMISSIONER KJELLANDER: Thank you.
22 MS. NORDSTROM: May I have just a moment?
23 COMMISSIONER KJELLANDER: Certainly.
24 (Pause in proceedings.)
25 Q BY MS. NORDSTROM: The Idaho Power position
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Wilder, Idaho 83676 Idaho Power Company
1 is that the Mid-C is a liquid, transparent trading
2 location; correct?
3 A Yes.
4 Q Would this imply that the implicit and
5 explicit transaction costs are the lowest at this point for
6 Idaho Power Company?
7 A I'm not sure I understand the question.
8 Q Is this the best place for them to trade?
9 A I believe that the Mid-C index is the best
10 regional index available. If one had a passive marketing
11 and supply operation at Idaho Power Company, then a
12 standard transaction that they would be entering into each
13 day would be the purchase or sale of power at Mid-C with
14 the appropriate transmission to and from the Idaho Power
15 border and as such, Mid-C is a very representative index of
16 the type of day-ahead activity that a passive marketing and
17 supply function would be active in.
18 Q Is there any other identifiable liquid and
19 transparent trading location available for IDACORP Energy
20 and Idaho Power Company?
21 A The only other one I can think of is
22 potentially the Palo Verde index which is not as
23 representative of most IPC transactions in the normal
24 course. That becomes a more representative index when
25 there are transmission constraints between Mid-C and the
510
CSB REPORTING SIMARD (X-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 Idaho Power border, but absent those transmission
2 constraints between Mid-C and the Idaho Power border, I
3 believe that the Mid-C index is by far and away the most
4 representative index price that can be used to price these
5 transactions.
6 Q So does that mean to say that transmission
7 constraints may increase the risk of transacting at Mid-C?
8 A Transmission constraints increase the risk to
9 the non-operating trading entity of supplying power to
10 Idaho Power, the op side, at the transfer pricing
11 mechanism.
12 MS. NORDSTROM: No further questions. Thank
13 you.
14 COMMISSIONER KJELLANDER: We move now to
15 Mr. Richardson.
16 MR. RICHARDSON: No questions, Mr. Chairman.
17 COMMISSIONER KJELLANDER: Are there questions
18 from the Commission?
19 Commissioner Hansen.
20
21 EXAMINATION
22
23 BY COMMISSIONER HANSEN:
24 Q I guess I'd like you to kind of clarify for
25 me, on page 15, lines 5 through 10 of your rebuttal, are
511
CSB REPORTING SIMARD (Com-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 you saying that Idaho Power Company did no hedging because
2 they had no preapproval?
3 A I would suggest that if they had preapproval,
4 preapproval within clear guidelines, they probably would
5 have entered into hedge transactions if that had been
6 dictated by the kind of preapproval that had been given.
7 Absent the preapproval, there was a substantial amount of
8 risk whether a transaction was put in place or not and I
9 keep coming back to the fact that if a hedge had been
10 established for, for example, the December-February period
11 at 150 to $200 a megawatt-hour and prices had suddenly
12 collapsed, there could easily have been some questioning on
13 the part of Staff and ratepayers on a hindsight basis as to
14 why anybody would have hedged at such a high price relative
15 to where we've been in the past knowing as we do now that
16 prices were set to collapse and, of course, that's the kind
17 of discussion that many California ratepayers may find
18 themselves in today.
19 Q So are you saying that Idaho Power wouldn't
20 do anything without the ratepayer's preapproval, that they
21 wouldn't do any hedging, shouldn't do any hedging without
22 having the ratepayer's preapproval of what they should do;
23 is that what you're saying?
24 A I think to their credit the historical
25 transaction record shows that in the past Idaho Power has
512
CSB REPORTING SIMARD (Com-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 entered into transactions on behalf of its ratepayers, but
2 when it did that, it was taking on risk because there was
3 always the chance that those transactions in hindsight
4 would have been disallowed, and from my perspective, that
5 creates an inequity in the decision making process for IPC
6 and I much favor an approach where the individuals who are
7 truly affected here, the ratepayers, have input into the
8 process so that IPC has a better idea of exactly what the
9 risk appetite is of those ratepayers and to reduce the
10 likelihood of negative hindsight reviews.
11 Q Well, I guess the question I'd have is how
12 Idaho Power Company would get a consensus from the
13 ratepayers on the amount of risk and hedging they should
14 take when we as a Commission, we can't even under all of
15 all God's blue skies get a consensus from the ratepayers on
16 any particular issue. I mean, they're all over the board.
17 I mean, you've got some that would be willing to pay more
18 for, say, green power or whatever and some want the prices
19 even reduced a lot further. I guess, how do you propose
20 that they would get guidance from the ratepayer in order to
21 establish this?
22 A Well, I'd first like to comment that absent
23 that consensus, Idaho Power is being forced into that
24 position of attempting to identify the risk appetite of the
25 ratepayers with all the kinds of difficulties you indicate
513
CSB REPORTING SIMARD (Com-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 and one thing is for certain, no matter what course they
2 take on a risk management front, they're not going to end
3 up with the lowest possible price and there's always a
4 chance that the ratepayers who have not been forced to
5 identify up front what their risk appetite is can come
6 along after the fact and say no, I'm sorry, you guessed
7 wrong. Any prudent person in that kind of environment
8 would not have established a hedge or would have
9 established a hedge at that point depending on how prices
10 subsequently moved, so I absolutely agree that the
11 mechanisms and process to attempt to identify what that
12 consensus view is, that's not an easy process and I believe
13 the most appropriate way to go forward is to look at who
14 are the representatives of the ratepayers. The intervenors
15 and the Staff, I would think, act as representatives of the
16 ratepayers and if they can be brought into the process,
17 they're the ones who presumably are in a much better
18 position to establish what the potential risk appetite of
19 those ratepayers might be.
20 COMMISSIONER KJELLANDER: Commissioner Smith.
21 COMMISSIONER SMITH: Yes, thank you.
22
23
24
25
514
CSB REPORTING SIMARD (Com-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 EXAMINATION
2
3 BY COMMISSIONER SMITH:
4 Q I just wanted to follow up on something you
5 said in response to Commissioner Hansen's question and it
6 seems to me that what you don't like is the regulatory
7 process when you talk about this after the fact reviews,
8 because in my experience, that's essentially what happens
9 to a regulated entity is that there are after the fact
10 reviews and that's commonplace.
11 A Yes, my problem in this environment is that
12 often the decisions about prudency are made in hindsight
13 after market movements have already occurred and it is very
14 difficult to go back to the situation where the decision is
15 actually made and think about what the position the Company
16 is in at that time. In hindsight, it is very easy for a
17 ratepayer group to come forward and suggest that, you know,
18 the last thing in the world I wanted was a hedge at $150
19 for the winter because, you know, prices were obviously
20 peaking and here we are back down at 40.
