HomeMy WebLinkAbout20020924_270.pdfDECISION MEMORANDUM
TO:CO MMISSI 0 NER KJELLAND ER
COMMISSIONER SMITH
CO MMISSI 0 NER HANSEN
JEAN JEWELL
RON LAW
BILL EASTLAKE
LOU ANN WESTERFIELD
LYNN ANDERSON
RANDY LOBB
DON HOWELL
DAVE SCHUNKE
RICK STERLING
TERRI CARLOCK
ALDEN HOLM
BEV BARKER
TONY A CLARK
GENE FADNESS
WORKING FILE
FROM:LISA NORDSTROM
DATE:SEPTEMBER 20, 2002
RE:IN THE MATTER OF IDAHO POWER'S REPORT ON TIME-OF-USE
PRICING.
In Case No. IPC-01-13 (the investigation of increased Idaho Power Demand-Side
Management programs), the Commission directed Idaho Power Company and the Energy
Efficiency Advisory Group (EEAG) in November 2001 to consider implementing a Time-of-Use
(TOU) metering pilot program "using private contractors through a Request for Proposals (RFP)
process.Order No. 28894 at 7. Although it did not set a deadline, the Commission further
encouraged the advisory group to "consider installing time-of-use meters in new subdivisions
and the feasibility of allowing existing customers to voluntarily install time-of-use meters and
amortize the cost over multiple years.Id.
In Case Nos. IPC-02-2 and -, the Commission reaffirmed this directive in the
context of a May 2002 PCA Order that funded DSM programs. Specifically, the Commission
directed Idaho Power and the Energy Efficiency Advisory Group to "evaluate and report to the
DECISION MEMORANDUM
Commission on the viability of a Time-of-Use residential metering program by September 12
2002.Order No. 29026 at 22. In compliance with this Order, Idaho Power submitted its
Report on Residential Time-of-Use Pricing" on September 12 2002.
IDAHO POWER'S REPORT ON TIME-OF-USE PRICING
To assist in evaluating the feasibility of residential time-of-use metering, Idaho Power
engaged the services of Christensen Associates. The Company describes Christensen Associates
as "an economic consulting firm that has been providing consulting services to the energy
industry for more than 25 years and is well known in the industry for its work with time-of-use
and real-time pricing and market-based interruptible load programs." Report at
A. Analysis
1. Conventional TOU Pricin!!:Traditional TOU pncmg has typically been
characterized by two or three fixed price levels (e., peak, shoulder and off-peak) for two
seasons (e., summer and non-summer). Id. at 5. If applied on a mandatory basis to residential
customers, conventional TOU pricing would produce "very modest potential benefits.Id. at 23.
The Report attributes this to the relatively small differential between average peak and off-peak
wholesale costs (and resulting retail TOU prices), as well as the general lack of correspondence
between average peak costs and the day-to-day variations in those costs. Although making TOU
pricing voluntary produces "somewhat higher consumer benefits " this would result in "net
revenue losses to Idaho Power due to customers self-selecting the TOU rate whenever it offers
immediate bill (and revenue) reductions.Id.
2. Critical Peak TOU Pricin!!:This type of pricing allows the peak-period price to
be increased to a higher than normal "critical" level in response to high-cost conditions in the
wholesale market. Id. at 9. According to the Report
, "
Critical peak TOU pricing has the
potential to produce substantial benefits.Id. at 14. Not only would it produce much larger
demand reductions during the most important high-cost hours than does conventional TOU
critical peak TOU pricing would allow higher net customer benefits due to the greater
opportunity for benefits from load reductions during critical price periods. Id. at 23.
The Report indicated that if made mandatory, critical peak TOU pricing could result
in an annual customer benefit of more than $1 million. Id. More importantly, Idaho Power has
the potential to avoid $12 million per year in carrying charges for capital investments in peaking
facilities. Id. at 22. If offered on a voluntary basis, the Report stated that "careful rate design
DECISION MEMORANDUM
would be required to limit the extent of revenue losses from customer self-selection.Id. Under
the assumptions used in Christensen Associates' analysis , a market share of 25% would produce
load reductions of approximately 40 MW during critical price conditions. Id. at 23-24.
A key factor limiting these potential benefits is the nature of the costs that would be
avoided by customers' load reductions. Under the Report's base cost scenario, cost reductions
fall short of revenue reductions - yielding a large net revenue reduction. Id. at 23. However
cost reductions under the high-cost scenario exceed the revenue reductions, producing net gains
to the utility. Id.
