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HomeMy WebLinkAbout20210408Avista to Staff 96-115.pdfruRISDICTION: CASE NO: REQUESTER: TYPE: REQUEST NO.: RECEIVED AVISTA CORpORATION 2021Aprit 8, AM 8:00 REspoNsE ro REQTJEST FoRrNFoRMArroN rrrui?i{3o'fil,ifro* IDAHO DATE PREPARED: 0411012021 AW-E-21-01 / AVU-G-?L-Ol WTINESS: Mark ThiesIPUC RESPONDER: Lauren Pendergraft Production Request DEPARTMENT: FinanceStaff-096 TELEPHONE: (509) 495-2998 REQUEST: Please generally describe the Company's methodology for developing, managing, executing, and completing Capital Projects in a least cost manner. Please provide a copy of all Company policies and procedures documenting the process. RESPONSE: As discussed on page 7 of Avista's Infrastructure lnvestnent Plan (see Thies Exhibit No. 2, Schedule 3), when Avista makes any capital investrnent there is an obligation to demonstrate that the overall need, evaluations of alternatives, and the planned timing of implementation is prudent and in the customer's best interests. Whether the investment touches the customer directly, such as customer service or metering systems, or indirectly, such as improving the capability and efficiency of employees and internal work processes, each dollar invested ultimately supports one purpose: to provide customers with safe, reliable, and cost-effective energy services that meet their expectations for quality of service and value. In Mr. Thies' testimony, he discusses the six drivers of investment:1. To respond to customer requests for new service or service enhancements;2. To meet regulatory and other mandatory obligations; 3. To replace equipment that is damaged or fails, and support field operations; 4. To replace ffiastructure at the end of its useful life based on asset condition; 5. To meet our customers' expectations for quality and reliability of service; and 6. To address system performance and capacity issues. When evaluating investrnents, Avista applies a four-part prudency standard: l. Demonstrated proof of need for a project. 2. Evidence that reasonable alterratives were considered that allowed objectively selectins the best. most cost effective alternative. 3. Company awareness of the need for and approval of the project, meaning that affected employees have been made aware of and are in favor of the project and are kept informed of any material changes. 4. Documentation is maintained during the course of the project that would allow a person (sometimes years later) to reach the same conclusions about key decisions based on what was known at the time, or should have been known by the project manager. Projects are developed through various means including planning studies, engineering and asset management analyses, as scheduled upgrades or need for replacements are identified, or with observations made by expert personnel. These projects undergo internal review by multiple stakeholders within the business units themselves and through a formal review process at the appropriate business area level, keeping the prudency standard referenced above in mind. The capital projects are identified in the lower-left portion of lllustration No. I below labeled "Business Unit Needs," and are then prioritized within each department. This prioritization occurs with the knowledge of the continuing constraint on the capital spend level for the Company, while at the same time the leadership of each department informs Senior Management of both the near-term and longer-term needs that are being delayed. For the prioritized projects, Business Casesr are developed for each of the Capital Requests that go to the Capital Planning Group (CPG) (as illustrated in the diagram). The Business Case for each prioritized project serves as the documentation of the justification of the investment and specificallv addresses the proposed solution to the business nroblem and whv it is the best and/or least cost alternative and whv the investment is considered a prudent investment (see attached Business Case Justification Template, specifically Section 2, provided as Staff PR_096 Attachment A). For the business cases provided in this case in support of our pro forma capital additions (in addition to other provided support), please see: o Thackston Exhibit 7, Schedule 4 - Pages 2 - 170o Rosentrater Exhibit 11, Schedule 9 -Pages 2 - 414o Kensok Exhibit 13, Schedule 1 - Pages 2 -248. Magalsky Exhibit 6, Schedule 1- Pages 2 - 40o Howell Exhibit 12, Schedule 6 - Pages 2 - llo Kinney Exhibit 8, Schedules 6 -7 With regards to management, execution, and completion of the capital projects, as part of the standard business case templates, there is a section for each business case to identiff the "Monitor and Control" of the business case, see StaflPR_096 Attachment A, Section 3. This section provides an overview of the govemance processes and people that will provide oversight for each business case; including how decision-making, prioritization, and change requests will be documented and monitored. Illustration No. 1 - Identification and Prioritization Process I A Business Case is a summary document that defines the business problem addressed by a project or program, along with a proposal and recommended solution. The Business Case explains why the work is necessary, and the risks associated with not making the investment, as well as the alternatives considered, the selected alternative and the timeline associated with the project. Page 2 of3 Ir-rndedNot Fund.d (t)cfctrsd) The Company has also provided in this case lnvestnent Plans that provide additional information as to why the Company is making invesfrnents in generation, transmission, substations, electric and natural gas distribution, among others and how we are providing customers with safe, reliable, and cost-effective energy services that meet their expectations for quality of service and value. Those reports were provided as follows: o Thackston Exhibit 7, Schedule 3, Avista's Generation lnfrastructure Plan for 2020o Rosentrater Exhibit I l, Schedule, Avista's Electric Distribution lnfrastructure Plan for 2020 o Rosentrater Exhibit ll, Schedule 2, Avista's Substation Infrastructure Plan for 2020o Rosentrater Exhibit 11, Schedule 3, Avista's Electric Transmission Infrastructure Plan for 2020o Rosentrater Exhibit 11, Schedule 4, Avista's Natural Gas Infrastructure Plan for 2020o Rosentrater Exhibit I l, Schedule 5, Avista's Priority Aldyl-A Protocol Reporto Rosentrater Exhibit 11, Schedule 6, Study of Aldyl-A Mainline Pipe Leaks - 2018 Updateo Rosentrater Exhibit I l, Schedule 7, Avista's Fleet Infrastructure Plan for 2020o Rosentrater Exhibit I l, Schedule 8, Avista's Facilities Infrastructure Plan for 2020 Additionally, the Company procures its materials and services in a disciplined manner, that is designed to obtain the maximum value for each dollar of expenditure. See the Company's Procurement Best Practices for Contracting Goods and Services attached as StaflPR_096 Attachment B. Specifically please see Section 7, "Competitive Bidding," and Section 9, "Awards and Supplier Selection," which has . It is important to remember, thought, that least cost might ultimately mean lowest life-cycle cost, not necessarily lowest upfront cost. Lowest cost items, upfront, may ultimately lead to a higher life cycle cost due to future O&M costs to keep an item or project operational. Key items from Section 7 and Section 9 include: Section 7.3.1 - Bids are opened privately by Avista only after the deadline for receiving proposals has passed. Supply Chain Management reviews the bids for responsiveness and exceptions, and compares the bids, with an emphasis on pricing, terms, exceptions and/or delivery, with the appropriate BU. Additional financial and risk analyses are performed as required. Legal and/or Risk Management review exceptions and form, as necessary. Section 9.1 - Suppliers should be selected on the basis of;o Ability to provide materials, equipment and/or services in accordance with the specifications; o Ability to meet standards for quality, service level, and long term benefit to Avista; o Optimum value / lowest overall cost;o Financial and business stability, past performance and relevant experience; and o Other pertinent factors as deemed necessary. Page 3 of3 <Project Name> EXECUTIVESUMMARY Ihis section is reserued to provide a blfi,description of the business case and high-level summary of the projects or programs included. P/ease limit to no more than 2 paraqraphs. Components thaf should be included: 1) a synopsis of the problem, 2) the seruice code and jurisdiction of customers impacted, 3) the recommended solution, 4) the cost of the solution, 5) how the solutionwillbenefit customers identified, 6)the significance of the timeline and 7)the risks of not approving fhls business case, << Both the Executive Summary and Version History shouldfit into onepage>> VERSION HISTORY Version Author Descriotion Date Notes Draft DaisvDrafrer lnitial draff of oriornalbusine.qs ca.se 4/15/2020 1.0 PrudentPennv U o d ate d Ao n roval Sfafrl.s 6/1/2020 Fullamount aooroved 1.1 Debbie Downer Budoet chanoe 10/15/20 $50.000 deferrdto 2021 2.0 Business Case Justficalion Narrative Template Version: 0810412020 Page I of5 Page 1 of5Staff_PR_096 Attachment A <Project Name> Requested Spend Amount $ Requested Spend Time Period 1 year, 5 years, 10 years, etc. Requesting Organization/Department BusinessCaseOwner I Sponsor S ponsor Organization/Depailment Phase Choose an item Category Choose an item Driver Choose an item 1 GENERAL INFORMATION BUSINESS PROBLEM [This section must provide the overall buslness cxe information conveying the benefit to the customer, vthd the project willdo and current problem stdementl 1.1 What is the current or potential problem that is being addressed? 1.2 Discuss the major drivers of the business case (CusfomerRequesfe4 Custunrs Servrce Quality & Reliability, Mandatory & bmpliance, Performance & Capacity, Assei. Condition, or Failed Plant & Operations) and the benefits to the customer 1.3 ldentify why this work is needed now and what risks there are if not approved or is deferred 1.4 ldentify any measures that Gan be used to determine whether the investment would successfully deliver on the objectives and address the need listed above. 1.5 Supplemental lnformation 1.5.1 Please reference and summarize any studies that support the problem [Listthe location of my supplementd information; do not attar,h] 1.5.2 For asset replacement, include graphical or narrative representation of metrics associated with the current condition of the asset that is proposed for replacement. 2. PROPOSAL AND RECOMMENDED SOLUTION [Describethe proposed soltlion fo the buslness problem identified above and vlty fhis isfhe best and/or least cost alternative (e.9., cost benefit analysis, aftach as supporting documentation)l Business Case Justficaton Narrative Template Version: 0810412020 Page 2 of5 Staff_PR_096 Attachment A Page 2 of 5 <Project Name> Option CapitalCost Start Gomplete I Rec om me nded S ol ution]$M MM YYYY MM YYYY [Alternative #1]$M MM YYYY MM YYYY IAlternative #2]$M AIAI YYYY MM YYYY 2.1 Describe what metrics, data, analysis or information was considered when preparing this capital request. Examples include: - Samp/es of savlngs, benefits or risk avoidance esflrnates- Description of how benefits to cusfomers are being measured - Comparison of cosf ($)to benefit (value) - Evidence of spend amount to anticipated return Reference key points from external documentation, list any addendums, attachments etc. 2.2 Discuss howthe requested capita! cost amount will be spent in the current year (or future years if a multi-year or ongoing initiative). (i,e. what are he expected functions, processes or deliverableshat willresult fom he capital spend?). lnclude any known or estimated reductions to O&M as a result of this investment. How willthe odcome of this investment result in potential additional O&M cosfs, employee or staffing reductions to O&M (offsets), etc.? [Offsets to prqects will be more strongly scrutinized in general rate cases going lorward (ref. WUTC Docket No. U-190531 Policy Statenent), therefore it is critical that these impacts are thought through in order to support rate recovery.l 2.3 Outline any business functions and processes that may be impacted (and how) by the business case for it to be successfully implemented. [For example, how willthe outcome of fhis business case impact other parls of the business?] 2.4 Discuss the alternatives that were considered and any tangible risks and mitigation strategies for each alternative. 2.5 lnclude a timeline of when this work will be started and completed. Describe when the investments become used and useful to the customer. [Describe if it is a program or project and details abotl how often in a year, it becomes used-and-useful. (i.e. if transfer to plant occurs monthly, quafterly or upon project completion).1 2.6 Discuss how the proposed investment aligns with strategic vision, goals, objectives and mission statement of the organization. fif thisisaprogramorcompilatiottof discreteprojects,explaintheimpoftanceof thebody of work] Business Case Juslificalion Narrative Template Version: 0810412020 Page 3 of5 Staff_PR_096 Attachment A Page 3 of 5 <Project Name> 2.7 lnclude why the requested amount above is considered a prudent investment, providing or attaching any supporting documentation. ln addition, please explain how the investment prudency will be reviewed and re-evaluated throughout the project 2.8 Supplemental lnformation 2.8.1 Identify customers and stakeholders that interfacewith the business cce 2.8.2 ldentifyany related Business Gases lncluding any busrnesscases that mayhave been replaced bythlsbusiness case/ 3. MONITORAND CONTROL 3.1 Steering Commiftee or Advisory Group lnformation [Plexe identify and dxcribethe steering committeeor advisorygroup fu initialand ongcing vdbng, as a paft of your depatmentd prioritizdionprocess.J 3.2 Provide and discuss the governanoe processes and people that will provide oversight 3.3 How will decision-making, prioritization, and change requests be documented and monitored 4. APPROVAL AND AUTHORIZATION The undersigned acknowledge they have reviewed the <Business Case Name> and agree with the approach it presents. Significant changes to this will be coordinated with and approved by the undersigned or their designated representatives. Signature: Print Name Title: Role: Date: Business Case Owner Business Case Juslificalion Narrative Template Version: 0810412020 Page 4 of5 Staff_PR_096 Attachment A Page 4 of 5 <Project Name> Signature: Print Name: Title: Role: Signature: Print Name: Title: Role: Business Case Sponsor Date: Date: Steering/Advisory Committee Review Business Case Juslificalion Narrative Template Version: 0810412020 Page 5 of5 Staff_PR_096 Attachment A Page 5 of 5 AEutsrt Procurement Best Practices for Contracting Goods & Services Avista strives to conduct the procurement of goods and/or services in a disciplined manner, consistent with good business and internal control practices as well as Avista's Code of Conduct and Ethics. Supply Chain Management (Buyers/Contract Managers) acts as the authorized agent and primary contact for Avista, unless otherwise delegated, for the procurement of goods and services to protect the financial and commercial interests of Avista and to obtain the maximum value for each dollar of expenditure. This is done by: o Acquiring goods and/or serttices to meet Avista's quality, quantity, financial and time requirements. . Negotiatingfor optimum volue in terms of lowest overall cost o Establishing and maintaining competeng dependable and competitive supply sources. c Developing and maintaining effective,fair and ethical relationships with suppliers. o Reviewing this documentwith new Supply Chain employees. o Reviewing this document with all Supply Chain employees on an annual basis. To achieve the goals set forth above, Supply Chain Managanent has developed the following "best practices" that should be followed when procuring goods and services. I. SCOPF" AND OVF"RVIT'.W OE' PROCT]REMRNT: Ll All expenditure requests for the purchase of goods and/or contracts for services must be reviewed, approved and signed by the Business Unit (BU) manager having overall accountability for the results of the particular contract, in accordance with established corporate sigrrature authority (a Sigrature Authority Log is managed by Accounts Payable). 1.2 The Signature Authority Log has certain individuals listed multiple times with different levels of signature authority, depending on the organization code. Supply Chain personnel should ensure that signature on the "Contract Document" (defined as agreements, amendments, work authorizations and change orders) is obtained for the proper individual under the applicable organization code. 1.3 Revenue and expense contracts must be sigrred by the authorized level of management responsible for committing Avista resources. Contracts with no financial impact should be signed by the BU manager having overall accountability for the results of the particular contact. 1.4 When individuals sigr above their established signature authority, written delegation of sigrature authority must be obtained from the appropriate signature authority and retained in the applicable database of record (ValueMation/Oracle). 1.5 All fully executed Contract Documents must be saved in the applicable database of record (ValueMation/Oracle). (The Contract Manager, Contract Tech or Buyer who saves the Document is responsible for ensuring that the scanned Document is complete and legible prior to saving it in the database of record.) 1.6 Exceptions to the processes described in Sections 1.1 through 1.5 include: (i) legal services, (ii) electric and natural gas power supply, and transmission contracts involving purchasing and selling power, (iii) executive professional services, and (iv) emergency-related situations (See Section 8.2 below). The following is a basic categorization of typical transactions associated with the purchase of goods and services. 2. 2.1 A written contract is required for all services including construction, professional, general, and field services, regardless of value. Excluding contracts with electric and natural gas service customers ("M"contracts)theuseofopen-ended(evergreen)and/or time and materials service contracts with no set not- to- exceed amount (*NTE') is discouraged. Page I of6 Staff PR 096 Attachment B Revised 312016 Page 1 ofO Aivtsrr Procurement Best Practices for Contracting Goods & Services 2.2 All contracts must meet corporate financial, tax, insurance, legal and risk management standards. Supply Chain Management is responsible for identiffing and evaluating any liabilities as well as negotiating terms that result in a well-balanced and fair contract. Legal and/or Risk Management must be consulted, as needed. 2.3 Avista's standard contractterms and conditions govern all contracted activities. Significant deviations from Avista's standard terms and/or use of terms and conditions provided by the counterparty must be approved by Legal. 2.4 Work under an evergreen/master contract is administered under a work authorization ('WA"), and additional work under a project-specific contract is administered via a change order ("CO"). Changes to an executed contract that change contractual terms are administered via an amendment, or by a CO if the change involves the work or compensation. Finally, additional work and/or changes to an executed WA are administered via a CO. Supply Chain Management will work with the requestors to execute the appropriate Contract Document. 2.4.1 Each WA should represent a specific element of work under a master agreement. Combining WA's which represent similar or related work is at the discretion of the stake holder/requestor and Supply Chain Managonent. However, Supply Chain Management should work with the BU to ensure that WA's are not split into multiple documents as a means of circumventing the proper review and approval process. 2.4.2 A CO should speciff the reason for the change, the impact on the schedule (if any) and the impact to the compensation (if any). A CO should reflect the compensation applicable under the Contract Document and the additional compensation added by the CO (if any). Signature authority of the CO should be determined by comparing the total new dollar amount created by the CO to the sigrratory of the original Contract Document (for example, if a CO increases the total compensation applicable under the Contract Document over $100K, then the Director of the BU is not authorized to sign the CO - the CO must now be sigrred by the Vice President responsible for the activity associated with the BU). 2.4.2.1 If a Contract Document exceeds $50,000 and it was not subject to Avista's Request for Proposal (*RFP") process, a Sourcing Approval Form ggg! be generated and routed for signature. 2.4.2.2 Once a Sourcing Approval Form is signed and formalized, it is not necessary to execute another Sourcing Approval Form if the compensation under the CO Contract Document increases, unless the incremental compensation applicable under the CO Contract Document increases above fifty thousand dollars ($50,000). 2.4.2.3 Completed Sourcing Approval Forms must be saved in the applicable database of record (ValueMation/Oracle). (The Contract Manager, Contract Tech or Buyer who saves the Document is responsiblefor ensuring that the scanned Document is cotnplete and legible prior to saving it in the database of record.) 2.4.3 An Avista Representative, authorized to act on Avista's behalf, should be identified for all confacts. The Avista Representative acts as the primary point of contact with the contractor during the performance and administration of the contract. 2.4.4 The Contract Review and Approval Form is used to document review and approval of arrangements for goods and services by authorized representatives of Supply Chain, Legal, BU Management, and Risk Management. 2.4.4.1 Non-standard terms and conditions require Legal and BU approval. 2.4.4.2 Waivers or adjustment to standard insurance requiranents require Legal and Risk Management approval. Page 2 of 6 Statr_PR_096 Attachment B Revised 312016 Page 2 of 6 lYivtsrt Procurement Best Practices for Contracting Goods & Services 3. PT]RCHASF"S OT' GOONS A Purchase Order is required for the purchase of goods in excess of $1,000. Requisitions are submitted via the iProcurement System utilizing established sigrrature authority to ensure proper review and approval of expenditures. Material requirements lqtpg be split into multiple purchases as a means of circumventing the proper review and approval process. 4.@ Equipment leases must be reviewed and facilitated by Supply Chain Management. Equipment lease agreements that potentially could exceed $50,000 require additional review by the Corporate Accounting Deparfrnent. 5. BEAT.EBQEEBI]T The Real Estate Deparfinent manages all real Foperty (permits, franchises, deeds and easernents) and maintains all original real estate documents, and requests for copies of real estate documents should be directed to that Department. 6. MASTER AGREF',MENTS Master Agreements are negotiated when a particular supplier may be utilized for multiple projects and/or there are opportunities to leverage company-wide purchases/services to achieve the greatest corporate value. 7. COMPT'.TITT\IERIDDTNG The following guidelines outline Avista's competitive bidding philosophy and processes: 7.1. OVERVIEW: 7.1.1. Avista is committed to contracting via competitive bidding processes to the maximum extent practical, and strives to invite a sufficient number of suppliers, including qualified diversity and/or local suppliers where possible, to assure sound competitive offerings. Bids are by invitation only. 7.1.2. Supply Chain Management is responsible for administering Avista's competitive bid processes, serves as the Single Point ofcontact ("SPC") throughout the bid process, and works closely with the relevant BU throughout the process. The SPC is responsible for managing all communications, including clarifications or modifications to the RFP documents, and ensuring that any modifications to the RFP are issued simultaneously to all potential bidders. 7.1.3. Competitive bids should be solicited through a fonnal, confidential RFP when the potential value of the contract is $100,000 or more. RFP's of lesser value are evaluated for opporlunity and subject to competitive bidding or written quotations as advised by Supply Chain Managernent. CONTRACTED VALTIE BIDDING GUIDELINES Over $100,000 Formal Request for Proposal from Qualified Bidders $50,000 - $99,999 Written Quotations from Qualified Suppliers Less than $50,000 As Advised by Supply Chain Management Page 3 of6 Staff_PR_096 Attachment B Revised 312016 Page 3 of 6 ^#vrsrr Procurement Best Practices for Contracting Goods & Services 7.2. INITIATINGANRFP: 7.2.1. T\e requestor is responsible for providing the Statement of Work ("SOW") including any technical specifications, drawings, tasks, deliverables, and/or special considerations. Requestors should strive to make the SOW and all attachments clear and precise, yet'Aanilla" enough to invite competition whenever possible. 7.2.2. Bidders should be encouraged to present their products and services at prices that reflect the current competitive markets, and ensure that any exceptions are clearly noted by the bidders. 7.3. EVALUATION: 7.3.1. Bids are opened privately by Avista only after the deadline for receiving proposals has passed. Supply Chain Management reviews the bids for responsiveness and exceptions, and compares the bids, with an emphasis on pricing, terms, exceptions and/or delivery, with the appropriate BU. Additional financial and risk analyses are performed as required. Legal and/or Risk Management review exceptions and form, as necessary. 7.3.2. Supply Chain Managanent will assist the BU in: (i) validating pricing and commercial terms to ensure the integrity of the bids when the RFP is unusual or complex, or interpretation or comparison is diflicult; (ii) determining if the bid contains an apparent error (or errors), and (iii) deciding if a re-bid is warranted. 7.3.3. Supply Chain Management will work with the requestor (who has the primary responsibility of performing the technical evaluation to ensure that the bid conforms to the technical specifications, standards, quality and/or other physical or operational concerns required under the RFP) in evaluating the proposals received, as appropriate. 7.3.4. Following reviewing the proposals, Avista has the option to: (i) enter into negotiations with the preferred supplier, or (ii) invite a "short list" of qualified Bidders whose proposals are deemed most responsive to the RFP to participate in a second, "Best and Final Offer" evaluation round. 8. EXCEPTIONS TO THE" COMPF'.TITTVT" RTD PROCF',SS: 8.1. ln cases where Avista would benefit by using a specific supplier rather than conducting an RFP due to the long-term value of the business relationship, a completed Sourcing Approval Form must be submitted to Supply Chain Management for review/follow-up prior to commencing any purchasing or contracting activity. 8.2. When situations arise that require immediate procurernent of materials or services to avoid placing Avista in a position that may affect its ability to conduct operations in a safe, efficient and cost- effective manner, a Sourcing Approval Form is required within 48 hours of the transaction, if the expense is greater than $50,000 and traditional approval processes were not followed. Requestors should work with Supply Chain Management to execute the transaction whenever possible. 8.3. The Sourcing Approval Form is used to document appropriate Supply Chain, Legal, BU Management, and Risk Management review where there are exceptions to the standard procurement processes for goods and services. This Sourcing Approval Form requires approval by the corporate manager with signature authority equal to the estimated value of the transaction when: 8.3.1. "Sole source" (no bid) agreements with a value of $50,000 or more are created. 8.3.2. A new agreement replaces an expired or outdated agreement with an existing contractor / supplier. The "Justification" in the Sourcing Approval Form should be explained (i.e. that the agreement is being updated for Avista best interest in continuing its relationship with the contractor/supplier). In this specific case only, the Supply Chain Manager's signature is required on the Sourcing Approval Form. 8.3.3. Contract is awarded to other than the lowest evaluated bidder if the value is in excess of $50,000. Page 4 of6 Stafi_PR_096 Attachment B Revised 312016 Page 4 of 6 Aiivtsrfr Procurement Best Practices for Contracting Goods & Services 9. AWARITS & SUPPI,fi'R SF',I,F,CTTON: 9.1 Suppliers should be selected on the basis of: . Ability to provide materials, equipment and/or services in accordance with the specifications; o Ability to meet standards for quality, service level, and long term benefit to Avista; o Optimum value / lowest overall cost; o Financial and business stability, past performance and relevant experience; and o Other pertinent factors as deemed necessary. 9.2 Employees should avoid doing anything that could imply selection of a supplier on any basis other than the best interests of Avista or which could give an improper advantage to one supplier over another. 9.3 Additional consideration may be given to local suppliers having manufacturing or major stocking facilities located within Avista's service area if all conditions are equal. 9.4 Foreign suppliers may be considered when qualified domestic suppliers are non-competitive, unable to meet delivery requirements, or the foreign product has design and performance characteristics desired by Avista that may not be available domestically. 10.@ 10.1. Employees are expected to maintain impartial, objective, and fairbusiness dealings with suppliers while promoting positive supplier relationships in all phases of the contracting and procurement cycle. (Refer to Avista's Code of Conduct & Ethics for additional information.) 10.2. Special emphasis should be placed on ernployees who are responsible for, or in a position to influence, the procurement of goods or services including employees with the responsibility to: o Establish criteria or specifications forprocurernent ofgoods or services; o Qualiff, evaluate, recommend or select suppliers or contractors; o Receive, inspect, or accept goods or services on behalf of Avista; o Manage projects and/or review supplier performance; and/or o Price, sell, or negotiate the sale ofAvista goods or services. 10.3. Employees must avoid solicitation or acceptance of any gifts or personal favors that may create or appear to create an obligation by the employee or Avista to provide preferential treatment. To avoid the appearance of impropriety, Avista pays employee expenses for trips associated with factory or business visits to supplier sites, etc. 10.4. Passage of one supplier's pricing information to a competitor is not only unethical but can be a violation of antitrust laws. It is never appropriate to discuss a supplier's products or services with competitors. Likewise, Avista pricing must not be shared with other suppliers and/or customers of such other suppliers. 10.5. When on Avista property, suppliers must be escorted by an Avista representative, unless suppliers have obtained appropriate background checls. 10.6. Concerns with supplier performance (delivery, quality, or conduct) should be brought to Supply Chain Management for resolution. (Supply Chain Management will involve Lega| as needed. 11. I 1.1. WLL CALL ORDERS. Employees must present identification at the time of pick-up for any "will call" purchases. Employees must legibly print their name, department, and./or phone number on the sales order. Page 5 of6 Slafi_PR_096 Attachment B Revised 312016 Page 5 of 6 ^#vrsrr Procurement Best Practices for Contracting Goods & Services 11.2. INVENTORYMATERI.AL. Material stocked in an Avista storeroom should be utilized to ensure compliance with material standards and minimize additional spending on alternative products as a result of supplemental purchases. 11.3. CREDIT CARDS. For a complete list of acceptable uses of Credit Cards, please refer to Avista's Credit Card Policies and Procedures. 12. 12.I. FORMS: The following forms are utilized as part of the procurement practices and must be retained in accordance with Section 12.2: o Contract Request Forms. o Sourcing Approval Forms: Used for Sole source, Awarding Bid to non-lowest bidder, new agreement replacing an existing agreernent. o Contract Review and Approval Records: Used to document review and approval of arrangements for goods and services by authorized representatives of Supply Chain, Legal, BU Managernent, and Risk Management. I2.2. RETENTION l2.2.l.Appropriate documentation, including pre- and post-award records, must be maintained throughout the life ofthe contract according to corporate policies, procedures, guidelines and legal/regulatory requirements. These documents include: . Agreements . Exhibits/Attachments . Amendments . Work Authorizations . Change Orders l2.2.2.Doaxrrentation must be saved to the Contracts Network Shared Drive and into the electronic system of records (i.e. ValueMation). l2.2.3.Prior to uploading documentation (including Contract Documents, approval forms, etc.) into the electronic systan of record (i.e. OracleA/alueMation). The Contract Manager, Conhact Tech or Buyer who scans and saves such documents is responsible for ensuring that the documentation is complete (i.e. with signature page, no missing pages, attachments, etc.) and legible prior to scanning, and once scanned, are responsible for confirming that the scanned documents are complete and legible prior to disposing of the hard copies of such documentation. Page 6 of6 Stafi_P R_096 Attachment B Revised 3/2016 Page 6 ofo JURISDICTION CASE NO: REQUESTER: TYPE: REQUEST NO.: AVISTA CORPORATION RESPONSE TO REQUEST FOR INFORMATION IDAHO DATE PREPARED: 041021202r AW-E-21-01 / AW-c-21-01 WITNESS: David JamesIPUC RESPONDER: David James Production Request DEPARTMENT: Wildfire ResiliencyStaff-107 TELEPHONE: (509) 495-4185 REQUEST: Please provide a list of all Operation and Maintenance expEnses incurred for the Wildfire Resiliency Plan for 2019 and 2020. In your response, please provide vendor name, amount, date, FERC account ntunber, and a brief description of the expense. RESPONSE: Please see Staff PR 107 Attachment A. AVISTA CORPORATION RESPONSE TO REQITEST FOR INF'ORMATION ruRISDICTION: IDAHO DATE PREPARED: 0410212021 CASE NO: AW-E-21-01 / AVU-G-21-01 WITNESS: David James REQUESTER: IPUC RESPONDER: David JamesTYPE: Production Request DEPARTMENT: Wildfire Resiliency REQUEST NO.: Staff-108 TELEPHONE: (509) 495-418s REQUEST: Please provide a detailed listing of the proforma Wildfire Resiliency Plan O&M Expenses for 2021 and2022. RESPONSE: Please see Sta{_PR_108 Attachment A. Please note that Avista does not have a 2022 detail O&M budget as O&M is done year-to-year. See l0-YR Wildfire Resiliency Plan expense discussion in Mr. Howell testimony forplanned 2022 O&M expenses. SCADA - SOO and BUCC EXECUTIVE SUMMARY This business case provides for replacement of existing technology, as well as for deployment of new applications and technology as required to address expanding regulatory and business requirements. This program (Supervisory Control and Data Acquisition - System Operations Office and Backup Control Center) replaces and upgrades existing electric and gas control center telecommunications and computing systems as they reach the end of their useful lives, require increased capacity, or cannot accommodate necessary equipment upgrades due to existing constraints. Some system upgrades may be necessitated by other requirements, including NERC reliability standards, federal gas standards, system growth, and external projects (e.9. Smart Grid). The customers who benefit are all electric and gas residential, com mercial, and industrial customers (CD.AA). The estimated costs for the upcoming five years are $4M. The amount requested is based partially upon historical spending needs, and partially on known upcoming major projects. Within the program's yearly authorized spend amount, specific budgetary items to be implemented are determined based on asset condition, life-cycle management, technology enhancements, and requests by affected stakeholders including System Operations, Distribution Operations, and Power Supply. There are multiple risks if this program is not adequately funded. The clearest risk would be to public and personnel safety. The control systems supported by this business case provide real- time visibility, situational awareness, and control of Avista's electric and gas systems. Degradation of these capabilities due to lack of capacity, capability, or aging systems would present increased safety risk. Additionally there is significant compliance risk. These control systems provide the capabilities required to achieve compliance with numerous reliability standards and requirements. For the electrical system these include the NERC standards BAL, COM, ClP, EOP, lNT, PER, PRC, TOP, and VAR. Forthe gas system these include the PHMSA "Pipeline Safety: Control Room ManagemenUHuman Factors" rule (49 CFR Parts 192 and 195.) The expenditure of these funds is necessary to operate Avista's electric and gas systems in a safe, reliable, and compliant manner. VERSION HISTORY Version Author Descriotion Date Notes Draft Craio Fioart lnitial draft of orioinal business case 07.1.2020 0.2 Craio N Fiqart Draff version of 2020 business case 07.17.2020 Uodated Executive Summarv 1.0 Craio N Fiqart Final version ol 2020 business case 09.21.2020 Based on Maoruder inout. 2.0 Jeremiah Webster formafting to keep the fonts consistent, removed some of the blue help text, and deleted the comments 12.15.2020 Staff_PR_1 09 Attachment A Page 1 of7 Business Case Justification Narrative v1 .0 Page 1 of7 Requested Spend Amount $4M Requested Spend Time Period 5 years Req uesting Organization/Department T&D - SCADA/EMS/DMS - System Operations Business Case Owner I Sponsor Craig N Figart I Mike Magruder Sponsor Organization/Department Energy Delivery Phase Execution Category Program Driver Asset Condition SCADA 'SOO and BUCC GENERAL INFORMATION 1. BUSINESS PROBLEM 1.1 What is the current or potential problem that is being addressed? ln order to effectively operate the Transmission & Distribution (T&D) Systems, sufficient business and computing hardware and software is necessary. This business case provides for replacement of existing technology in alignment with manufacturer product roadmaps for application and technology lifecycles, as well as for deployment of new applications and technology as required to address expanding regulatory and business requirements. Technology continues to change and T&D Systems continue to incorporate improved technology. 1.2 Discuss the maior drivers of the business case (Cusfomer Requested, Customer Serwbe Quality & Reliability, Mandatory & Compliance, Pertormance & Capacity, Asset Condition, or Failed Plant & Operations) and the benefits to the customer Asset Condition is the major driver of the business case. Other drivers are Customer Service Quality & Reliability and Performance & Capacity. This business case is crucial in a key aspect of Our Vision; "Delivering reliable energy service... " lt is essential in providing sufficient control center technology tools, situational awareness, and monitor/control capabilities to achieve reliable energy service. 1.3 ldentify why this work is needed now and what risks there are if not approved or is deferred. There are multiple risks if this program is not adequately funded. The clearest risk would be to public and personnel safety. The control systems supported by this business case provide real-time visibility, situational awareness, and control of Avista's electric and gas systems. Degradation of these capabilities due to lack of capacity, capability, or aging systems would present increased safety risk. Additionally there is significant compliance risk. These control systems provide the capabilities required to achieve compliance with numerous reliability standards and requirements. For the electrical system these include the NERC standards BAL, COM, ClP, EOP, lNT, PER, PRC, TOP, and VAR. For the gas system these include the PHMSA "Pipeline Safety: Control Room ManagemenUHuman Factors" rule (49 CFR Parts 192 and 195.) Business Case Justification Nanative v1 .0 Page 2 ol 7 Stafi_PR_1 09 Attachment A Page2 of7 SCADA - SOO and BUCC The expenditure of these funds is necessary to operate Avista's electric and gas systems in a safe, reliable, and compliant manner. ln addition to the risks related to public and personnel safety, compliance risk would be increased without this investment. Non-compliant operational capabilities and practices would result in negative audit findings, significant financial penalties, and litigation expenses. Obsolete equipment would remain in service until failure. Additional capacity for growth may or may not be suitable for required expansions to meet other needs (e.9. Regulatory, Smart Grid.) 1.4 ldentify any measures that can be used to determine whether the investment would successfully deliver on the objectives and address the need listed above. 1.5 Supplemental lnformation 1.5.1 Please reference and summarize any studies that support the problem Not applicable 1.5.2 For asset replacement, include graphical or narrative representation of metrics associated with the current condition of the asset that is proposed for replacement. Not applicable 2.1 Describe what metrics, data, analysis or information was considered when preparing this capital request. The below SCADA Capital Spend History chart provides a visualfor past expenditures. On average, SCADA spends around $700,000 per year. This five year capital request was prepared using this $700,000 average number for the last three years. The first two years include significantly larger requests, however, most notably due to the EMS Upgrade project that we will be wrapped up in 2021. The last EMS Upgrade occurred in 2014 as can be seen in the chart below. Business Case Justification Nanative v1 .0 Page 3 of 7 Option CapitalCost Start Complots Do nothing $o Fully Funded'SCADA - SOO and BuCC' business case $1M 01t2021 1212021 Staff PR l09AttachmentA Page 3 of 7 SCADA - SOO and BUCC SCADA Capital Spend History r.,400,000. 1,200,000. 1,000,000. 800,000. 600,000. 400,000. 200,000. 0.ln lrln l 2010 2011 2012 20t3 201.4 20t5 20L6 20t7 20L8 20L9 2.2 Discuss howthe requested capital cost amountwill be spent in the current year (or future years if a multi-year or ongoing initiative). (i.e. what are the expected functions, processes or deliverables that will result from the capital spend?). lnclude any known or estimated reductions to O&M as a result of this investment. This five year capital request of $4M is comprised of $1 M in 2021. The most significant project driving SCADA's typical capital project expenses above the average $700,000 is the estimated $300,000 additional capital required to complete the EMS Upgrade project. The completion of this EMS Upgrade project will eliminate $11k annually in O&M costs associated with extended operating system support. 2.3 Outline any business functions and processes that may be impacted (and how) by the business case for it to be successfully implemented. The EMS upgrade project is required to be completed in order to upgrade hardware and software that is no longer supported. The EMS upgrade project will also better accommodate operation under the Energy lmbalance Market. 2.4 Discuss the alternatives that were considered and any tangible risks and mitigation strategies for each alternative. Not applicable 2.5 lnclude a timeline of when this work will be started and completed. Describe when the investments become used and useful to the customer. spend, and transfers to plant by year. This is a continuous program. Work is started and completed throughout each year, and in some cases, such as major upgrades, spans multiple years. Technology continues to change and T&D Systems continue to incorporate improved technology. 2.6 Discuss how the proposed investment aligns with strategic vision, goals, objectives and mission statement of the organization. This business case is crucial in a key aspect of Our Vision; "Delivering reliable energy service..." lt is essential in providing sufficient control center technology tools, situational awareness, and monitor/control capabilities to achieve reliable energy service. Business Case Justification Narrative vl .0 Page 4 ol 7 Stafi_PR_1 09 Attachrnent A Page 4 ot 7 SCADA - SOO and BUCC This business case is key in accomplishing the Our Focus item of "Safe & Reliable lnfrastructure.' Providing remote monitor and contro! capabilities to operators is essentia! in achieving "optimum life-cycle performance - safely, reliably, and at a fair price." 2.7 Include why the requested amount above is considered a prudent investment, providing or aftaching any supporting documentation. ln addition, please explain how the investment prudency will be reviewed and re-evaluated throughout the project Further justification of the need of this business case is listed below. o There are numerous mandates in effect which compel these expenditures, numerous NERC Standards, and PHMSA's Control Room Management rule, in particular (49 CFR Parts 192 and 195). o There is no practical risk mitigation should we failto meet these requirements. o This is a continuous program. Work is started and completed throughout each year, and in some cases, such as major upgrades, spans multiple years. o This business case is crucial in a key aspect of Our Vision; "Delivering reliable energy service..." lt is essential in providing sufficient control center technology tools, situational awareness, and monitor/control capabilities to achieve reliable energy service. o This business case is key in accomplishing the Our Focus item of "Safe & Reliable lnfrastructure." Providing remote monitor and control capabilities to operators is essential in achieving "optimum life-cycle performance - safely, reliably, and at a fair price." o The amount requested is based partially upon historical spending needs, and partially on known upcoming major projects. 2.8 Supplemental lnformation 2.8.1 ldentify customers and stakeholders that interface with the business case o Our Stakeholders include:'i'i#i:r::x . DistributionOperators . Gas Controllers : :ff*ffil,fi'"H:l#::emen'[ . RC West Reliability Coordinator o Technicians : ;:'J::':ff"::l", JI;::il?# n c a ns o Engineering Business Case Justification Narrative v1 .0 Page 5 of 7 Staff_PR_1 09 Attachment A Page 5 of 7 SCADA - SOO and BUCC . Protection/lntegration Engineering . SubstationEngineering . Generation Engineering . Distribution System Operations o EnterpriseTechnology . Oracle Database Administrators . Security Engineering . Network Engineering . Network Operations 2.8.2 ldentify any related Business Gases Not applicable 3.1 Steering Committee or Advisory Group lnformation The steering committee for this business case is made of the following: - Director of System Operations and Planning - Manager of Energy Management Systems (EMS/DMS) - Senior System Operations Project Manager 3.2 Provide and discuss the governance processes and people that will provide oversight The steering commiftee provides governance and oversight of this business case. The Manager of EMS/DMS has monthly meetings scheduled within the Energy Management Systems group to track progress of the various capital projects that comprise the total business case. 3.3 How will decision-making, prioritization, and change requests be documented and monitored Decision-making, prioritization, and change requests at the individual capital project level are taken care of within the Energy Management Systems group under manager supervision. Any need for substantial change requests to capital projects that would deviate from the original Capital Project Request (CPR) are documented and submitted to Project Accounting as a revised CPR. lf the sum total of all SCADA capital projects is expected to exceed the approved Business Case funding, then a Business Case Change Request must be approved by the Steering Committee and submitted to Project Accounting. The undersigned acknowledge they have reviewed the Business Case Justification Narrative - SCADA -SOO and BuCC - 2020 and agree with the approach it Business Case Justification Nanative vl .0 Page 6 of 7 Stafi_PR_l 09 Attachment A Page 6 of 7 SCADA - SOO and BUCC presents. Significant changes to this will be coordinated with and approved by the u ndersig ned or thei r desi g nated representiatives. Signature: Print Name: Title: Role: Signature: Print Name: Title: Role: Signature: Print Name: Title: Role: // Craig N Figart Date: Dec 16,2020 Date: Dec 16,2020 Date: Template Version : 05 I 2812020 Manager of SCADA/EMS Business Case Owner %a./zn/ 4 Mike Magruder Energy Delivery Director, System Operations & Planning Business Case Sponsor Steering/Advisory Committee Review Business Case Justification Nanative vl .0 PageT o17 Staff_PR_1 09 Attachment A Page 7 of 7 JURISDICTION CASE NO: REQUESTER: TYPE: REQUEST NO.: AVISTA CORPORATION RESPONSE TO REQUEST FOR INFORMATION IDAHO DATE PREPARED: 0410612021 AVU-E-2I-01 / AVU-G-21-01 WITNESS: JeffSchlectIPUC RESPONDER: Jeff Schlect/CraigFigart Production Request DEPARTMENT: TransmissionStaff-109 TELEPHONE: (509) 495-4851 REQUEST: Regarding NERC CIP security regulatory obligations in JeffSchlect Direct Testimony, pages 3-5, please provide business case documentation or project selection analysis documents for all projects that were utilized and the requirements they satisfu. RESPONSE: Please see Staff PR_109 Attachment A - the Company's 2020 business case justification narrative covering supervisory control and data acquisition (SCADA) systems for the Company's System Operations Office (SOO) and Backup Control Center (BuCC). Referencing the third paragraph of the Executive Summary in this business case, the Company describes in general how systems for these two control centers ...provide the capabilities required to achieve compliance with numerous reliability standards and requiranents. For the electrical system these include the NERC standards BAL, COM, CIP, EOP, INT, PER, PRC, TOP, and VAR... The expenditure of these funds is necessary to operate Avista's electric and gas systems in a safe, reliable, and compliant manner. The Company has no individual project selection analysis documents since the Company must comply with each and every mandatory NERC CIP standard. The Company is providing a sunmary of the NERC CIP systems managed under this business case by vendor along with a reference to at least one of the associated mandatory NERC CIP standard requirements that the system fulfills: l) Alstom Grid - Operating system security update validation service NERC CIP-007 Table R2 - Security Patch Management This service is part of the "patch management process" required as part of NERC CIP-007-6 R2 that requires, for examplo, o'A patch management process for tracking, evaluating, and installing cyber security patches for applicable Cyber Assets..." GE provides this service for the security updates provided for the Company's main SCADA systern software. 2) Fortinet - Licensing and support for security updates to SCADA firewalls NERC CIP-007 R2 - Security Patch Management Fortinet provides security updates for the Company's System Operations control center firewalls that define the boundaries of the control center "Electronic Security Perimeters." This service is part of the "patch management process" required in compliance with NERC CIP-007-6 R2 that requires, for examplo, 'oA patch management process for tracking, evaluating, and installing cyber security patches for applicable Cyber Assets..." Page 1 of3 3) Tenable/Security Center - Licensing and support for Systern Operations control center wlnerability scanning syston NERC CIP-010-3 R3 - Vulnerability Assessments Tenable is a vulnerability scanner used to ensure that systems are fully patched and have no insecure configurations or passwords. This system enables the performance of vulnerability assessments as required by NERC CIP-010-3 R3 which states, for example, "Prior to adding a new applicable Cyber Asset to a production environment, perform an active vulnerability assessment of the new Cyber Asset..." 4) Tripwire - Monitoring system licensing and support NERC CIP-010-3 Rl and R2 - Configuration Change Management Tripwire provides system monitoring of Cyber Assets to determine if any unauthorized changes have taken place. This enables compliance with NERC CIP-010-3 Rl and R2 which states that entities must develop a o'baseline configuration" for each system or group of systerns and monitor for changes that deviate from that baseline. 5) Kaseya - Backup and recovery system licensing and support NERC CIP-009-6 - Cyber Security - Recovery Plans for BES Cyber Systems Kaseya provides a computer backup system that is part of meeting Requirement 1.3, which mandates "One or more processes for the backup and storage of information required to recover BES Cyber Systan functionality." 6) ManageEngine/Desktop Central - Security patch deployment system licensing and support NERC CIP-007-6 R2 - Security Patch Management Desktop Central is part of the "patch management process" in compliance with NERC CIP-007-6 R2 that requires, for example, "A patch management process for tracking, evaluating, and installing cyber security patches for applicable Cyber Assets..." Desktop Central provides for the deployment of security patches for applicable Cyber Assets. 7) ManageEngine/OpManager - Electronic Access Control and Monitoring software licensing and support NERC CIP-007-6 R4 - Security Event Monitoring OpManager is used to manage access control and monitoring of network devices. In compliance with NERC CIP-007-6 R4, Requirement 4.1, for example, the Company must "Log events at the BES Cyber System level (per BES Cyber Systern capability) or at the Cyber Asset level (per Cyber Asset capability) for identification of and after-the-fact investigations of, Cyber Security Incidents..." OpManager provides for the monitoring of activity on network devices to meet this requironent. 8) ManageEngine/Password Mgr Pro - Password management system licensing and support NERC CIP-007-6 R5 - System Access Control ManageEngine provides licensing and support for Password Manager Pro that enables the management of passwords within the control center. This system facilitates the Company's automated ability to meet Requirement R5 that requires password changes at least once every 15 calendar months. 9) Server Hardware Vendor - hardware and software maintenance on-site support agreement NERC CIP-007-6 Table R2 - Security Patch Management This service is part of the "patch management process" required in compliance with NERC CIP-007-6 R2 that requires, for example, "A patch management process for tracking, