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HomeMy WebLinkAbout19900731Staff to IPC 1-12.pdf../t.:5Yr BRA M. PURDY Deputy Attorney General Idaho Public Utilities Commssion Statehouse Boise, Idaho 83720-0001 (208) 334-0357 RECE1VED mtlLED 0 90 JUL 31 PM 2 30 Attorney for Commssion Staff o PUBLIC !TIES COMMIS~ION BEPBB tllBB IDARO PUUC tJ COMMSSION IN TH MAT: OF TU APCATION )OF mARO POWE COMPAN FOR A )CE1FiCATE OF PUC cON- )IECE AN NECB FOR TU )RATE BA OF TI JI )HYROELCTC PRJE, OR IN )TH ALTBATI, A DETATION )OF EX STATU FOR TH MI )HYROELC PRCT. ) ) CA NO. IPE-90-8 FI PRODUCTONRE OF.THCOMMSSON STAF The Staff of the Idaho Public Utilities Commssion by and through its attorney of record, Brad Purdy, Deputy Attorney General, requests that the Respondent, Idaho Power Company (hereinafter "Company"), pursuant to Rules of Practice and Procedure 22.1 and 22.3 provide the following documents and information on or before Monday, Au 20, 199. This production request is to be considered as continuing and Idaho Power 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. For each item, please indicate the name of the person(s) preparing the answers, the name of the individual maintaining the requested records, and the witness at hearing that can sponsor the answer. Request No.1. Please identify by name each "Authorized Representative" as defined in Attachment 2 of the Company's Application. FIRST PRODUCTION REQUEST -1- .. Request No.2. Please identify the "Desig Engineer" for the Milner Dam modification as defined in Attachment 2 of the Company's Application. Reuest No.3. Please identify the Company's employee best able to explain the reasonable range of potential costs to the Company that will reswt from the Royalty as defined in Attachment 2 of the Application. Request No.4. The Company's Application indicates that contracts have already been exected for powerhouse mechanical and elecrical equipment. Please provide a copy of all Requests for Proposals (RFPs), bid notices, plans, specification.s, and other documents use to solicit suppliers for this equipment and for any other servces or equipment appurtenant to the Milner Project. Reuest No.5. Please provide a list of each potential supplier that was directly notified of the Company's desre to procure powerhouse mechanical and/or electrical equipment for this project. Request No.6. Please provide a copy of each bid, proposal, or other notice of interest in supplying powerhouse mechanical and/or electrical equipment for the Milner Project. Request No.7. Please provide a copy of each contract executed for supply of powerhouse mechanical and/or electrical equipment for the Milner Project, including all applicable plans and specifica.tions. Request No.8. Please provide a copy of each contract and agreement between the Company and the canal company(ies) relevant to the Milner Project, including but not limited to the "Construction Management Agreement". FIRST PRODUCTION REQUEST -2- .. Request No.9. Please provide a detailed cost estimate, including workpapers and spread sheets as applicable, for construction of the Milner Dam rehabilitation. Request No. 10. Please provide a detailed cost estimate, including workpapers and spread sheets as applicable, for construction of the Milner Dam power houses and appurnant structures and eqipment. Request No. 11. Page 62, Schedule II of Attachment 2 to the Company's Application includes a line item of costs incurred by the Company prior to January 1990 of "Contract Costs....$397,198.51". Please provide a copy of each contract under which these costs were incurred. Request No. 12. Please provide workpapers and spreadsheets showing the determination of estimated le\Telized life-cycle cost of energy from the Milner Project using the maxmum available flow records. Include copies of flow duration data (including canal diversions unavailable for generation) for each powerhouse. DATED at Boise, Idaho, this 3 J day of July 1990. /fM i! f. &)ß~ Brad M. Purdy Deputy Attorney General BP:nhI-191 FIRST PRODUCTION REQUEST -3- . ." wi .. CETIFIÇATE Of SDviCE I HEREBY CERTIFY 1990, SERVED THE FOREGOING COISSION STAFF, CASE NO. BY MAILING A COpy THEREOF, THAT I HAVE THIS 31st DAY OF JULY, lrIRST PRODUCTION REQUST OF TH IPC-E-90-8, ON ALL PARTIES OF RECORD POSTAGE PREPAID, TO THE FOLLOWING: LARRY D. RIPLEY, ESQ. LEGAL DEPARTMNT IDAHO POWER COMPANY P. O. BOX 70 BOISE, 10 83707 GRANT E. TANNER, ESQ. LINDSAY, HART, NEIL & WEIGLER SUITE 1800 222 S.W . COLUMBIA PORTLAND, OR 97201 STEVEN L. HERNDON, ESQ. LEGAL DEPARTMENT IDAHO POWER COMPANY P. O. BOX 70 BOISE, ID 83707 PETER J. RICHARDSON, ESQ. DAVIS WRIGHT TREMAINE 400 JEFFERSON PLACE 350 N. NINTH STREET BOISE, ID 83702 HAROLD C. MILES IDAHO CONSUMER AFFAIRS, INC. 316 - 15TH AVENUE SOUTH NAMPA, ID83651 JAMES N. ROETHE, ESQ. PILLSBURY, MADISON & SUTRO P. O. BOX 7880 SAN FRANCISCO, CA 94120 R. SCOTT PASLEY ASSISTANT GENERAL COUNSEL J. R. SIMPLOT COMPANY P.O. BOX 27 BOISE, ID 83707-0027 R. MICHAEL SOUTHCOMBE, ESQ. CLEMONS, COSHO & HUMPHREY, 815 W. WASH I NGTON STREET BOISE, ID 83702-5590 DAVID H. HAWK, DIRECTOR ENERGY NATURAL RESOURCES J. R . S IMPLOT COMPANY P. o. BOX 27 BOISE, 10 83707-0027 OWEN H. ORNDORFF ORNDORFF & PETERSON 1087 W. RIVER ST., SUITE 230 BOISE, ID 83702-7035 J,~ SECRETARY lCERT/142 CERTIFICATE OF SERVICE