Loading...
HomeMy WebLinkAbout200404201st Request of Potlatch to Avista.pdfConley E. Ward (ISB No. 1683) GIVENS PURSLEY LLP 601 W. Bannock Street O. Box 2720 Boise, ID 83701-2720 Telephone No. (208) 388-1219 Fax No. (208) 388-1300 cew~givenspursley.com F:ECEIVED fYJ jLL"c) ZDOL: p,PR 20 Pr'j4: I 2 , '. . driLl i :C-~; CUI,ji'iiSSION Attorneys for Potlatch Corporation S:\CLIENTSIl3I4\S4\Potiatch 1st Disc Req to Avista.DOC BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION OF A VISTA CORPORATION FOR THE AUTHORITY TO INCREASE ITS RATES AND CHARGES FOR ELECTRIC AND NATURAL GAS SERVICE TO ELECTRIC AND NATURAL GAS CUSTOMERS IN THE STATE OF IDAHO. Case Nos. A VU-04- A VU-04- POTLATCH CORPORATION' FIRST SET OF DISCOVERY REQUESTS TO A VISTA CORPORATION YOU WILL PLEASE TAKE NOTICE that Potlatch Corporation ("Potlatch"), requests that Avista Corporation ("Avista ) answer the following discovery requests in accordance with the Idaho Public Utilities Commission s Rules of Procedure. Definitions and Instructions The interrogatories and document requests are governed by the following definitions and instructions: DEFINITIONS You " " your" or "A vista" means or pertains to the named respondent in this matter and includes, without limitation, A vista, its officers, directors, employees agents, attorneys, corporate subsidiaries and affiliates POTLATCH CORPORA nON'S FIRST SET OF DISCOVERY REQUESTS TO A VISTA CORPORA nON - Page 1 of 10 ORIGINAL Persons" means any and all natural persons , corporations, businesses, firms companies, partnerships, unincorporated associations, governmental or public agencies, joint ventures and all other entities, including, without limitation, all employees, representatives, consultants and agents of any of the foregoing. Documents" means any and all written, electronic or graphic matter, of any kind or description, however created, produced, reproduced or stored, whether sent or received, or whether originals, copies or drafts, including, but not limited to every side of every page of all letters, papers, books, correspondence, bulletins circulars , instructions , telegrams, cables, telex messages, facsimiles, memoranda notes, notations, work papers, transcripts, minutes, reports, recordings of notes or meetings, conferences, interviews or telephone or other conversations, affidavits statements, summaries, opinions, studies, analyses, evaluations, work sheets contracts, agreements, journals, statistical records, desk or pocket calendars appointment books, diaries, lists, tabulations, advertisements, sketches, drawings blue prints, catalogs, audio or video records, photographs, computer printouts, e- mail transmissions, data processing input and output, deeds, microfilm, all other records kept by electronic, photographic or electrical means, and things similar to any of the foregoing however denominated. Relating to" or "Relate(s) to" means directly or indirectly mentioning, consisting , evidencing, describing, referring to, pertaining to, being connected with, or reflecting upon the stated subject matter. The words "any" and "all" shall be considered to include each and every. POTLA TCH CORPORA nON'S FIRST SET OF DISCOVERY REQUESTS TO A VISTA CORPORATION - Page 2 of 10 The singular of any word shall include the plural and the plural of any word shall include the singular. The word "expert" as used herein includes any person who will be offering expert testimony on behalf of A vista or who has been consulted or relied upon by any person who assisted in the preparation of the responses to these interrogatories and document production requests or who will be offering testimony on behalf of Avista in this matter. Instructions In answering these interrogatories and document requests, you are required to furnish all information that is available to you, or subject to your reasonable inquiry, including the information in the possession of you, your attorneys or other persons directly, or indirectly employed by, or connected with, you or your attorneys, and anyone else other wise subject to your control. In answering each interrogatory and document request: Identify by title, heading or caption, date, sender, recipient, location and custodian, each document relied upon, reviewed or which forms a basis for the response given or which corroborates or relates to the response given or the subject of what is given in response to these discovery requests; State whether the information furnished is within the personal knowledge of the person responding and, if not, the name, if known, of each person to whom the information is a matter of personal knowledge; Identify each person who assisted or participated in preparing and/or supplying any of the information given in response to or relied upon in preparing responses to these discovery requests; POTLATCH CORPORA nON'S FIRST SET OF DISCOVERY REQUESTS TO A VISTA CORPORATION - Page 3 of 10 Where a discovery request calls for a response in multiple parts, each part should be separated in the response so that the response is clearly understandable and complete; Where the name or identity of a person is requested, state the full name, business address, and any telephone numbers of each person; If any of your responses require the production