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HomeMy WebLinkAbout20070830PAC to IIPA 1-30, 1-32.pdf~ ~1.~~ ~OUNTAIN August 29, 2007 RECEiVED f\'till, ""'I Gj: 11Iii.! ,h,V Eric Olsen Idaho Irrigation Pumpers Assoc Racine, Olsen, Nye, Budge & Bailey 201 East Center Pocatello ID 83204 -~, \S: ~!; i:. )/: i\j'~S\ONI ILl \ n::,; V"-'" . RE:PAC-07- lIP A Set 1 (1-38) 20 I South Main, Suite 2300 Salt Lake City, Utah 84111 Please find enclosed Rocky Mountain Power s 1 st Supplemental Response to lIP A Data Request 1.30 and 1.32. Provided on the enclosed CD are Attachments lIP A 1.30-(c-, c- 2) and 1.32 1 st Supplemental. If you have any questions, please feel free to call me at (801) 220-4975. Sincerely, //3kJ Brian Dickman, Manager Regulation Enclosures Cc:Tony Y ankellIIP A Jean JewelllIPUC Randall C. Budge/Monsanto James R. SmithIMonsanto Maurice Brubaker/Monsanto Richard Anderson/Energy Strategies Conley WardiAgrium Dennis Peseau/ Agrium Brad Purdy/CAP AI Timothy Shurtz PAC-07-05/Rocky Mountain Power August 29, 2007 lIP A 1 st Set Data Request 1.30 - 1 st Supplemental Response lIP A Data Request 1.30 Beginning on page 11 line 21 of Mr. McDougal's testimony it is stated that only Residential and Commercial loads were weather normalized. A. Did the Company weather normalize irrigation load, and if it did in the past, why did it not do so in this case? B. Please provide all workpapers that support the weather normalizing adjustment to monthly revenues in this case. C. Please provide all workpapers that support the weather normalizing adjustment to monthly energy in this case. D. Please provide all workpapers that support the weather normalizing adjustment to monthly demands in this case. 1 st Supplemental Response to lIP A Data Request 1.30 C. See Attachments lIP A 1.30 c-1 and 1.30 c-2. Parts 1 and 2 are prints taken from the mainframe computer that show the monthly calculation of the weather adjustments for kwh. During 2006, a review of the schedules being normalized was completed and additional schedules were added to the calculations. At this time customer response to different temperature levels was also reviewed. The temperatures that caused customer to apply space conditioning equipment also changed. Thus the calculations prior to April 2006 are different from the calculations after. (Reed C. Davis prepared this response and is the recordholder. It has not been determined who will sponsor this response at hearing. Please contact Brian Dickman at 801-220-4975 to discuss this response. IDAHO P AC-07- ROCKY MOUNTAIN POWER lIP A DATA REQUESTS SET 1 (1-38) ATTACHMENT lIP A 1.30 -(c-l, c- ON THE ENCLOSED CD PAC-07-05/Rocky Mountain Power August 29 2007 lIP A 1 st Set Data Request 1.32 - 1 st Supplemental lIP A Data Request 1.32 On page 17 of Mr. McDougal's testimony there is a discussion regarding Incremental Generation O&M. A. Does this $653 808 include Fuel and/or A&G expenses? B. What is the incremental energy associated with this incremental generation? C. What is the incremental plant investment associated with this incremental generation? - 1 st Supplemental Response to lIP A Data Request 1.32 B. Incremental energy associated with incremental generation is provided as Attachment lIP A 1.32 1st Supplemental. The incremental generating resources are Lake Side, Blundell bottoming cycle, Leaning Juniper, Marengo, and Goodnoe Hills. (Mark T. Widmer prepared this response, is the recordholder, and is expected to sponsor this response at hearing. Please contact Brian Dickman at 801-220-4975 to discuss this response. IDAHO P AC-07- ROCKY MOUNTAIN POWER lIP A DATA REQUESTS SET 1 (1-38) ATTACHMENT lIP A 1.1st Supp ON THE ENCLOSED CD