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HomeMy WebLinkAbout20121203Clearwater 1-10 to Avista.pdfI t-1 )pl rr.PMt4 3 26 VUL I DL - ATTORNEYS AT LAW Peter Richardson tjTILtTE COMM1SS Tel: 208-938-7901 Fax: 208-938-7904 petcr@richardsonandoleary.com P0. Box 7218 Boise, ID $3707 - 515 N. 27th St. Boise, ID 83702 December 3, 2012 Ms. Jean Jewell Commission Secretary Idaho Public Utilities Commission P 0 Box 83720 Boise ID 83720-0074 RE: Case No. AVU-E-12-08 Case No. AVE-G-12-07 Dear Ms. Jewell: Enclosed please find three (3) copies of the FIRST PRODUCTION REQUEST OF CLEARWATER PAPER CORPORATION in the above case. The original has been served on Avista Corporation. Sincerely, ma A Administrative Assistant end. Peter J. Richardson ISB # 3195 Gregory M. Adams ISB # 7454 RICHARDSON & O'LEARY, PLLC 515 N. 274' Street Boise, Idaho 83702 Telephone (208) 938-2236 Fax (208) 938-7904 peter@richardsonandoleary.com greg()richardsonando1earv corn Attorneys for Clearwater Paper Corporation BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE ) CASE NO AVU-E-12-08 APPLICATION OF AVISTA ) CASE NO AVU-G-12-07 CORPORATION FOR THE AUTHORITY ) TO INCREASE ITS RATES AND ) FIRST PRODUCTION REQUEST OF CHARGES FOR ELECTRIC AND ) CLEARWATER PAPER NATURAL GAS SERVICE TO ELECTRIC ) CORPORATION AND NATURAL GAS CUSTOMERS IN ) THE STATE OF IDAHO ) Pursuant to Rule 225 of the Rules of Procedure of the Idaho Public Utilities Commission (the "Commission"), Clearwater Paper Corporation ("Clearwater") by and through its attorney of record, Peter J Richardson, hereby requests that Avista Corporation ("Avista") provide responses to the following with supporting documents, where applicable This production request is to be considered as continuing, and Avista 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 responses or documents produced FIRST PRODUCTION REQUEST OF CLEARWATER PAPER CORPORATION IN CASE NO AVU-E-12-08 AND AVU-G-12-07 - PAGE 1 Please provide an additional electronic copy, or if unavailable, a physical copy, to Dr. Don Reading at: 6070 Hill Road, Boise, Idaho 83703, Tel: (208) 342-1700; Fax: (208) 384-1511; dreadingmindspring.com . 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 at hearing who can sponsor the answer. Some of the following requests may include disclosures deemed by to be confidential. Counsel for Clearwater and Clearwater's expert witness, Don Reading, have executed a confidentiality agreement prior to sending these Requests for Production. REQUEST FOR PRODUCTION NO.! Please provide an electronic copy, with all formulae and links intact, of the electric related portions of Exhibit 12 attached to Tara Knox's direct testimony. Please include, also in electronic format where possible, all workpapers and other documents used in the development of the electric portions of Exhibit 12. REQUEST FOR PRODUCTION NO.2 Please provide an electronic copy, with all formulae intact, of Exhibit 6 attached to William Johnson's direct testimony. Please include, also in electronic format where possible, all workpapers and other documents used in the development of Exhibit 6. REQUEST FOR PRODUCTION NO.3 On page 9 of Patrick Ehrbar's direct testimony he states: The spread of the proposed increase generally results in the rates of return for the various electric service schedules moving approximately 15% closer to the overall rate of return (unity). Please provide the calculations supporting the calculations for the percentage increase and resulting relative rates of return for each rate class on page 10 in Tables 4 and 5. FIRST PRODUCTION REQUEST OF CLEARWATER PAPER CORPORATION IN CASE NO. AVU-E-l2-08 AND AVU-G-l2-07 - PAGE 2 REQUEST FOR PRODUCTION NO. 4 Please explain the logic used in applying the proposed increase for Clearwater Paper (Schedule 25P) all on the energy rate rather than spreading it between the demand and energy charges, as shown in Exhibit A, the tariff pages. REQUEST FOR PRODUCTION NO.5 Please explain the logic used in the increase in the Annual Minimum for Clearwater Paper (Schedule 25P), as shown in Exhibit A, the tariff pages. REQUEST FOR PRODUCTION NO.6 On page 15 of Robert Lafferty's direct testimony he states: Analysis indicated that the combination of the significant drop in project cost and the substantial tax incentives available for renewable projects completed by December 31, 2012 yielded long-term benefits for customers compared to waiting until tax incentives, attractive project pricing, and particular attractive wind project sites may no longer be available to Avista. Please provide a copy of the analysis that led Avista to the conclusion that the Palouse Wind Project was in the best long-run interest for its customers. Please include all workpapers, spreadsheets (in electronic fonn),l and assumptions used in the analysis. REQUEST FOR PRODUCTION NO. 7 On pages 12 and 13 of Robert Lafferty's direct testimony he states: Avista's 2009 Integrated Resource Plan (IRP) indicated an approximate need for 50 aMW of qualifying renewable energy credits prior to 2016 in order to meet Washington's renewable portfolio standard (RPS). In early 