of documents, label the documents to indicate the discovery request to which you are responding. If you object to the production of any document called for in these document requests, for each such document state the following: (1) the reasons for the objection and any facts supporting the objection; (2) give a description of each document including, without limitation, the date, sender, recipient(s), persons to whom copies have been furnished, job titles of each of the persons, subject matter ofthe document, number of pages of the document, the number(s) ofthe request to which such document is responsive and the identity of the person in whose custody the document is presently located. If any document is withheld under claim of privilege or work product, furnish a list identifying each document for which the privilege or work product is claimed, together with the following information for each such document: date, sender, recipient(s), persons to whom copies were furnished, job titles of each of those persons, subject matter of the document number of pages of the document, the bases on which the privileges or work product is claimed the paragraph(s) ofthese requests to which the document responds, the person in whose custody the document is presently located, and whether any matter that is not privileged or is not work product is discussed or mentioned in each document. If any document requested was, but is no longer in the possession or subject to the control of A vista, or is no longer in existence, state whether it: (1) is missing or lost; (2) has POTLATCH CORPORATION'S FIRST SET OF DISCOVERY REQUESTS TO AVISTA CORPORATION - Page 4 of 10 been destroyed; (3) has been transferred voluntarily or involuntarily to others and state the identity of the persons to whom it has been transferred; (4) has otherwise been disposed of, or in each instance explain the circumstances surrounding such disposition, state the date or approximate date thereof and the identity of the persons with knowledge of such circumstances; (5) identify the documents that are missing, lost, destroyed, transferred or otherwise disposed of by author, date, subject matter, addressee(s), and the number of pages. If you do not clearly understand, or have any questions about, these definitions instructions interrogatories or requests, contact counsel for Potlatch promptly for clarification. These discovery requests are continuing in nature and require supplemental responses upon the discovery or receipt of new or additional information. REQUEST NO.1: Please provide copies of all confidential documents, exhibits and testimony previously deleted from the copy of Avista s application served on counsel for Potlatch. (Potlatch has executed the standard confidentiality agreement and returned it to counsel for Avista for execution and filing with the Idaho Public Utilities Commission. REQUEST NO.2: Please explain why A vista Power initially purchased Coyote Springs , rather than Avista Corporation or Avista Utilities. REQUEST NO.3: Please provide copies of Avista Power s agreement to purchase Coyote Springs 2 and/or any related land, permits or licenses , and facilities or equipment. REQUEST NO.4: Please provide a statement of Avista Power s total purchase price for Coyote Springs 2 and a breakdown of Avista Power s purchase price by asset categories, i. how much was for land, equipment, licenses, etc. REQUEST NO.5: Please provide copies of all documents related to any transaction or correspondence between A vista Power or A vista Corporation or any of its subsidiaries or POTLA TCH CORPORATION'S FIRST SET OF DISCOVERY REQUESTS TO A VISTA CORPORATION - Page 5 of 10 affiliates, on the one hand, and LJM2 Co-Investment LP, on the other, during the period January , 1999 to the present. REQUEST NO.6: Please provide copies of all documents in the possession of A vista Corporation or any of its affiliates or subsidiaries related to the decision to transfer ownership or control of Coyote Springs 2 from A vista Power to A vista Corporation or A vista Utilities. This request includes, but is not limited to, Board of Directors' minutes for Avista Power , Avista Energy, and Avista Corporation or Avista Utilities, as well as reports, financial statements, or documents of any kind produced in connection with the evaluation of, consideration of, or implementation or execution of, such transfer. Include all documents evidencing such transfer. REQUEST NO.7: Please provide a statement of the consideration Avista Power received for the transfer of ownership or control of Coyote Springs 2 and a breakdown of such consideration by asset categories, i.e., how much was for land, equipment, licenses, etc. REQUEST NO.8: Please provide a statement ofthe total amount Avista Power had spent on Coyote Springs 2 at the time of such transfer, and a breakdown of such amount by asset categories, i., how much was for land, equipment, licenses, etc. REQUEST NO.9: Please provide copies of all documents in the possession of A vista Corporation or any of its affiliates or subsidiaries related to the decision to transfer ownership or control of a portion of Coyote Springs 2, and/or any contracts related thereto, from A vista Corporation or any of its subsidiaries