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HomeMy WebLinkAbout20180208PAC to Staff WY Southland Set 3 (1-6).pdfROCKY MOUNTAINPOWER A DIVISION OF PAClFICORP 1407 W North Temple,Suite 330 Salt Lake City,Utah 84116 February 2,2018 J.KENNETH BARBE (5-2158) Welborn Sullivan Meck &Tooley,P.C. 159 North Wolcott,Suite 220 Casper,WY 82601 kbarbe@wsmtlaw.com (C) RE:Wyoming Docket 20000-520-EA-17 Southland 3rd Set Data Request (1-6) Please find enclosed Rocky Mountain Power's Responses to Southland 3rd Set Data Requests 3.1-3.6. Sincerely, Stacy Splittstoesser, Manager,Regulation Enclosures C.C.:Meridith Bell/WPSC meridith.bell@wyo.gov(C) Lori L.Brand/WPSC lori.brand@wvo.cov (W) John Burbridge/WPSC john.brubride@wyo.gov(W) Michelle Bohanan/WPSC Michelle.bohanan@wyo.gov (W) Kara Seveland/WPSC kara.seveland@wyo.gov(W) Morgan Fish/WPSC morgan.fish@wyo.gov (W) Dave Walker/WPSC dave.walker@wyo.gv (W) Perry McCollom/WPSC perry.mccollom@wvo.gov(W) Abigail C.Briggerman/WIEC acbriggerman@hollandhart.com Patti Penn/WIEC PPenn@hollanhart.com(W) Thor Nelson/WIEC tnelson@hollandhart.com (C)(W) Emanuel Cocian/WIEC etcocian@hollanhart.com(W) Nik Stoffel/WIEC NSStoffel@hollandhart.com (W) Adele Lee/WIEC ACLee@hollandhart.com (W) Christopher Leger/OCA christopher.leger@wyo.gov (C) Crystal J.McDonough/NLRAcrystal@medonoughlawllc.com (C) Callie Capraro/NLRA callie@medonoughlawlle.com Brandon L.Jensen/RMSC brandon@buddfaln.com (C) Lisa Tormoen Hickey/Interwestlisahickey@newlawgroup.com (C) Constance E.Brooks/Anadarko connie@cebrooks.com(C) Danielle Bettencourt/Anadarko danielle cebrooks.com (C)(W) Paul Kapp/Anadarko pkapp@spkm.ora (C) Roxane Perruso/TOTCO Roxane.perruso@tac-denver.com Jane M.France/TOTCO jfrance@spkm.ora (C) Lisa Christian/TOTCO Lisa.Christian@tac-denver.com (C) 20000-520-EA-17 /Rocky Mountain Power February 2,2018 Southland Data Request 3.1 Southland Data Request 3.1 Please state the amount budgeted to acquire rights of way along the 500 kV proposed transmission line. Response to Southland Data Request 3.1 See Direct Testimony of Mr.Rick A.Vail,page 12,Confidential Tables 1 and 2. Respondent:Shawn Graff Witness:Rick Vail 20000-520-EA-17 /Rocky Mountain Power February 2,2018 Southland Data Request 3.2 Southland Data Request 3.2 Please list each project used to calculate the estimate of cost listed in response to request 1 above. Response to Southland Data Request 3.2 The right-of-wayacquisition cost estimate is consistent with the Company's past experience in developing transmission line projects,but was not based on particular projects.See SupplementalRebuttal Testimony of Roderick D.Fisher,page 4,lines 7-9. Respondent:Shawn Graff Witness:Rod Fisher 20000-520-EA-17 /Rocky Mountain Power February 2,2018 Southland Data Request 3.3 Southland Data Request 3.3 With respect to the projects listed in response to 2 above,please identify the projects,if any,that involved the acquisition of rights of way through an active oil and gas field. Response to Southland Data Request 3.3 Not applicable. Respondent:Shawn Graff Witness:Rod Fisher 20000-520-EA-17 /Rocky Mountain Power February 2,2018 Southland Data Request 3.4 Southland Data Request 3.4 Please identify all rights of way acquired by RMP through an active oil and gas field since January 1,2013. Response to Southland Data Request 3.4 No rights-of-wayhave been acquired by Rocky Mountain Power (RMP)for an RMP driven project since January 1,2013,that would have involved going through an active oil and gas field.RMP has constructed power lines of varyingsizes for industrial customers through oil and gas fields at the request and expense of the customer to serve the oil and gas fields. Respondent:Shawn Graff Witness:Rod Fisher 20000-520-EA-17 /Rocky Mountain Power February 2,2018 Southland Data Request 3.5 Southland Data Request 3.5 For each project listed in response to 4 above,please state the amount paid for each right of way and the length and width of the right of way. Response to Southland Data Request 3.5 For the situations identified in the Response to SouthlandData Request 3.4,the customer acquires the necessary rights-of-wayand compensates the property owner. Respondent:Shawn Graff Witness:Rod Fisher 20000-520-EA-17 /Rocky Mountain Power February 2,2018 Southland Data Request 3.6 Southland Data Request 3.6 The proposed route of the 500 kV proposed transmission line crosses over existing oil and gas wells owned by Southland,and also crosses over locations where Southland plans to drill oil and gas wells.Please explain RMP's plans for locating the transmission line in order to do the least private injury to Southland's existing and planned oil and gas operations. Response to Southland Data Request 3.6 See Rocky Mountain Power's Response to Southland Data Request 1.4. Respondent:Stuart Smith /Todd Jensen Witness:Rick Vail