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HomeMy WebLinkAbout970707.docxDECISION MEMORANDUM TO:COMMISSIONER HANSEN COMMISSIONER NELSON COMMISSIONER SMITH MYRNA WALTERS TONYA CLARK DON HOWELL STEPHANIE MILLER DAVE SCHUNKE RICK STERLING DAVID SCOTT WORKING FILE FROM:BRAD PURDY DATE:July 7, 1997 RE:CASE NO. IPC-E-97-8 IDAHO POWER’S 1997 INTEGRATED RESOURCE PLAN UPDATE On June 2, 1997, the Idaho Power Company (Idaho Power; Company) filed its 1997 Integrated Resource Plan (IRP) with the Commission pursuant to Commission Order No. 22299 issued in Case No. U-1500-165.  On June 12, 1997, the Commission issued a Notice of Modified Procedure soliciting comments in response to the Company’s Application.  The only party to file comments was the Commission Staff whose comments are summarized below. Commission Staff Staff notes that Idaho Power has designed its 1997 IRP as a “transition plan” because of the changing electric utility environment in which the Company is currently operating.  The goal of the plan, as stated by the Company, is to maintain Idaho Power’s ability to serve the growing service territory demand for electricity for whatever period its role as an exclusive supplier of electricity continues, while also ensuring that any resources acquired for service territory loads will also be cost effective in the competitive market. Idaho Power reduced the planning period for the 1997 IRP from 20 years to 10 years.  Order No. 22299, the Order requiring integrated resource planning for electric utilities, still requires a 20-year planning period.  Staff notes that the Commission has not formally changed the requirements contained in that Order.  Staff agrees, however, that a 10 year planning period is appropriate given the current level of uncertainty about the future of the electric industry. Staff believes that the load forecasts made by the Company in its 1997 IRP are reasonable.  The resource alternatives evaluated are the ones most likely to prove cost effective in meeting expected load at least cost.  Staff also believes that the analysis used to plan future resource acquisitions was fair and thorough and that the Company has appropriately assessed uncertainties. Staff believes that the Company’s future activities, as laid out in the two year action plan, are reasonable and appropriate.  Staff notes, however, that any proposal to either significantly change or eliminate existing DSM programs is subject to review by the Commission.  Staff points out that the Company has recently terminated several DSM programs and states its intent to participate in the Northwest Energy Efficiency Alliance (NEEA) in the future.  Whether existing or recently eliminated programs will be replaced with new Company sponsored programs, or whether the Company will only pursue DSM through regional efforts, has not been addressed in the IRP.  The Company’s conservation plan (Appendix C of the IRP) does show a level of annual spending for DSM in future years of $3.5 million).  Of that amount, only a portion would be spent on NEEA participation, Staff notes.  Most of the remainder, however, is not identified as earmarked for any specific program.  Staff believes that Idaho Power should continue to assess conservation opportunities and solidify its future DSM plans. Finally, Idaho Power has indicated its intent to file limited annual updates to the 1997 IRP.  Although Staff supports the Company’s proposal, it notes that any decisions to change current IRP requirements rests with the Commission.   In summary, Staff recommends that the Commission acknowledge Idaho Power’s 1997 integrated resource plan as properly filed and accept the Company’s use of a 10-year planning period. Commission Decision In the past, the Commission has simply acknowledged the receipt of Idaho Power’s IRP and allowed interested parties an opportunity to comment.  The case is then closed either through an Order or a Minute Entry.  Does the Commission wish to issue an Order acknowledging the receipt of Idaho Power’s 1997 IRP and acquiescing in the use of a 10-year planning period?                                                               Brad Purdy vld/M:IPC-E-97-8.bp2