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HomeMy WebLinkAbout20150305Clearwater 1-11 to AVU.pdfPeter J. Richardson (ISB No. 3195) Gregory M. Adams (ISB No. 7454) Richardson Adams, PLLC 515 N. 27th Street Boise,Idatro 83702 Telephone: (208) 938-7900 Fax: (208) 938-7904 peter@richardsonadams. com gre g@richardsonadams.com Attorneys for the Clearwater Paper Corporation ?[:! t'iiR -5 fitl lii, 53 BEFORE THE IDAHO PUBLIC UTILTTIES COMMISSTON TN THE MATTER THE APPLICATION OF ) AVISTA CORPORATION FOR A PETITION ) CESP NO. AVU.E.I5.OI TO MODIFY TERMS AND CONDITTONS OF ) PR9SPECTIVE PURPA AGREEMENTS I TNST PRODUCTION REQUESTS OF1 THE CLEARWATER PAPERI conpoRATIoN ) ) Pursuant to Rule 225 of the Rules of Procedure of the ldatro Public Utilities Commission (the "IPUC" or "Commission"), the Clearwater Paper Corporation ("Clearwater") by and through its attorneys of record, Gregory M. Adams and Peter J. Richardson, hereby requests that Avista Corporation ("Avista" or the "Company") provide responses to the following requests for production. This production request is to be considered as continuing, and the Company is requested to provide by way of supplementary responses additional documents that it or any person acting on its behalf may later obtain that will augment the documents produced. Please provide one physical copy and electronic-mail copies of the responses to Mr. Richardson and Mr. Adams at the addresses noted above. Please provide an additional CLEARWATER PAPER CORPORATION'S FIRST PRODUCTION REQUEST AVU-E-15-01 PAGE I electronic copy, or if unavailable a physical copy, to Dr. Don Reading at:6070 Hill Road, Boise, Idatro 83703, Tel: (208) 342-1700;Fax: (208) 384-1511; dreading@mindspring.com. For each item, please indicate the name of the person(s) preparing the answers, along with the job title of such person(s) and the witness who can sponsor the answer at an evidentiary hearing. If some of the following requests include disclosures reasonably deemed by Avista to be confidential, Clearwater will enter into Avista's standard confidentiality agreement. REOUEST FOR PRODUCTION NO. 1 Reference the direct testimony of Clint Kalich at page 2:22to3:2 and the Company's Petition at Prayer for Relief No. l. [s it Avista's intent to limit all PURPA contracts to a five year term or only " 'IRP Methodology' wind and solar PURPA contracts"? REOUEST FOR PRODUCTION NO. 2 Reference the direct testimony of Clint Kalich page 3:2 - 3:4 stating, "A term beyond five (5) years should be an option for the utility in the event a very favorable PURPA opportunity arises." Please describe the circumstances under which Avista would consider a longer PUPRA contract. REOUEST FOR PRODUCTION NO. 3 Please provide copies of all material provided to the Commission Staffregarding the Company's application that were provided other than through formal discovery, both prior to, and after, the filing of the Application. REOUEST FOR PRODUCTION NO.4 Please provide all of the Company's discovery responses to all other parties and any future discovery responses the Company will provide in this docket. CLEARWATER PAPER CORPORATION'S FTRST PRODUCTION REQUEST AVU-E-15-01 PAGE 2 REOUEST FOR PRODUCTION NO. 5 Has the Company investigated the impacts of Avista joining the PacifiCorp-California ISO energy imbalance market as a potential way to reduce costs associated with intermittent generation or for any other reasons? If not, why not? Please provide all studies or analyses of the impacts of Avista joining the PacifiCorp-California ISO energy imbalance market. REOUEST FOR PRODUCTION NO. 6 Please provide a list of all existing currently operating PURPA projects selling their output to Avista pursuant to rates set by the ldaho Commission. For each provide the MW rating, on-line date and year the contract expires. REOUEST FOR PRODUCTION NO. 7 Please provide a list (confidential information redacted) of all PURPA projects that have requested a PURPA contract and completed the procedures found in Tariff Schedule 62(1)Ai- xiv. Include the MW rating, proposed on line date and proposed fuel source. REOUEST FOR PRODUCTION NO. 8 Please provide a list (confidential information redacted) of all proposed PURPA projects that the Company has rejected pursuant to Schedule 62(D). Include the MW rating, proposed on line date and proposed fuel source. REOUEST FOR PRODUCTION NO. 9 At page 3 lines 15 - 18 of Mr. Kalich's Direct Testimony he states, "Developers have consistently favored Idaho Power, the utility with the highest calculated avoided cost rates for PURPA projects ("QFs") that qualit/ for such rates." And at page 4,lines 15 - 18, "Again, this decision demonstrated rational economic behavior because, while Avista's long-term rates were much lower than ldaho Power's, Avista's short-term rates were similar to Idaho Power's short- term rates." Please provide documentation to support these statements. Please provide, by the fuel type of the QFs the avoided cost offered by ldaho Power and Avista for comparable contract lengths, both long-term and short-term. REOUEST FOR PRODUCTION NO. 10 At page 3 of the Petition Avista states, ooThus, as a direct result of the Commission's action affording one utility interim relief, Avista could be required to enter into a significant number of PURPA contracts." Has the Company been contacted by any PURPA developers seeking contracts since the Idaho Public Utilities Commission issued Order No. 33222? If so please indicate the fuel type, MW size and geographic location of the project. CLEARWATER PAPER CORPORATION'S FIRST PRODUCTION REQUEST AVU-E-15-01 PAGE 3 REOUEST FOR PRODUCTION NO. 11 At pages 2 and 3 of the Petition Avista states,'oThe Commission further found that 'there is sufficient evidence that the predicted influx of high-capacity PURPA contracts could significantly and detrimentally impact customer rates and system reliability before this matter is fully resolved' and, therefore, 'action pending resolution of this matter is waranted.' " The Commission statement was in reference to Idatro Power. Does Avista consider its own situation equivalent to that of Idaho? Please explain fully why or why not. try DATED this / day of March, 2015. RICHARDSON ADAMS, PLLC ,,,-i-*)L)';r-; Peter Richardson Of Attorneys for the Clearwater Paper Corporation CLEARWATER PAPER CORPORATION'S FTRST PRODUCTION REQUEST AVU-E-15-01 PAGE 4 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on the 3'd day of March,z}ls,a true and correct copy of the within and foregoing FIRST PRODUCTION REQUEST OF CLEARWATER PAPER CORPORATION was served by prepaid U.S. Mail and electronic mail to the following individuals: Michael G. Andrea Senior Counsel Avista Corporation l41l East Mission Ave. MSC-23 Spokane Washington 99202 Michael. andrea@ avistacorp. com Clint Kalich Manager, Resource Planning & Analysis Avista Corporation 1411 East Mission Ave. MSC-7 Spokane, WA99202 Clint.kalich@avi stacorp. com Linda Gervais Manager, Regulatory Policy 141I East Mission Ave. MSC-27 Spokane, WA99202 Linda. gervais@avistacom. com |.lrp n /\n cu P.\15 CLEARWATER PAPER CORPORATION'S FIRST PRODUCTION REQUEST AVU-E-15-01 PAGE 5