or affiliates to Mirant Corporation. This request includes but is not limited to, Board of Directors ' minutes for Avista Power , Avista Energy, and Avista Corporation or A vista Utilities, as well as reports, financial statements, or documents of any kind produced in connection with the evaluation of, consideration of, or implementation or execution , such transfer. Include all documents evidencing such transfer. POTLATCH CORPORATION'S FIRST SET OF DISCOVERY REQUESTS TO A VISTA CORPORATION - Page 6 of 10 REQUEST NO. 10: Please provide a statement of the total amount Avista Corporation or any of its subsidiaries or affiliates had spent on Coyote Springs 2 at the time of such transfer to Mirant, and a breakdown of such amount by asset categories, i.e., how much was for land equipment, licenses, etc. REQUEST NO. 11: Please provide a statement of the consideration Avista Corporation and/or its affiliates and subsidiaries received for the transfer of ownership or control of a portion of Coyote Springs 2 to Mirant, and a breakdown of such consideration by asset categories, i. how much was for land, equipment, licenses, etc. REQUEST NO. 12: Please provide a statement of the earliest construction cost estimate for Coyote Spring 2, broken down by cost categories, together with a corresponding statement of the final cost for each category and for the plant as a whole. REQUEST NO. 13: Please explain why Coyote Springs 2 is currently out of service and when it is expected to return to service. REQUEST NO. 14: Please provide a list of the number of hours for each day that Coyote Springs was out of service since the plant was deemed available for commercial operation. REQUEST NO. 15: Please provide a schedule of the hourly output of Coyote Springs 2 in mwh for each day both before and after the plant was deemed available for commercial operation. REQUEST NO. 16: Please itemize the variations between Avista s proposed cost of service study and that approved by the Idaho Public Utilities Commission in the last A vista general rate case. For each variation, explain Avista s rationale for the proposed change. POTLA TCH CORPORATION'S FIRST SET OF DISCOVERY REQUESTS TO A VISTA CORPORATION - Page 7 of 10 REQUEST NO. 17: Please explain in detail Avista s rationale for not treating Potlatch' Lewiston plant as a unique customer class for cost of service purposes. REQUEST NO. 18: Please provide the results of Avista s cost of service study with Potlatch's Lewiston load treated as a separate class. REQUEST NO. 19: If Avista has calculated or estimated the demand elasticity coefficient on its system, or any geographic portion or customer class of its system, within the last ten years, please provide copies of such calculation(s) or estimate(s), together with all supporting studies and workpapers. REQUEST NO. 20: Please provide copies of all prior and subsequent responses to Staffs or intervenors' formal or informal production or information requests relating to this case. In responding to this request, you may omit Staff production requests nos. 158-170. Dated this 20th day of April, 2004. ley Given Pursley LLP Attorneys for Potlatch Corporation POTLATCH CORPORATION'S FIRST SET OF DISCOVERY REQUESTS TO A VISTA CORPORATION - Page 8 of 10 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on this 20th day of April 2004, I caused to be served a true and correct copy of the foregoing document by the method indicated below, and addressed to the following: Jean Jewell Idaho Public Utilities Commission 472 W. Washington Street O. Box 83720 Boise, ID 83720-0074 ( J U.S. Mail ( .IJ Hand Delivered ( ) Overnight Mail ) Facsimile Scott Woodbury John Hammond Idaho Public Utilities Commission 472 W. Washington Street O. Box 83720 Boise, ID 83720-0074 swoodbu~puc.state.id. us jhammon~puc.state.id. us ) U.S. Mail ( ) Hand Delivered ) Overnight Mail ( J Facsimile ( Jj E-Mail David J. Meyer Senior Vice President and General Counsel A vista Corporation O. Box 3727 1411 E. Mission Ave., MSC- Spokane, W A 99220-3727 david.meyer~avistacorp. com ) U.S. Mail ( ) Hand Delivered ) Overnight Mail ( ) Facsimile ( JJ E-Mail Kelly Norwood Vice President, State and Federal Regulation A vista Utilities O. Box 3727 1411 E. Mission Ave., MSC- 7 Spokane, W A 99220-3727 kelly .norwood~avistacorp.com ) U.S. Mail ( ) Hand Delivered ) Overnight Mail ( ) Facsimile (./) E-Mail Dennis E. Peseau, Ph.D. Utility Resources , Inc. 1500 Liberty Street SE, Ste. 250 Salem, OR 97302 dpeseau~excite.com ) u.S. Mail ) Hand Delivered ( ) Overnight Mail ) Facsimile ( /J E-Mail POTLATCH CORPORATION'S FIRST SET OF DISCOVERY REQUESTS TO A VISTA CORPORATION - Page 9 of 10 Charles L.A. Cox EVANS , KEANE 111 Main Street O. Box 659 Kellogg, ID 83837 ccox~usamedia. tv ( ) u.S. Mail ( ) Hand Delivered ( ) Overnight Mail ( ) Facsimile ( ./j E-Mail Brad M. Purdy Attorney at Law 2019 N. 17th Street Boise, ID 83702 bmpurdy~hotmail.com ( ) u.S. Mail ) Hand Delivered ( ) Overnight Mail ( 1 Facsimile ( Jj E-Mail Michael Karp 147 Appaloosa Lane Bellingham, W A 98229 michael~awish.net ) U.S. Mail ( ) Hand Delivered ) Overnight Mail ) Facsimile ( .Ij E-Mail aU' (:;, ()J( f14; Conley E. Ward POTLATCH CORPORATION'S FIRST SET OF DISCOVERY REQUESTS TO AVISTA CORPORATION - Page 10 of