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HomeMy WebLinkAbout200407263rd Response of ID Power to Staff.pdfBARTON L. KLINE , ISB # 1526 MONICA B. MOEN , ISB # 5734 Idaho Power Company 1221 West Idaho Street P. O. Box 70 Boise , Idaho 83707 Telephone: (208) 388-2682 FAX Telephone: (208) 388-6936 F(EGE1VEO :::- 1 f r: . 'L. ~" r~- Hi P,. ~v ) v'.J fl t.t. " , ;" 11 ;iT;' :':,' -\:~ L,!C vI ILl! iL~) c.Ur"lt"'liSSION Attorneys for Idaho Power Company BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF A PETITION FILED BY IDAHO POWER COMPANY FOR APPROVAL) OF MODIFICATIONS TO THE SECURITY PROVISIONS REQUIRED TO BE INCLUDED IN AGREEMENTS BETWEEN IDAHO POWER AND CO-GENERATORS AND SMALL POWER PRODUCERS CASE NO. IPC-03- IDAHO POWER COMPANY' RESPONSE TO THIRD PRODUCTION REQUEST OF COMMISSION STAFF COMES NOW , Idaho Power Company ("Idaho Power" or "the Company and in response to the Third Production Request of the Commission Staff dated July 12 2004, herewith submits the following information: REQUEST NO. 12: Regarding the Company s response to Staff prior Production Request No., regarding Idaho Power/QF contracts with levelized rates that are in non-compliance with -292 security requirements, the Company s response to the question addressed only noncompliance with insurance requirements. A. Please identify all Idaho Power/QF contracts with levelized rates that are subject to the Commission s -292 second lien security requirements. IDAHO POWER COMPANY'S RESPONSE TO THIRD PRODUCTION REQUEST OF COMMISSION STAFF Page B. Of those, please identify all projects with an existing and filed second lien. C. For those QF projects without a second lien, please indicate whether this was a result of a) administrative neglect by Idaho Power or b) an election by the QF to post liquid security. D. For each QF project out of compliance with -292 second lien security requirements, please provide project name and present accrued overpayment liability. For each project , please detail the Company related enforcement efforts. RESPONSE TO REQUEST NO. 12- Proiect Pro ect Pro ect Pro ect Number Name Number Name 21615078 Barber Dam 31615125 Lowline #2 31415065 Black Canyon #3 31715123 Magic Reservoir 31515100 Briggs Creek 31765150 Magic Valley 31615106 Dietrich Drop 21765151 Magic West 41717137 Falls River 31615154 Mile 28 31615098 Geo-Bon #2 31414111 Mud Creek/White 31315093 Hailey CSPP 31615067 Pigeon Cove 31715128 Hazelton A 31615104 Rock Creek #2 31715140 Hazelton B 41 51 5122 Schaffner 11715144 Horseshoe Bend Hydro 31615158 Shoshone #2 31615030 Koyle Small Hydro 31315021 Snake River Pottery 31615056 Lateral # 10 31715141 Wilson Lake Hydro 31615105 Little Wood River Reservoir The Response to this Request was prepared by Randy Allphin, Contract Administrator, Power Supply Planning, Idaho Power Company, in consultation with Monica B. Moen , Attorney for Idaho Power Company. IDAHO POWER COMPANY'S RESPONSE TO THIRD PRODUCTION REQUEST OF COMMISSION STAFF Page 2 RESPONSE TO REQUEST NO. 12-8: All of the projects listed in Response to No. 12-, with the exception of the Little Wood River Reservoir project Project No. 31615105, have an existing and filed second lien. The Response to this Request was prepared by Randy Allphin , Contract Administrator, Power Supply Planning, Idaho Power Company, in consultation with Monica B. Moen, Attorney for Idaho Power Company. RESPONSE TO REQUEST NO. 12-C: The Little Wood River Reservoir project, Project No. 31615105, has elected to post liquid security in the form of a Letter of C red it. The Response to this Request was prepared by Randy Allphin , Contract Administrator, Power Supply Planning, Idaho Power Company, in consultation with Monica B. Moen, Attorney for Idaho Power Company. RESPONSE TO REQUEST NO. 12-0: No QF projects with whom Idaho Power has contracted are out of compliance with the -292 second lien security requirements. The Response to this Request was prepared by Randy Allphin , Contract Administrator, Power Supply Planning, Idaho Power Company, in consultation with Monica B. Moen , Attorney for Idaho Power Company. DATED at Boise, Idaho, this 23rd day of July 2004. MONICA B. MOEN Attorney for Idaho Power Company IDAHO POWER COMPANY'S RESPONSE TO THIRD PRODUCTION REQUEST OF COMMISSION STAFF Page 3 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on this 23rd day of July 2004, I served a true and correct copy of the within and foregoing IDAHO POWER COMPANY'S RESPONSE TO THIRD PRODUCTION REQUEST OF COMMISSION STAFF upon the following named parties by the method indicated below, and addressed to the following: Scott Woodbury Deputy Attorney General Idaho Public Utilities Commission 472 W. Washington Street O. Box 83720 Boise, Idaho 83720-0074 Hand Delivered S. Mail Overnight Mail FAX (208) 334-3762 MONICA B. MOEN CERTIFICATE OF SERVICE