21 Q And I agree and I think that is a tremendous
22 challenge for the Commission to remember that we're looking
23 at it from the position of what was known at the time and
24 not what we know now months later, but by the same token, I
25 think that that also puts a burden and a responsibility on
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CSB REPORTING SIMARD (Com-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 the regulated entity and behooves them to keep the best
2 records possible so that the regulator can go back to that
3 point in time and say okay, what were you thinking.
4 A Recordkeeping is important. I also think
5 it's the responsibility of the utility to share as much
6 information as they can possibly share with ratepayer
7 groups and the board about what the nature and risks are in
8 the position.
9 Q And when you say the "board," you mean us,
10 you mean the Commission?
11 A The Commission, yes.
12 COMMISSIONER SMITH: Thank you. That's all.
13 COMMISSIONER KJELLANDER: Thank you. We move
14 now to redirect.
15 MR. RIPLEY: I have no redirect.
16 COMMISSIONER KJELLANDER: Okay, thank you,
17 sir.
18 THE WITNESS: Thank you.
19 (The witness left the stand.)
20 COMMISSIONER KJELLANDER: Would you like to
21 call your next witness?
22 MR. RIPLEY: I call Dr. Peseau.
23
24
25
516
CSB REPORTING SIMARD (Com-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 DENNIS E. PESEAU,
2 produced as a rebuttal witness at the instance of the Idaho
3 Power Company, having been first duly sworn, was examined
4 and testified as follows:
5
6 DIRECT EXAMINATION
7
8 BY MR. RIPLEY:
9 Q Would you please state your full name for the
10 record?
11 A Yes. My name is Dennis E. Peseau, spelled
12 P-e-s-e-a-u.
13 Q And your business address?
14 A Is 1500 Liberty Street, Suite 250, Salem,
15 Oregon.
16 Q Did you have cause to be prepared for this
17 proceeding certain prefiled testimony consisting of 18
18 pages and within that testimony you sponsored and
19 identified Exhibits 25 through 28 -- excuse me, 25 through
20 27?
21 A Yes.
22 Q And if I asked you the questions that are set
23 forth in your prefiled testimony today, would your answers
24 be the same?
25 A They would.
517
CSB REPORTING PESEAU (Di-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 Q Do you have any changes to your testimony
2 and/or exhibits?
3 A I have one to the testimony. On page 10,
4 line 17, the second to the last word should be "is," not
5 "as." That's all the corrections I have.
6 Q With the exception of that correction, if I
7 asked you -- I think I already said that -- would your
8 answers be the same?
9 A Yes, they would.
10 MR. RIPLEY: We would request that the
11 testimony of Dr. Peseau be spread upon the record as if
12 read and his exhibits be identified as marked in his
13 prefiled testimony and we'd tender him for
14 cross-examination.
15 MR. RICHARDSON: Mr. Chairman?
16 COMMISSIONER KJELLANDER: Yes.
17 MR. RICHARDSON: I have an objection to the
18 admission of Dr. Peseau's testimony.
19 MR. RIPLEY: Oh.
20 COMMISSIONER KJELLANDER: Well, let's hear
21 it.
22 MR. RICHARDSON: The basis of my objection is
23 that Dr. Peseau's testimony is not trustworthy, is not
24 credible and is not the type of evidence upon which a
25 reasonable person may rely. May I inquire some questions
518
CSB REPORTING PESEAU (Di-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 of Dr. Peseau to lay the foundation for my objections?
2 COMMISSIONER KJELLANDER: Certainly.
3 MR. RICHARDSON: Dr. Peseau, are you being
4 paid for your testimony here today?
5 THE WITNESS: Yes, I am.
6 MR. RICHARDSON: Did you write this
7 testimony?
8 THE WITNESS: Yes, I did.
9 MR. RICHARDSON: When?
10 THE WITNESS: Well, over a period of a few
11 weeks prior to the filing date.
12 MR. RICHARDSON: And the filing date was
13 August 7?
14 THE WITNESS: That could be, yes.
15 MR. RICHARDSON: Did Idaho Power tell you
16 what to put in your testimony?
17 THE WITNESS: No, they did not.
18 MR. RICHARDSON: So your testimony is
19 reflective of your professional unbiased opinion; correct?
20 THE WITNESS: Yes.
21 MR. RICHARDSON: And you conclude in your
22 prepared testimony, in your proffered testimony, at
23 page 15, lines 16 through 20 that basing the transfer price
24 for operating book purposes on the independent, objective,
25 fluid and arms-length transactions calculated by the Mid-C
519
CSB REPORTING PESEAU (Di-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 index remove all questions of whether these transactions
2 are prudently priced; correct?
3 THE WITNESS: Correct.
4 MR. RICHARDSON: Mr. Chairman, may I approach
5 the witness?
6 COMMISSIONER KJELLANDER: For what purpose?
7 MR. RICHARDSON: To show the witness a
8 document to refresh his memory.
9 COMMISSIONER KJELLANDER: Do you have that
10 document to share with --
11 MR. RICHARDSON: I do, Mr. Chairman.
12 COMMISSIONER KJELLANDER: Please do so.
13 (Mr. Richardson approached the witness.)
14 COMMISSIONER KJELLANDER: And,
15 Mr. Richardson, since the Commission does not have the
16 benefit of seeing a copy of what you've just handed, please
17 describe it.
18 MR. RICHARDSON: Thank you, Mr. Chairman.
19 I'll lay the foundation for the document now. Dr. Peseau,
20 do you recognize this document?
21 THE WITNESS: Yes, I do.
22 MR. RICHARDSON: Can you please identify it
23 for us?
24 THE WITNESS: They are handwritten notes in
25 my handwriting to you of November 17, the year 2000.
520
CSB REPORTING PESEAU (Di-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 MR. RICHARDSON: And when you prepared this
2 document, were you employed by the Industrial Customers of
3 Idaho Power?
4 THE WITNESS: Yes.
5 MR. RICHARDSON: Okay, Dr. Peseau, would you
6 read the first bullet point on the first page from this
7 document?
8 MR. RIPLEY: Well, first let me say that
9 Mr. Richardson is asking that the testimony be struck, not
10 that he be permitted to cross-examine the voracity of the
11 Company's witness. Getting into what this memo says does
12 not lead one to the conclusion that the testimony should be
13 struck. That's the current motion before the Commission, I
14 believe.
15 MR. RICHARDSON: Mr. Chairman, this document
16 is evidence of prior inconsistent statements by the witness
17 which are proper foundation for a motion to strike and in
18 order for you to understand that he's made these prior
19 inconsistent statements, you need to hear what they say.
20 MR. RIPLEY: I do not believe that prior
21 inconsistent statements give rise to the ability of the
22 Commission to strike testimony. It certainly goes to the
23 weight of that testimony. When we get into it, I have no
24 problem with the witness addressing all of these concerns,
25 but I think procedurally, it's simply out of order to move
521
CSB REPORTING PESEAU (Di-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 to strike on the basis that counsel believes he has a prior
2 inconsistent statement.