B. Metering Capabilities
According to the Report, the cost to Idaho Power of installing advanced interval
metering equipment and modifying its billing systems to account for TOU pricing must also be
considered. Id. at 32. The analysis performed by Christensen Associates did not include any
cost component for the metering equipment necessary to record usage by time period. A
standard time-of-use meter records usage during the time-of-use periods and its data retrieved
monthly during the Company s standard meter-reading process. The alternative, an automated
meter reading (AMR) system, is read remotely via the power lime or radio frequency and can be
collected at will, allowing customers to receive more timely information.
The average cost to install a standard time-of-use meter for a residential customer
would be abut $145 per customer, or approximately $47 million for all residential customers
system-wide. Id. The incremental cost of the TOU meter compared to the standard meter now
installed for residential customers would result in an increased charge to customers of about $1 a
month. !d. The latest cost estimate to install an AMR system across Idaho Power s service
territory is approximately $72 million. Id.
e. PCA Implications
The Report advocates that any power supply related benefits from time-of-use pricing
should flow through the PCA in a manner that is fair and equitable to customers and the
Company. Assuming that a time-of-use scenario that successfully addresses the potential
revenue attrition problems could be constructed, a time-of-use scenario "cannot be beneficial to
Idaho Power without a modification to the manner in which reductions in power supply costs
which result from customers ' load shifting are treated in the Power Cost Adjustment (PCA)
mechanism.Id. at 32-33. Under the current PCA methodology, 90% of the reductions in power
DECISION MEMORANDUM
supply costs that accrue as a result of customers shifting load from the on peak to the off-peak
period are passed through to customers as a benefit. Thus, Idaho Power is able to retain only
10% of the benefit but absorbs 100% of the reduction in revenue. The Report states that PCA
treatment of benefits resulting from reduced power supply expenses "must be addressed to
remove the negative impact to Idaho Power s earnings in order for time-of-use pricing to have
the opportunity to be viable.Id. at 33.
D. Energy Efficiency Advisory Group
According to the Report, input from the Energy Efficiency Advisory Group indicates
support for implementing pricing that requires customers to pay what it costs to receive service.
Id. at 34. The Group was more supportive of increasing the charges for the standard tariff
service and making both the standard service and time-of-use service optional than it was
making time-of-use mandatory. !d.
The Report states that the EEAG believed that it would be more sensible to pursue a
demand response program than a time-of-use program at this time given the investment in
metering equipment that would be necessary to accommodate a wide-scale time-of-use
program.Id. The EEAG did not support mandatory time-of-use pricing for new subdivisions
and housing developments, nor did the EEAG support cost shifting of additional meter-related
costs to non-participants. !d.
Conclusions
Some of the new types of time-of-use pricing, particularly the critical peak TOU
structure, may have potential viable pricing options for residential customers at some point in the
future. The cost of installing standard time-of-use meters, which would not allow for the
critical peak" design, does not appear to be economic given the potential benefits that might
accrue from load shifting given the relatively small loads of residential customers. Until such
time as an AMR system is available on Idaho Power s system, and a PCA methodology is
devised to remove the native impact on Idaho Power s earnings due to the unequal treatment of
the revenues and expenses impacted by load shifting, residential time-of-use pricing is not
economically viable. Id. at 35.
STAFF RECOMMENDATION
Staff would like an opportunity to respond on the Company s report and believes that
other interested parties would also. Therefore, Staff recommends that the Commission process
DECISION MEMORANDUM
this case under Modified Procedure with a period for comment. Recognizing that the
Commission could process this case under a variety of case numbers, Staff has no preference as
to whether the Commission seeks Time-of-Use Pricing comments in Case No. IPC-01-
(Idaho Power s open DSM case), Case No. IPC-02-8 (Idaho Power s pending Integrated
Resource Plan), or initiates a new case.
COMMISSION DECISION
1. Does the Commission wish to allow interested parties the opportunity to comment
on Idaho Power s Time-Of-Use report? If so, does the Commission wish to process this case
through:
Case No. IPC-01-13 (Idaho Power s open DSM case),
Case No. IPC-02-08 (Idaho Power s pending Integrated Resources Plan), or
initiation of a new case?
2. Does the Commission wish to take any other additional action based on this
report?
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DECISION MEMORANDUM