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HomeMy WebLinkAbout20080620Staff to AVU 153-177.pdfSCOTT WOODBURY DEPUTY ATTORNEY GENERAL IDAHO PUBLIC UTILITIES COMMISSION PO BOX 83720 BOISE, IDAHO 83720-0074 (208) 334-0320 ISB NO. 1895 KRISTINE A. SASSER DEPUTY ATTORNEY GENERAL IDAHO PUBLIC UTILITIES COMMISSION PO BOX 83720 BOISE, IDAHO 83720-0074 (208) 334-0357 BARNO. 6618 Street Address for Express Mail: 472 W. WASHINGTON BOISE, IDAHO 83702-5983 Attorneys for the Commission Staff R.. D.h"" L ionB JUN 20 Atf 9: 22 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 NO. A VU-E-08-1 ) A VU-G-08-1 ) ) SIXTH PRODUCTION REQUEST ) OF THE COMMISSION STAFF ) TO AVISTA CORPORATION ) ) The Staff of the Idaho Public Utilities Commission, by and though its attorney of record, Kristine A. Sasser, Deputy Attorney General, requests that Avista Corporation (Company; Avista) provide the following documents and information on or before MONDAY, JULY 7, 2008. SIXTH PRODUCTION REQUEST TO A VISTA CORPORATION 1 JUNE 20, 2008 This Production Request is to be considered as contini;ing, and A vista is requested to provide, by way of supplementa responses, additional documents that it or any person acting on its behalf may later obtain that will augment the documents produced. Please provide answers to each question, supporting workpapers that provide detail or are the source of information used in calculations. The Company is reminded that responses pursuant to Commission Rules of Procedure must include the name and phone number of the person preparng the document, and the name, location and phone number of the record holder and if different the witness who can sponsor the answer at hearing if need be. Reference IDAP A 31.01.01.228. In addition to the written copies provided as response to the questions, please provide all Excel and electronic files on CD with formulas activated. REQUEST NO. 153: How many regular cycle bils were sent to customers in 20077 REQUEST NO. 154: How many regular cycle bils sent to customers in 2007 were estimated (not based on an actul meter reading)? REQUEST NO. 155: How many out of cycle (opening or closing) bils were sent to customers in 20077 REQUEST NO. 156: Is it the Company's policy to not physically disconnect service when a customer closes his/her account? If so, please explain the reason(s) for the policy and provide any cost/enefit analysis performed to justify it. REQUEST NO. 157: How many therms and kWh went unbiled in 2007 as a result of the Company's policy to leave meters connected between customers? What is the total dollar value of those unbiled therms and kWh? REQUEST NO. 158: Please explain how the Company determines meter readings for billng puroses when an account is opened or closed at the request of a customer. SIXTH PRODUCTION REQUEST TO AVISTA CORPORATION 2 JUE 20, 2008 REQUEST NO. 159: Regarding opening bils prepared outside of regular biling cycles in 2007, please provide how many of the readings on which the bils were based were determined by: (a) an actual meter reading taken by a Company employee or via remote meter reading; (b) a computer estimate; (c) a manual estimate made by a Company employee; (d) a customer-provided reading; or (e) other methods. REQUEST NO. 160: Under what circumstances is an opening bil for a new customer prepared using the identical meter reading used in preparng the closing bil for the previous customer? REQUEST NO. 161: Regarding closing bils prepared outside of regular biling cycles in 2007, please provide how many of the readings on which the bils were based were determined by: (a) an actual meter reading taken by a Company employee or via remote meter reading; (b) a computer estimate; (c) a manual estimate made by a Company employee; (d) a customer-provided reading; or (e) other methods. REQUEST NO. 162: If an actual meter reading is taken by a Company employee at the customer's location when an account is closed, what is the normal interval between the time a customer requests closure and the time the meter reading is taken? If a meter reading is taken via remote meter reading when an account is closed, what is the normal interval between the time a customer requests closure and the time the meter reading is taen? REQUEST NO. 163: If an actual meter reading is not taen on the same day as the customer's requested date of closure, what date is identified on the customer's bil for the meter reading, the requested date of closure or the date the actul reading was taen? REQUEST NO. 164: If an actual meter reading is taken by a Company employee when an account is closed, does that employee disconnect service at that time? If a customer has both SIXTH PRODUCTION REQUEST TO A VISTA CORPORATION 3 JUE 20, 2008 gas and electric service, does the employee disconnect both services? If not, please explain why not. REQUEST NO. 165: Is Avista using AMR to read meters remotely when customers open or close accounts? If not, why not? If so, please explain the process for taing a remote meter reading not coincident with the customer's regular meter reading cycle. REQUEST NO. 166: Please describe in detail procedures implemented by Avista to monitor gas and electric usage to identify slow and dead meters in a timely maner. REQUEST NO. 167: What is the normal interval between when a slow or dead meter is identified and when the customer is rebiled? REQUEST NO. 168: Please provide the year to year percentage decrease or increase in the total number of estimated meter readings for 2004-2007. REQUEST NO. 169: Please provide the year to year percentage decrease or increase in the total number of misread or incorrect meter readings for 2004-2007. REQUEST NO. 170: Please provide the reasons for and number of instaces in 2007 where the Company had to rebil customers because a previous bil was based on incorrect billng determinants, e.g., incorrect identification of foot drive or meter size. REQUEST NO. 171: Please provide the reasons for and number of instances in 2007 where the Company had to rebil customers due to metering equipment failure, e.g., failure of an ERT or index or mechanical failure of the meter itself. REQUEST NO. 172: For each type of automated meter reading (AMR) technology installed and employed by your company, i.e., Power-Line Carrier or Radio-Based, please SIXTH PRODUCTION REQUEST TO A VISTA CORPORATION 4 JUE 20, 2008 describe any problems encountered during or after AMR installation and how the problems were addressed. REQUEST NO. 173: What is the expected useful life of the new automated meters? By meter type, is there any evidence that suggests the meters may not perform for the same length of time as old-technology meters? If so, please explain. REQUEST NO. 174: Please provide the number and percentage of installed meters or metering equipment that failed for the years 2004-2007. Please report separately for gas and electric meters. Is the failure rate for AMR meters significantly different than that of older- technology meters? REQUEST NO. 175: Are all Avista gas and electric meters in Idaho read using one of the two tyes of AMR technology? If not, please explain. REQUEST NO. 176: Is a uniform AMR data collection system now in place? REQUEST NO. 177: Please explain how meter reading data is entered into the biling system. -; Dated at Boise, Idaho, this ~day of June 2008. ~.:b. 11 L'/bQø . dúÁ1AKr tine A. Sasser ~ Deputy Attorney General Technical Staff: Daniel Klein i:umisc:prodreq/avue~8.ksdk prod req6 SIXTH PRODUCTION REQUEST TO A VISTA CORPORATION 5 JUE 20, 2008 CERTIFICATE OF SERVICE I HEREBY CERTIFY THAT I HAVE THIS 20TH DAY OF JUE 2008, SERVED THE FOREGOING SIXTH PRODUCTION REQUEST OF THE COMMISSION STAFF TO AVISTA CORPORATION, IN CASE NOS. AVU-E-08-01 & AVU-G-08-01, BY MAILING A COPY THEREOF, POSTAGE PREPAID, TO THE FOLLOWING: DAVID J. MEYER VICE PRESIDENT AND CHIEF COUNSEL A VISTA CORPORATION PO BOX 3727 SPOKANE WA 99220 E-MAIL: david.meyer(ßavistacorp.com KELLY NORWOOD VICE PRESIDENT - STATE & FED. REG. A VISTA UTILITIES POBOX 3727 SPOKANE WA 99220 E-MAIL: kelly.norwood(ßavistacorp.com CONLEY E WARD GIVENS PURSLEY LLP 601 W BANNOCK ST (83702) PO BOX 2720 BOISE ID 83701-2720 E-MAIL: cew(ßgivenspursley.com DENNIS E. PESEAU PhD UTILITY RESOURCES INC 1500 LIBERTY STREET SE SUITE 250 SALEM OR 97302 E-MAIL: dpeseau(ßexcite.com BRAD M. PURDY ATTORNEY AT LAW 2019N 17TH STREET BOISE, ID 83702 E-MAIL: bmpurdy(ßhotmail.com ,Jo~SECRETA ~ CERTIFICATE OF SERVICE