3 MR. RICHARDSON: Mr. Chairman, this document
4 shows prior inconsistent statements to the extent that it
5 casts a shadow on the trustworthiness and credibleness and
6 whether or not a reasonable person would rely on this
7 testimony and, therefore, it is not simply to impeach or
8 cast a shadow of doubt on the credibility of the witness,
9 it goes to the heart of the testimony whether it's
10 admissible or not.
11 COMMISSIONER KJELLANDER: Just a moment. I'm
12 going to go at ease and we'll be back with you in just a
13 moment.
14 (Pause in proceedings.)
15 COMMISSIONER KJELLANDER: We're back on the
16 record. Having had an opportunity to confer as a
17 Commission, the way that we're going to proceed with this
18 is to first sustain the objection that was put forward by
19 Mr. Ripley and then to deny Mr. Richardson's motion as it
20 was presented and allow the testimony to be spread and the
21 exhibits to be admitted.
22 (Idaho Power Company Exhibit
23 Nos. 25 - 27 were admitted into evidence.)
24 (The following prefiled rebuttal
25 testimony of Dr. Dennis Peseau is spread upon the record.)
522
CSB REPORTING PESEAU (Di-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 Q. Please state your name and business address.
2 A. My name is Dennis E. Peseau. My business
3 address is Suite 250, 1500 Liberty Street, S.E., Salem,
4 Oregon 97302.
5 Q. By whom and in what capacity are you
6 employed?
7 A. I am the President of Utility Resources, Inc.
8 ("URI"). URI has consulted on a number of economic,
9 financial and engineering matters for various private and
10 public entities for more than twenty years.
11 Q. Does Exhibit 25 describe your background and
12 experience?
13 A. Yes.
14 Q. What is the subject of your rebuttal
15 testimony?
16 A. My firm has been asked by Idaho Power Company
17 to review the testimony filed by the Company, the Staff and
18 the Idaho Irrigation Pumpers Association in Case Nos. E-01-7
19 and E-01-11. My rebuttal testimony and comments in these
20 proceedings are from a regional and economic perspective.
21 My testimony is limited primarily to three subject areas:
22 1. Staff's conclusion that Mid-Columbia
23 ("Mid-C") price indexes are no longer appropriate measures
24 of transfer prices;
25 2. Staff's suggestion to implement a lower-
523
PESEAU, DI-REB 1
Idaho Power Company
1 of-cost or market of Idaho Power purchases and higher-of
2 cost or market for Company sales, in place of market
3 transfer prices, and its request to capture $51 million of
4 revenue from IES;
5 3. Staff's and the Irrigation Pumpers'
6 contention that Idaho Power's and IES' short and
7 longer-term power purchase portfolios ought to be closely
8 correlated, and in particular, that term purchases
9 generally result in lower power costs for the utility.
10 Q. Have you and your firm been active recently
11 in power purchase, resource planning and market pricing
12 issues throughout the western system coordinating council
13 (WSCC) region?
14 A. Yes, we have conducted numerous studies and
15 analyses on such issues in the western U.S. and elsewhere
16 for twenty-five years. Recently our firm has participated
17 in numerous resource planning, market index pricing,
18 transfer pricing, market term purchase, transmission access
19 and general deregulation studies throughout the western U.S.
20 As noted by Company witness Ms. Hoyd and Staff witness Ms.
21 Carlock, however, the importance of these issues has
22 significantly increased in the past five years. While I
23 will not repeat most of this history, I need to highlight
24 certain aspects of recent changes in western electric
25 wholesale markets, particularly with regard to the trend in
524
PESEAU, DI-REB 2
Idaho Power Company
1 electric wholesale prices and spot and longer-term
2 purchases, in order to put my comments on Ms. Carlock's and
3 Mr. Yankel's testimony in proper perspective.
4 Q. Please explain.
5 A. Prior to the implementation of competitive
6 wholesale markets in the electric utility industry,
7 regional utilities were required to build and otherwise
8 acquire long-term generation facilities sufficient to meet
9 their respective native load and reserve margin
10 requirements. Long-term purchase contracts were rare,
11 usually limited to resource-specific purchases and sales
12 from an excess capacity facility.
13 Utility-to-utility purchases and sales were
14 short-term and bilateral in nature due to lack of mandatory
15 transmission access. As there was no established market or
16 market price, transactions were generally at a share-the-
17 savings or cost-plus basis.
18 The clear direction of FERC toward its 1996
19 transmission open access and market based wholesale
20 transactions, plus anticipation of similar provisions at the
21 retail level by state jurisdictions, completely transformed
22 resource planning of most electric utilities. Due to the
23 perceived eventual requirements to divest or otherwise
24 separate the generation function of utilities from their
25 transmission and distribution functions, utilities were
525
PESEAU, DI-REB 3
Idaho Power Company
1 facing the risk of potential "stranded costs" arising from
2 the need to sell generating facilities at prices
3 potentially below the regulatory book value of such assets.
4 Q. What occurred in the industry as a result of
5 FERC's implementation of competitive wholesale markets, and
6 the emerging movement toward competition and open access at
7 the retail level?
8 A. The successful implementation of competitive
9 wholesale markets gave electric utilities an important and
10 advantageous access to numerous outside generation
11 resources, lessening the perceived need to commit to build
12 internal generation. The advent of retail competition and
13 the corresponding risk of incurring stranded costs further
14 incented utilities to rely on wholesale market purchases,
15 avoiding construction of new generating facilities.
16 Thus the opening of the wholesale markets in
17 1996 led to a virtual explosion of wholesale transactions
18 and the establishment of independent, fluid and objective
19 "market centers" upon which indices could be established
20 for pricing purposes.
21 Q. What was the level and trend of wholesale
22 market prices in 1996 and thereafter in the western U.S.?
23 A. The level and trend of wholesale market
24 prices during the period since 1996 is important, in my
25 opinion, in understanding the context of my criticisms of
526
PESEAU, DI-REB 4
Idaho Power Company
1 Staff witness Ms. Carlock's giving up on the Mid-C pricing
2 index as a valid, accurate and correct basis upon which to
3 establish transfer prices between Idaho Power and IES.
4 As similarly occurred when natural gas
5 deregulated in the 1980s, electric wholesale prices
6 beginning in 1996 in the western United States fell far
7 below previous incremental resource costs and, in fact,
8 fell well below prior average power costs. This trend is
9 shown on my Exhibit 26. The two important points that are
10 reflected in the exhibit are first, the long period of low
11 prices, and second, this long trend of low prices was also
12 accompanied by low price volatility.
13 Q. What impacts on utility resource planning
14 resulted from the trend of low, stable wholesale prices?
