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HomeMy WebLinkAbout2004051411th Request of Staff to Avista.pdfSCOTT WOODBURY DEPUTY ATTORNEY GENERAL IDAHO PUBLIC UTILITIES COMMISSION PO BOX 83720 BOISE, IDAHO 83720-0074 (208) 334-0320 BAR NO. 1895 Street Address for Express Mail: 472 W. WASHINGTON BOISE, IDAHO 83702-5983 Attorney for the Commission Staff ,':'; ()cr""t\J\ \. c. V 'i . . "'" it :1b. . ill 200ft tiA Y I 4 PM 3: 2' ;;' it(; i'UbLIC UTil i lIS COtHilSSlON BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION OF AVISTACORPORATIONFOR 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- ELEVENTH PRODUCTION REQUEST OF THE COMMISSION STAFF TO A VISTA CORPORATION The Staff of the Idaho Public Utilities Commission (IPUC), by and through its attorney of record, Scott Woodbury, Deputy Attorney General, requests that A vista Corporation (A vista; Company) provide the following documents and information on or before FRIDAY, MAY 28, 2004. The Company is reminded that responses pursuant to Commission Rules of Procedure must include the name and phone number of the person preparing the document, and the name, location and phone number of the record holder. Reference IDAP A 31.01.01.228. This Production Request is to be considered as continuing, and A vista is requested to provide, by way of supplementary responses, additional documents that it or any person acting on its behalf may later obtain that will augment the documents produced. For each item, please indicate the name of the person(s) preparing the answers, along with the job title of such person(s) and the witness who can sponsor the answer at hearing. ELEVENTH PRODUCTION REQUEST OF THE COMMISSION STAFF TO A VISTA MAY 14, 2004 For all responses to the following requests, please provide all workpapers, diskettes (3.5 in. CDs and all underlying formulas intact in Excel 2000 compatible language. ST AFF PRODUCTION REQUEST NOS. 265 THROUGH NO. 281 PERTAIN TO ELECTRIC ISSUES Request No. 265: To the extent not provided in response to Staff Request No. 243 , please provide a copy of any operations and maintenance agreements between A vista, Mirant, and PGE for operation of the Coyote Springs II (CS II) plant. What recourse does A vista have against PGE in the event PGE negligently operates the plant causing losses or forgone gains to A vista? Request No. 266: On page 16, lines 13-20 of Robert Lafferty s testimony, he discusses options considered by Avista for sale of portions or all of the CS II project and states that three proposals were received. Please describe the process followed by the Company to solicit proposals for purchase of all or portions of the plant. Did the Company issue a Request For Proposals (RFP)? If so, please provide a copy. Does A vista believe that a fair and reasonable price was obtained given that only three proposals were received and considered? Request No. 267: The direct testimony of Robert Lafferty includes an Exhibit No. Schedule 10 that appears to be an analysis of estimated revenue requirement impacts of three of the proposals considered in the RFP. The analysis appears to have been done subsequent to a decision being made by A vista to select the CS II proposal. There appears to be no narrative discussion of Schedule 10 in Mr. Lafferty s testimony. Please discuss the purpose of the analysis shown in Schedule 10 and any conclusions Avista reached based on the results of that analysis. Request No. 268: How much did Avista pay for its share of the first failed GSU transformer at CS II? How much did A vista pay for its share of the costs to clean up the site due to the oil spill? How much of Avista s share of these costs is being sought for recovery in this rate case? If additional costs are awarded through insurance claims, how does the Company propose that those proceeds be treated for ratemaking purposes? ELEVENTH PRODUCTION REQUEST OF THE COMMISSION STAFF TO AVISTA MAY 14, 2004 Request No. 269: Has Avista performed any analysis or computations to determine the cost impact of the delayed commercial operation date of the CS II plant (i., inability to generate between August 2002 and July 2003)? How many MWh would the plant have produced given market conditions during the period and what was the estimated value of those MWhs? How much higher were Avista s net power supply costs during this period as a result ofCS II's unavailability? Request No. 270: Has a spare GSU transformer been procured for the CS II project? If so what was the cost? Is recovery of the cost of the spare GSU transformer sought in this rate case? Request No. 271: With regard to the second, most recent, failure of the GSU transformer at CS II for which repairs are now underway, has a cause of failure been determined? What is the expected cost of repair? Is any insurance recovery expected for the cost of the repair? Request No. 272: Robert Lafferty s testimony at page 6, lines 23-26 and at page 63, lines 15-19 refers to project costs for Boulder Park being higher than expected due in part to the fast track design and construction approach. According to Don Falkner s testimony at page 22, lines 10-, the Boulder Park project became commercially operational in May 2002. However, in 2001 materials presented to the Company s Board of Directors, Boulder Park was anticipated to be operational September 1 , 2001. Please reconcile why the project's operational date was delayed despite Avista incurring higher project costs with the intent of bringing the project's generation on- line more quickly during the period of high power prices. Request No. 273: On page 6, lines 22-23 and on page 63, line 14 of Robert Lafferty testimony, he states in referring to the Boulder Park project" . . . that the Company reasonably managed project costs given the circumstances." Please elaborate on what is referred to as "given the circumstances. Request No. 274: Were the two natural gas fired reciprocating engines planned for the Spokane Industrial Park ever purchased? If so, were they ever installed? If they were purchased but never installed, does A vista still own the units or have they been sold? ELEVENTH PRODUCTION REQUEST OF THE COMMISSION STAFF TO AVISTA MAY 14, 2004 Request No. 275: Referring to Robert Lafferty s confidential Exhibit No., Schedule 35 page 1 of 4, please explain what is represented and how the amounts were calculated in the two columns on the far right hand side of the page labeled 6/4/01 Value and 6/11/01 Value. Request No. 276: Please provide a copy of the Municipal Development Agreement between Washington Water Power (Avista) and the City of Rathdrum dated April 22, 1993. Also provide a copy of any and all amendments to the original agreement. Please state why A vista believes that payments made to Rathdrum under the agreement should be allowed for ratemaking purposes. Request No. 277: Robert Lafferty s Exhibit No., Schedule 36, page 11 of 11 (Kalich' 4/8/02 economic analysis of the Kettle Falls CT) shows the project generating 12.1 GWh in 2004 and 14.2 GWh in 2005. However, Kalich's Exhibit No. 11 shows the Kettle Falls CT generating only 1.0 GWh. Please explain why this difference is so large. Please revise Schedule 36, page 11 using operation consistent with Kalich Exhibit No. 11. Request No. 278: Has the loss of load in the aluminum industry, specifically that non- system load at Kaiser Mead, restricted A vista s ability to make off-system sales or purchases due to changes in transmission capacity? If so, have these changes in transmission capacity been reflected in A vista s AURORA modeling? Request No. 279: Please provide a copy of the cogeneration contract referred to on page , lines 18-19 of Robert Lafferty s testimony. How much was paid under the contract? Request No. 280: Referring to William Johnson s Exhibit No. 10, Schedule 1 , page 1 of2 lines 42-, please explain why the adjustment is positive for Boulder Park gas while the adjustment is negative for Rathdrum gas, Kettle Falls CT gas and Northeast gas. Was the actual operation of the Boulder Park project in 2002 less than anticipated? If so, please explain why. ELEVENTH PRODUCTION REQUEST OF THE COMMISSION STAFF TO A VISTA MAY 14, 2004 Request No. 281: What was the price for energy and capacity in the three and one-half year power purchase contract (7/1/2000-12/31/2003) from Centralia referred to on page 7, lines 8- 16 of Robert Lafferty s testimony? Dated at Boise, Idaho, this /, day of May 2004. ~8. woJ Scott Woodbury Deputy Attorney General Technical Staff:Rick Sterling i:umisc:prodreq/avueO4.1 avugO4,lswll ELEVENTH PRODUCTION REQUEST OF THE COMMISSION STAFF TO AVISTA MAY 14, 2004 CERTIFICA TE OF SERVICE HEREBY CERTIFY THAT I HAVE THIS 14TH DAY OF MAY 2004 SERVED THE FOREGOING ELEVENTH PRODUCTION REQUEST OF THE COMMISSION STAFF TO AVISTA CORPORATION, IN CASE NO. AVU-04- 1/AVU-04-, BY MAILING A COpy THEREOF POSTAGE PREPAID TO THE FOLLOWING: DAVID 1. MEYER SR VP AND GENERAL COUNSEL VISTA CORPORATION PO BOX 3727 SPOKANE W A 99220-3727 E-mail dmeyer(illavistacorp.com KELLY NORWOOD VICE PRESIDENT STATE & FED. REG. AVIS T A UTILITIES PO BOX 3727 SPOKANE WA 99220-3727 E- mail Kelly .norwood(illavistacorp. com CONLEY E WARD GIVENS PURSLEY LLP PO BOX 2720 BOISE ill 83701-2720 E-mail cew(illgivenspursley.com DENNIS E PESEAU, PH. D. UTILITY RESOURCES INC 1500 LIBERTY ST SE, SUITE 250 SALEM OR 97302 E-mail dpeseau(illexcite.com CHARLES L A COX EV ANS KEANE 111 MAIN STREET PO BOX 659 KELLOGG ID 83837 E-mail ccox(illusamedia. tv BRAD M PURDY ATTORNEY AT LA W 2019 N 17TH ST BOISE ID 83702 E-mail bmpurdy(illhotmail.com MICHAEL KARP 147 APPALOOSA LANE BELLINGHAM W 98229 E-mail michael(illawish.net E-mail don.falkner(illavistacorp.com SECRETARY CERTIFICATE OF SERVICE