2011, the 2011 IRP was well into development and identified a slightly lower need level of 42 aMW of qualifying renewable energy credits. In February 2011, Avista decided to issue a request for proposals (RFP) that would meet the Company's 2016 need for qualifying renewable energy credits prior to the December 31, 2012 expiration of federal and state tax incentives and other benefits, and also take advantage of the low equipment and construction costs that appeared to be available at the time. FIRST PRODUCTION REQUEST OF CLEARWATER PAPER CORPORATION IN CASE NO. AVU-E-12-08 AND AVU-G-12-07 -PAGE 3 It appears that the need for the Palouse Wind project is being driven by the need to meet Washington's renewable portfolio standard (RPS). Please provide all studies and analysis of the cost advantage of constructing the Palouse Wind project as opposed to simply purchasing renewable energy credits (REC) in the various markets for said credits. If the Company has not conducted such a study please explain in detail why such a study was not conducted. REQUEST FOR PRODUCTION NO. 8 Please provide a detailed list of all RECs purchased and all RECs sold by the Company since the Washington RPS standards were implemented. Please include, in electronic format, if possible, the date of the sale or purchase, the number of RECs sold or purchased, the price per REC for each REC sold or purchased, and identify the counter party for each transaction. REQUEST FOR PRODUCTION NO. 9 On page 15 of Robert Lafferty's direct testimony, he states: The need for the type and size of resource provided by the Palouse Wind PPA was demonstrated in the 2009 Integrated Resources Planning process. (See Exhibit 4, Schedule 5) The need was also confirmed in the 2011 IRP, which was nearing completing with the Palouse Wind PPA was executed. On page 16 of Robert Lafferty's direct testimony, he states: The Company's energy, capacity and REC needs were used as inputs to the development of the Preferred Resource Strategy (PRS). The PRS is developed using a proprietary linear programming model called PRiSM. On page 8-3 of the Company's 2009 IRP (at Exhibit 4, Schedule 5 of Robert Lafferty's direct testimony) is a list of the object functions and constraints used as inputs to the PRiSM model used to conduct the analysis of the Palouse Wind PPA, among other resources. Please provide the shadow prices fund as a result of the analysis for each of the following identified constraints: Capacity needs; Energy needs; Washington RPS; FIRST PRODUCTION REQUEST OF CLEARWATER PAPER CORPORATION IN CASE NO. AVU-E-12-08 AND AVU-G-12-07 - PAGE 4 Resource limitations, Resource availability; and Risk tolerance. REQUEST FOR PRODUCTION NO 10 On page 14 of his direct testimony Mr. Morris states that These mandates, together with litigation and other claims related to the ownership and operation of hydroelectric resources, have added, and continue to add, significant costs to run the utility. The "requirements" referenced on pages 14 - 16 aside, please identify and document all litigation costs and "other claims" costs that are embedded in the Company's overall rates and that are also additionally embedded in the $11.4 million increase in rates Dated/i/is 3r y of Dece?er 2012. V Peter'J. Richardsofi ISB # 3195 RICHARDSON & O'LEARY, PLLC FIRST PRODUCTION REQUEST OF CLEARWATER PAPER CORPORATION IN CASE NO. AVU-E-12-08 AND AVU-G-12-07 - PAGE 5 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on the 3rd day of December, 2012, a true and correct copy of the within and foregoing FIRST PRODUCTION REQUEST OF CLEARWATER PAPER CORPORATION was served as shown to: Jean D. Jewell, Secretary _ Hand Delivery Idaho Public Utilities Commission _U.S. Mail, postage pre-paid 472 West Washington - Facsimile Boise, Idaho 83702 - Electronic Mail jean.jeweIIcpuc.idaho.gov Karl Klein j Hand Delivery Idaho Public Utilities Commission _U S Mail, postage pre-paid 472 West Washington - Facsimile Boise, ID 83702 Electronic Mail karl klein(puc idaho gov David J. Meyer, Vice President - Hand Delivery Kelly Norwood, Vice President _U.S. Mail, postage pre-paid Avista Corporation - Facsimile P.O. Box 3727 X Electronic Mail Spokane, WA 99220 david. meyer(avistacorp .com kelly. norwood(avistacorp.com Larry A. Crowley The Energies Strategies Institute 5549 Cliffsedge Avenue Boise, ID 83716 crowlevlaaol. corn Dean J. Miller Idaho Forest Group, LLC McDevitt & Miller, LLP 420W. Bannock St. Boise, ID 83702 ioe(mcdevitt-miIIer.corn Benjamin Otto Idaho Conservation League P0 Box 844 Boise ID 83701 bottoidahoconservation org - Hand Delivery _U.S. Mail, postage pre-paid Facsimile Electronic Mail Hand Delivery _U.S. Mail, postage pre-paid Facsimile X Electronic Mail - Hand Delivery _U.S. Mail, postage pre-paid Facsimile X Electronic Mail Brad M Purdy Attorney at Law 2019 N 17" Street Boise ID 83702 brn pu rdyhotmai I. corn Ken Miller Snake River Alliance P0 Box 1731 Boise ID 83701 kmillersnakeriveraIIilance.orq - Hand Delivery _U.S. Mail, postage pre-paid Facsimile X Electronic Mail - Hand Delivery _U.S. Mail, postage pre-paid Facsimile X Electronic Mail Nina M. Curtis