15 A. Utilities relied more heavily on wholesale
16 transactions. Utilities also concluded that the low price
17 volatility made short-term purchases more advantageous than
18 long-term purchases.
19 MID-C PRICES AS APPROPRIATE TRANSFER PRICES
20 Q. Have you read Staff's testimony with regard
21 to the appropriateness of using Mid-C as a basis for
22 setting transfer prices for transactions between Idaho
23 Power and IES?
24 A. Yes. This issue is raised primarily in the
25 testimony of Ms. Carlock.
527
PESEAU, DI-REB 5
Idaho Power Company
1 Q. What is Staff's position with respect to
2 using the Mid-C index for transfer pricing?
3 A. It is my understanding that Staff once agreed
4 that the Mid-C index was a reasonable, objective, and
5 independent measure of market prices and, therefore,
6 appropriate to use as a transfer price. As I read Staff's
7 case, this support ended upon its audit in the April 1,
8 2000 - February 28, 2001 PCA case. Staff now proposes to
9 transfer approximately $51 million of revenues from
10 shareholders to ratepayers by rejecting the Mid-C index of
11 market prices in favor of its after-the-fact determination
12 to use the lower-of-cost or market for purchases by Idaho
13 Power and the higher-of-cost and market for sales by Idaho
14 Power.
15 Q. What will your comments address with respect
16 to Staff's position on the Mid-C index?
17 A. First, let me state that I am aware of the
18 procedural and legal arguments surrounding whether certain
19 agreements were or were not actually in effect and, as I am
20 not a lawyer, I have no comments in this regard.
21 My comments are limited to the merits of
22 Staff's position that something happened recently to the
23 Mid-C index that made it unworkable as a basis for transfer
24 pricing in the period April 1, 2000 - February 28, 2001.
25 Q. What conclusions have you reached with the
528
PESEAU, DI-REB 6
Idaho Power Company
1 issue of the mid-c index as measure of market price?
2 A. As explained in more detail by other Company
3 witnesses, throughout the period in question, Mid-C
4 remained a very fluid, independent, objective and accurate
5 indicator of market prices for all transactions occurring
6 in the Pacific Northwest. I do not at all agree with
7 Staff's conclusion that this Mid-C index somehow failed to
8 measure the terms under which arms-length transactions were
9 priced. In fact, I have found no instances were Staff has
10 even identified any shortcomings in the Mid-C index.
11 Q. What is the economic or technical basis for
12 staff's objection to the Mid-C index from April 1, 2000 -
13 February 28, 2001?
14 A. Staff, in their comments to the Commission
15 dated April 16, 2001, lists the three bases upon which it
16 was able to conclude for April 1999 - March 2000 that the
17 Mid-C price was acceptable:
18 1. The Mid-C price was independent.
19 2. The Mid-C price closely followed what
20 the Company was actually paying for power purchases and
21 charging for power sales.
22 3. The actual prices of the Company were
23 symmetrical and in a narrow band around Mid-C price index
24 for the months April 1999 through March 2000.
25 Q. Were any of the three market-pricing criteria
529
PESEAU, DI-REB 7
Idaho Power Company
1 acceptable to Staff in the period April 1999 - March 2000
2 not complied with in the period April 1, 2000 - February
3 28, 2001?
4 A. No. In fact these criteria were strictly met
5 in the period April 1, 2000 - February 28, 2001:
6 1. The Mid-C price remained independent.
7 2. The Mid-C price equaled what the Company
8 was actually paying for power purchases and charging for
9 power sales.
10 3. The actual prices of the Company were
11 exactly equal to the Mid-C price index for the months
12 April 1, 2000 - February 28, 2001.
13 Staff's conclusion that the Mid-C no longer
14 is reflective of prices paid for power purchases or
15 received for power sales by Idaho Power/IES is factually
16 quite incorrect. The Mid-C price is exactly reflective of
17 prices paid for and received from Idaho Power transactions.
18 These same Mid-C prices may or not be reflective of IES
19 transactions depending upon the degree of success or
20 failure that IES realizes in its risk taking.
21 I conclude that the Mid-C index worked just
22 as it was intended to work. All the market volatility and
23 risk was transferred to IES, as was the reward. What did
24 happen was that unprecedented market price volatility began
25 during the latter period of the 2000-2001 PCA year. During
530
PESEAU, DI-REB 8
Idaho Power Company
1 periods of market price volatility, the band of prices of
2 IES could be expected to not follow a narrow band around
3 the Mid-C average. Ultimately the extreme price volatility
4 that occurred during heavy system purchasing months caused
5 Idaho Power to file its PCA earlier this year in order to
6 help with utility cash flow and to get a price signal out
7 to its customers.
8 Q. Was there in fact significantly more market
9 price volatility in this last PCA year?
10 A. Yes. While visual inspection of prices shown
11 in my Exhibit 26 appear to support this, Exhibit 27
12 summarizes statistical data termed "analysis of variance."
13 The statistics on this exhibit verify that significant
14 increases in both the level and volatility occurred in the
15 2000-2001 PCA year.
16 Q. What does Exhibit 27 show?
17 A. Exhibit 27 compares statistically the means
18 (averages) and variance (volatility) for the prices on high
19 load, low load, and flat periods for these market indexes:
20 The Mid-C, the Palo Verde (PV) and the California-Oregon
21 border (COB). I present the results for all three market
22 centers to demonstrate that the Mid-C index during or
23 before the 2000-2001 PCA year did not somehow change as an
24 accurate basis for setting transfer prices, as suggested in
25 Staff testimony.
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Idaho Power Company
1 The statistical tests are the same for each
2 market index. The entire time period for which I report
3 the price data, June 1999 - March 2001, is broken into two
4 equal eleven month periods, June 1999 - April 2000 and May
5 2000 - March 2001. Exhibit 26 verifies visually the intent
6 of these statistical tests: to establish whether
7 significant differences do indeed exist between the earlier
8 period of relatively flat prices and the more recent period
9 of rising, volatile prices.
10 The summary statistics, namely the F-
11 statistics, do verify that significant differences exist
12 between the averages and volatility of prices between the
13 two periods in each of the three market indexes. I conclude
14 that all three indexes were reflecting on a consistent basis
15 the price volatility that led to the divergences and wider
16 than previous band of prices around each of the three price
17 indexes. The wider band of actual prices paid by IES is
18 not a product of any alleged failure of the Mid-C price
19 index during the period of the 2000-2001 PCA year.
20 Q. Does this increased, or for that matter, any
21 decreased volatility of market prices in any way make the
22 Mid-C index more or less useful as an appropriate transfer
23 price?
24 A. No, not at all. This Mid-C index, as
25 discussed by others, is a weighted average of numerous
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PESEAU, DI-REB 10
Idaho Power Company
1 transactions occurring during a consistent period of time
2 (hour, day, month, etc.). The fact that more volatility
3 occurs in a period of time does not reduce the value of the
4 index calculation.
5 The Mid-C index reflects an average
6 transaction price during a period in which approximately
7 50% of the transactions have been made "above market" and
8 50% below. For transactions closed at the Mid-C index,
9 approximately 50% beat the market and 50% are in excess of
10 the market. The value to Idaho Power and its ratepayers of
11 using the Mid-C index is that this deemed indexed price is
12 better for ratepayers than the price received by 50% of the
13 market participants, but at no risk. To be sure, Idaho
14 Power and its ratepayers are in a sense giving up the
15 opportunity to take on more risk by attempting to transact
16 in the 50% of below market average transactions.
17 Q. What, in your opinion, was the purpose of
18 using a single indexed price booking operating and non-
19 operating transactions?
20 A. There are two reasons. One is to establish,
21 in Staff's terms, a "pricing mechanism." The second is to
22 establish a pricing mechanism that is incapable of being
23 manipulated for purposes of taking advantage of a
24 transaction between regulated and unregulated functions.
25 Only a price mechanism based on a market
533
PESEAU, DI-REB 11
Idaho Power Company
1 index fulfills both purposes. I simply disagree that Mid-C
2 no longer represents a surrogate price for system power
3 transactions.
4 Q. Staff contends that "Substantially greater
5 margins on similar transactions for a non-regulated entity
6 compared to a regulated entity is an indicator of an
7 improper pricing mechanism." [Ms. Carlock, Direct, pages
8 24-25.] Mr. Yankel supports this concept as well. Do you
9 agree?
10 A. No. Margins on a transaction reflect the
11 degree of risk assumed. As I explained above, the Mid-C
12 pricing mechanism for Idaho Power and ratepayers is
13 designed to reduce risk and speculation on the part of the
14 regulated utility. The 50% potential upside for beating
15 the market is traded away for not having to experience the
16 downside of paying the above-market average.
17 THE $51 MILLION ADJUSTMENT
18 Q. What is the issue with respect to Staff's
19 proposed $51 million adjustment to PCA costs?
20 A. My understanding is that Staff no longer
21 agrees that the Mid-C price index serves as an appropriate
22 transfer price for transactions in the system's operating
23 book. This dissatisfaction leads Staff to adopt an
24 alternative transfer price that attributes to Idaho Power
25 "the lower-of-cost or market" to Company purchases from IES
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PESEAU, DI-REB 12
Idaho Power Company
1 and "the higher-of-cost or market to Company sales." Since
2 the effect of Staff's proposal is to allocate 100% of all
3 non-operating profits on Idaho Power's transactions to
4 ratepayers, and 100% of all IES non-operating losses made on
5 Idaho Power transactions to IES, an adjustment calculated
6 to be $51 million in favor of ratepayers is proposed.
7 Q. Are there distinctions made between the types
8 of re-priced transactions comprising the $51 million?
9 A. I understand that of the $51 million proposed
10 adjustment, $3.6 million is based on real-time transactions
11 and the remaining $47.4 million is based on day-ahead
12 transactions. As I have not followed completely the basis
13 for the repricing of real-time transactions, my comments
14 here are limited to day-ahead transactions.
15 Q. Does Staff's proposed $51 million adjustment
16 have implications for the risk and uncertainty facing
17 IDACORP shareholders?
18 A. Yes. The direct testimony of Dennis Gribble
19 elaborates on the obvious income and financial implications
20 of a $51 million write-off. I want to place Staff's
21 proposed repricing adjustment in terms of risk and reward.
22 The Company's treatment of operating book
23 transactions in the PCA case continues its understanding of
24 the rules of the game: Idaho Power on behalf of ratepayers
25 receives an objective measure of market price for all
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PESEAU, DI-REB 13
Idaho Power Company
1 transactions. This continuation of market-priced
2 transactions removes for ratepayers two aspects of risk:
3 the financial risk of transacting above and below market
4 prices for purchases and sales, respectively, and the risk
5 of potential abuse between the operating and non-operating
6 functions. Staff in the 1999-2000 PCA was in full
7 agreement at the time that eliminating these two sources of
8 risk was good for ratepayers.
9 In both the 1999-2000 and the 2000-2001 PCA
10 cases, IDACORP management assumed that eliminating these
11 sources of risk for Idaho Power left it free to undertake
12 substantially riskier positions in the wholesale power
13 markets on behalf of shareholders. IDACORP's assumptions
14 in this regard proved accurate in the 1999-2000 PCA case
15 and shareholders were attributed the gains and losses made
16 on its operating and non-operating transactions. These
17 same assumptions are not accurate in the 2000-2001 PCA case
18 according to Staff.
19 Q. Who was at financial risk for these
20 transactions?
21 A. Shareholders were at risk, since Idaho Power
22 was allowed the Mid-C transfer price.
23 Q. Did shareholders actually incur the financial
24 risk on their investment in the operating transactions?
25 A. Yes. Again, by virtue of Idaho Power
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PESEAU, DI-REB 14
Idaho Power Company
1 receiving the Mid-C market transfer price, shareholders
2 were entirely at risk for the outcome of the operating
3 transactions.
4 Q. Does Staff's proposal to reprice the
5 operating book transactions to reduce shareholder gain
6 misalign the risk and reward of these transactions?
7 A. Yes. In fact, Staff's proposal really
8 amounts to confiscation of shareholder property. The
9 financial obligation of the regulator to consider and align
10 shareholder returns commensurate with the risk undertaken
11 and in line with comparable other investment opportunities
12 is well established in prior legal proceedings such as the
13 Bluefield and Hope cases.
14 Q. In your opinion is there an issue of prudency
15 in the $51 million adjustment proposed by Staff?
16 A. No. Basing the transfer price for operating
17 book purposes on the independent, objective, fluid and
18 arms-length transactions calculated by the Mid-C index
19 remove all questions of whether these transactions are
20 prudently priced.
21 Q. If in the next PCA case there are $51 million
22 in transactional losses when measured against the Mid-C
23 index, how would the loss be treated?
24 A. Under the Company's continuation of existing
25 policies, IDACORP shareholders would sustain the losses and
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PESEAU, DI-REB 15
Idaho Power Company
1 ratepayers would be insulated by virtue of Mid-C transfer
2 prices.
3 Under Staff's proposal in these proceedings,
4 we simply don't know. Staff's proposal here is carefully
5 worded to pertain only to these proceedings, not to future
6 cases. It is predicated on fixing the market price index
7 that, as I have testified, is not broken in the first place.
8 Q. What is your recommendation with respect to
9 Staff's proposed $51 million adjustment?
10 A. I recommend that the Commission continue with
11 use of the Mid-C transfer price in these proceedings and
12 deny the proposed $51 million adjustment.
13 LONG AND SHORT-TERM POWER TRANSACTIONS
14 Q. What is the issue in these proceedings with
15 respect to the length of terms for power transactions?
16 A. One issue raised in Staff testimony pertains
17 to whether short or longer-term purchase terms are least
18 costly. A second important issue raised by Staff is that
19 system operating book transactions for the 2000-2001 PCA
20 year were too heavily weighted to the short-term, allegedly
21 to the detriment of ratepayers.
22 Q. Are short-term or longer-term power purchases
23 least costly?
24 A. As acknowledged in the testimony of Staff
25 witness Mr. Lord, longer-term contracts introduce risk to
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Idaho Power Company
1 suppliers and therefore will command a premium over a
2 sequence of short-term purchases. I therefore disagree
3 with the latter half of Ms. Carlock's statement (direct,
4 page 8, lines 17-18) that "Term transactions reduce the price
5 variability and usually the cost for that time period..."
6 (Emphasis added). Usually, a sequence of short-term
7 purchases will be less costly than longer-term contracts,
8 although longer-term contracts obviously reduce price
9 volatility.
10 Q. Why do you raise this issue?
11 A. From my reading of Staff testimony (Carlock
12 direct, pages 7-8), I became concerned that Idaho Power
13 might be directed, apart from its own assessment of term
14 structures, to simply take long-term positions. While I do
15 not disagree that flexibility in balancing purchases of
16 different terms can at times be an important risk
17 management tool, this tool must remain entirely under the
18 purview of management. Longer-term positions as suggested
19 by Staff have recently proved financially disastrous to a
20 number of utilities.
21 Q. Please explain.
22 A. Utilities in the western U.S. that have
23 chosen to go long in purchases this past several months are
24 now facing two market developments that are proving to be
25 very costly. First, forward price curves have dropped
539
PESEAU, DI-REB 17
Idaho Power Company
1 dramatically in the last couple of months. Those utilities
2 that chose to lock in terms this past winter could have
3 reduced power costs significantly by postponing these long
4 positions. A second development was the April 26, 2001 FERC
5 Price Mitigation order effectively providing price caps to
6 transactions made throughout the WSCC. These price caps
7 have the effect of eliminating any profit opportunities of
8 utilities that went long at higher prices this last winter
9 in hope of selling off into higher-priced markets.
10 Our firm is involved in resource planning
11 proceedings for Southwest utilities that now face the
12 potential financial hardships of having entered longer-term
13 contracts this past winter.
14 Q. Is it your position that Idaho Power should
15 never enter into longer-term power contracts?
16 A. No, not at all. I am only pointing out that
17 management of contract purchase terms is very much a risk
18 management tool to be left up to the discretion of Idaho
19 Power. However, while the utility must make the risk
20 management decisions, the Company must be able to rely on
21 some ongoing regulatory rules under which to base its
22 decisions.
23 Q. Does this conclude your rebuttal testimony?
24 A. Yes, it does.
25
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PESEAU, DI-REB 18
Idaho Power Company
1 (The following proceedings were had in
2 open hearing.)
3 COMMISSIONER KJELLANDER: And we will now
4 turn to Mr. Richardson to proceed.
5 MR. RICHARDSON: Thank you, Mr. Chairman.
6
7 CROSS-EXAMINATION
8
9 BY MR. RICHARDSON:
10 Q Dr. Peseau, at page 15 of your testimony, you
11 conclude that basing the transfer price for operating book
12 purposes under what you termed independent, objective,
13 fluid and arms-length transactions calculated by the Mid-C
14 index removes all questions of whether these transactions
15 are prudently priced; correct?
16 A That's correct.
17 Q Would you agree with the statement that the
18 proposed Idaho Power/IES relationship, that structure
19 allows for no market test for reasonableness as it does not
20 contemplate competing bids and, therefore, is not in the
21 ratepayer's best interests?
22 MR. RIPLEY: To which we would object. If
23 counsel desires to bring this up in IPC-E-01-16, he has
24 every right to do so. This is IPC-E-01-7 and 11 and the
25 IES/Idaho Power agreement insofar as it's related to the
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Wilder, Idaho 83676 Idaho Power Company
1 pricing of Mid-C is irrelevant.
2 MR. RICHARDSON: Mr. Chairman, Dr. Peseau's
3 testimony speaks to the prudency of the use of the Mid-C
4 index for pricing transactions. The question I asked goes
5 directly to that issue, is it prudent to use the Mid-C
6 index as a method for prudently pricing the transactions
7 and the question I asked is whether or not accepting
8 competing bids cures a problem with that prudency. It goes
9 directly to Dr. Peseau's testimony.
10 COMMISSIONER KJELLANDER: I will allow the
11 question.
12 THE WITNESS: The testimony on page 15 refers
13 to a transfer price, that is, a fair and objective, fluid
14 price by which power transfers may be made between the
15 operating and non-operating entities. The first paragraph
16 of this paper that you read talks about the proposed
17 business structure between IPC and IES that was proposed at
18 the time. As I recall, IES was proposing to charge Idaho
19 Power a fixed annual fee. I don't recall what that fee
20 was. This point says unless you go to bid, you don't know
21 that IES is bidding the lowest bid to transact. It has
22 nothing do with Mid-C. It has nothing to do with transfer
23 pricing.
24 Q BY MR. RICHARDSON: Would you agree that the
25 relationship between IPC and IES and the existing PCA
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1 removes incentives for least cost purchases of power for
2 retail customers and provides incentives to pay excess over
3 least cost to IES as each entity has the same stock owners,
4 IDACORP, and these perverse incentives do not exist if a
5 third party conducts the proposed IES functions?
6 A Absent a market fluid, independent measure of
7 a transfer price, that could be true.
8 Q So we have perverse incentives here?
9 A Only if we have a cost-calculated transfer
10 price. If we have a Mid-C or another objective,
11 independent price to transfer, then you remove the perverse
12 incentives. That's the whole theory behind using Mid-C.
13 Q Isn't the Staff's proposal in this case to do
14 least cost of market or index and isn't that exactly where
15 we're going with perverse incentives, to prevent those
16 incentives, to charge an index when perhaps there's a lower
17 cost available to charge?
18 A There's always a lower cost to charge, but it
19 doesn't mean that it's in any sense fair. Once we use a
20 market price index, Mid-C, we remove perverse incentives.
21 Staff's proposal now is to depart from its previously
22 determined conclusions that the Mid-C was an appropriate
23 pricing index and now look back over the most recent PCA
24 test year and say that an actual cost because it's lower
25 than Mid-C is the appropriate. That doesn't remove any
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1 perverse incentives. In fact, it creates a whole lot of
2 perverse incentives.
3 Q A Staff witness talked a lot about oversight
4 and appropriate safeguards and ability to audit and
5 monitor, there's been a lot of discussion of that in this
6 hearing, would you agree that all provisions for auditing
7 are meaningless in light of the necessity for professional
8 commodity traders generally in scarce supply and able to be
9 high remunerated not available to Staff to conduct such
10 audits?
11 A I said that and I continue to think that if
12 we move off of an appropriate pricing index and instead
13 move to audits of actual costs and attempted calculations
14 of costs between the op and the non-op, that's the very
15 reason in the 1970s the Pacific Northwest Bell and all the
16 affiliate interest problems came to be in the first place.
17 This statement you just read goes to that issue. It was
18 prior to any knowledge I had of the implementation of an
19 objective Mid-C pricing index.
20 MR. RICHARDSON: That's all I have,
21 Mr. Chairman.
22 COMMISSIONER KJELLANDER: Let's move to the
23 Deputy Attorney General representing the IPUC Staff,
24 Ms. Nordstrom.
25 MS. NORDSTROM: Thank you.
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1 CROSS-EXAMINATION
2
3 BY MS. NORDSTROM:
4 Q Does a transaction for day-ahead versus
5 real-time pricing allow the application of the transfer
6 price to a different time period?
7 A Does it allow? It depends on the structure.
8 Could I have the question again?
9 Q Does a transaction for day-ahead versus
10 real-time pricing allow the application of the transfer
11 price to a different time period?
12 A That depends. I'm not sure whether you're
13 saying one locks into a day-ahead price and then reprices
14 it or does one decide on a day-ahead basis whether to
15 forego a day-ahead and then go to a real-time price.
16 Q The former.
17 A Then yes, it would by a day.
18 Q Do you believe the day-ahead Mid-C index
19 prices appropriately reflect Idaho border real-time prices?
20 A I don't have an opinion on that. I haven't
21 dealt with that.
22 Q On page 14 of your rebuttal testimony,
23 actually it's 14 and 15, you state that shareholders were
24 at risk for the 2000-2001 PCA case. Do you agree that both
25 ratepayers and shareholders bore the financial risk for the
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1 transactions that were taken during that time period?
2 A To the extent that the PCA costs are
3 authorized, then consumers will pay that, but ultimately
4 the question of prudence and so forth is ultimately the at
5 risk of the shareholders.
6 Q Is it correct to conclude that based on your
7 testimony you believe there was significant energy market
8 price volatility during the 2000-2001 PCA period?
9 A Yes, beginning towards the end of November of
10 2000 there was considerable volatility. There was some
11 movement prior to that.
12 Q Do you also agree that there was significant
13 price movement over many days during the year, within that
14 year?
15 A That's how volatility occurs, hour by hour,
16 day by day.
17 Q Would you agree that the day-ahead Mid-C
18 market price, the subject of this discussion in this case,
19 is a weighted average for heavy load hours and an average
20 for light load hours in a given 24-hour period?
21 A Yes.
22 Q Would you also agree that the more volatile
23 the price, for example, in the 16-hour high load period,
24 the greater variance existed between the 16-hour average
25 and individual transactions?
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1 A I'm sorry, the last of that was that more
2 variability occurred when?
3 Q The price was more volatile when greater
4 variance existed between the 16-hour average and individual
5 transaction prices.
6 A The individual variance in the individual
7 prices is what gives rise to a measure of variance. I'm
8 trying to be responsive, but the greater the variance in
9 the individual prices the greater the measure of variance a
10 single statistic is if that's what you mean. Variances are
11 always higher the more variable individual prices are.
12 Q In the alternative, when prices during the
13 day are relatively stable, do you agree that the Mid-C
14 average will closely match individual transactions for that
15 particular day?
16 A The question is, is the variance of a
17 narrower band of prices less than the variance of a greater
18 band in prices, yes.
19 Q Thank you. In volatile markets where prices
20 change radically during a load period, would you agree that
21 there are drastic differences between daily averages and
22 the cost of individual transactions to say that another
23 way?
24 A There are differences. If you want to call
25 them drastic, I guess I would need an example as to how
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1 drastic, but they certainly can be significant and have
2 been.
3 Q Idaho Power's position is that the Mid-C is a
4 liquid and transparent trading location. Would this imply
5 that the costs of transaction are lowest at this point for
6 Idaho Power Company?
7 A No.
8 Q Why not?
9 A Because a liquid, independent market is just
10 that. We can have a liquid, independent market in Europe
11 for that matter and it wouldn't be cheaper. One is an
12 objective measure of what a market center is and there are
13 a number of those about the country, but it doesn't mean
14 that it's the lowest cost period.
15 Q I was referring to transmission costs,
16 transaction costs rather, not price.
17 A Transaction costs including -- I'm sorry,
18 transaction costs between bilateral contracts, transmission
19 costs and so forth?
20 Q Yes.
21 A I would expect on average that Mid-C prices
22 would be least cost to Idaho Power, but what makes me
23 nervous, that doesn't have anything to do with my
24 assessment of whether Mid-C it is an independent, fluid
25 market or not. It is.
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1 Q Are there any other appropriate liquid and
2 fluid markets, trading locations out there for Idaho Power
3 to use?
4 A As a means to transfer, for transferring
5 power between op and non-op?
6 Q Yes.
7 A I don't know of any.
8 MS. NORDSTROM: May I have just a moment?
9 COMMISSIONER KJELLANDER: Yes.
10 (Pause in proceedings.)
11 Q BY MS. NORDSTROM: I think I just have one
12 last question for you. You agreed that the hedge allowed
13 them to shift time periods, this swap that we've been
14 discussing; is that correct?
15 A Well, we weren't discussing hedges or swaps.
16 We were talking about a day-ahead versus what I would
17 assume was the next day real-time price.
18 Q Correct. Would this shift in time periods
19 allow for the perverse incentives that you described
20 earlier?
21 A I'm sure you could construct some examples
22 where it might. That would, I think, argue for some ground
23 rules on that.
24 Q But the opportunity is there; is that
25 correct?
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1 A I don't have an example in mind, but I think
2 there could be. Any time you have an opportunity to shift
3 price for a commodity, there may be an opportunity.
4 MS. NORDSTROM: Thank you. No further
5 questions.
6 COMMISSIONER KJELLANDER: Questions from the
7 Commission.
8 Commissioner Smith.
9
10 EXAMINATION
11
12 BY COMMISSIONER SMITH:
13 Q Yes, Doctor, did I understand your testimony
14 correctly in response to a question that you believe that
15 price movement began in November of 2000?
16 A I said the significant price movement began
17 in -- well, there are charts that I can refer to in the
18 last week in November, I believe.
19 Q So in your mind the price movements that
20 began earlier in the year were not significant?
21 A I suppose it depends on what side of the
22 transaction you are on, but relatively speaking, the price
23 movements from November through spring were far more
24 significant than any time before. We did have an April
25 through August price spike as well, but it was what now
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CSB REPORTING PESEAU (Com-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 looks to be pretty small, but it was considered significant
2 at the time. I'm not saying that it was insignificant by
3 any means.
4 COMMISSIONER SMITH: Thank you.
5 COMMISSIONER KJELLANDER: Are there further
6 questions from the Commission?
7 Commissioner Hansen.
8 COMMISSIONER HANSEN: I do have one.
9
10 EXAMINATION
11
12 BY COMMISSIONER HANSEN:
13 Q I'm trying to put it together so I may have
14 to ask it a couple of times. On page 2 of your testimony,
15 lines 14 through 19, you mention that you have been
16 involved with a variety of studies and so forth. I guess
17 my question would be, have you done any work in the last
18 year that would have helped utilities such as Idaho Power
19 Company in this case hedge against the enormous changes in
20 the wholesale market price in the West? I mean, you talk
21 about that you've done, could -- I guess what I'm asking
22 is, are there resources out there where they could have
23 come and got some help?
24 A The answer is yes to your question,
25 Commissioner. We have done work primarily in the
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1 Southwest, a lot of it in Nevada, and it's been primarily
2 in representing larger customers in resource planning
3 proceedings and in deferred energy proceedings to help add
4 some of the input that I think Mr. Simard was talking about
5 about what's the customer's appetite for risk. In a couple
6 of instances, Nevada Power and Avista in particular did
7 decide to hedge over a multi-month period and it turned out
8 to be unfortunate, so we're back at the table. Nevada
9 Power, for example, has deferred some -- they're
10 anticipating deferring some $700 million in costs as a
11 result of these hedges and I understand from the Avista
12 case that was filed here and in the State of Washington
13 that they're anticipating some 300 million, so we are not
14 in giving advice, certainly we're not proposing that
15 customers insist on long-term hedges.
16 Had a long-term hedge prior to November taken
17 place, looking back, it would have been helpful for a
18 period of a few months, but if we were into a hedge this
19 year, for example, right now with prices at $35.00, $40.00
20 a megawatt-hour, the hedge obviously is to the detriment,
21 significant detriment, of customers, so fortunately, we've
22 not taken any strong positions urging hedges or, for that
23 matter, urging short-term prices. It's difficult.
24 In the midst of all the turmoil in California
25 and in the midst of the significant lawsuits that we have
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1 that some people attribute to the price spike beginning in
2 November of 2000 and ending in spring, until these market
3 imperfections are worked out, I think we would be
4 increasing risk rather than decreasing it by suggesting
5 rules of hedging. It's a very delicate and very risky
6 game.
7 Q So then to just kind of summarize, you've
8 done a lot of studies and analyses in the Southwest and so
9 forth, but you really haven't come up with any great
10 direction or advice to give utilities that need help in
11 this area; is that right?
12 A Yeah, I certainly have had enough
13 mathematical statistics to believe that commodity prices,
14 and I include electricity there, are essentially a random
15 walk and you need more than forecasts of prices, because
16 they're often wrong, to place a lot of bets. You need a
17 lot of trading abilities and ways to make money over and
18 above just taking a price position and over time when you
19 have a random walk for prices, you just need to do other
20 things.
21 I think Mr. Simard's points about at least
22 getting a consensus or some input so that the utilities
23 don't feel that any risk they take on they will be
24 compensated for is certainly a first step in that
25 direction, but if your question is what would I propose
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1 that Idaho Power do over the next year, I just don't have
2 an answer for that.
3 COMMISSIONER HANSEN: Thank you.
4 COMMISSIONER KJELLANDER:
5 Commissioner Smith.
6
7 EXAMINATION
8
9 BY COMMISSIONER SMITH:
10 Q So are you aware that the Commission approved
11 an irrigation buy-back program?
12 A Yes.
13 Q Do you think that's a hedge?
14 A It is.
15 COMMISSIONER SMITH: Thank you.
16 COMMISSIONER KJELLANDER: We're ready now for
17 redirect.
18
19 REDIRECT EXAMINATION
20
21 BY MR. RIPLEY:
22 Q Doctor, if I could direct your attention to
23 Exhibit 26, your Exhibit 26.
24 A Yes.
25 Q Commissioner Smith asked you some questions
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CSB REPORTING PESEAU (Di-Reb)
Wilder, Idaho 83676 Idaho Power Company
1 regarding price. Looking at that exhibit, could you
2 provide her with additional information as to what occurred
3 in pricing from June of '99 through March of '01?
4 A Yes, I was talking about an exhibit --
5 COMMISSIONER SMITH: Mr. Ripley, I know what
6 occurred. I guess I was inquiring as to what he considered
7 to be significant.
8 MR. RIPLEY: I misinterpreted your question
9 and I apologize. No need to answer my question.
10 THE WITNESS: Okay.
11 MR. RIPLEY: With that, I have no -- you've
12 just run a knife through my heart. I have no additional
13 redirect.
14 (The witness left the stand.)
15 COMMISSIONER KJELLANDER: I guess in the
16 absence of stopping the bleeding, then, as we had at least
17 mentioned getting into this afternoon -- and you're excused
18 Mr. Peseau -- I guess we're at a breaking point, then, for
19 the day, if I'm not mistaken; is that correct?
20 MR. RIPLEY: Yes, sir.
21 COMMISSIONER KJELLANDER: Okay, and it's then
22 the intent to start up early in the morning and you hope to
23 have any changes in your rebuttal testimony in a Q and A
24 format and to the extent that that can be delivered to the
25 intervenors in appropriate fashion, that would be extremely
555
CSB REPORTING COLLOQUY
Wilder, Idaho 83676
1 helpful.
2 I think the only thing left for us to decide
3 at this point really is the time at which we'd like to
4 reconvene tomorrow and would 9:00 o'clock be an appropriate
5 start time? We'll shoot for 9:00 o'clock and that's really
6 the time that I think I would like to start tomorrow.
7 MS. NORDSTROM: Mr. Chairman?
8 COMMISSIONER KJELLANDER: Yes.
9 MS. NORDSTROM: Will Staff and intervenors
10 have an opportunity to review this new testimony and
11 exhibits prior to beginning at 9:00 o'clock?
12 COMMISSIONER KJELLANDER: It would be my
13 hope, but, again, it depends on how long it takes for them
14 to put their testimony together, so for me to try and sit
15 here today and mandate that it must be given to you by a
16 certain time and point during this day or early tomorrow, I
17 don't think I could fairly do that to the Company. It
18 would be my hope that in the essence of fairness that that
19 be made available to you as soon as it's reasonable for
20 that to occur.
21 MS. NORDSTROM: Thank you.
22 COMMISSIONER KJELLANDER: So at this point
23 what we would do is adjourn for the day with the intent to
24 reconvene tomorrow morning at 9:00.
25 (The Hearing recessed at 2:45 p.m.)
556
CSB REPORTING COLLOQUY
Wilder, Idaho 83676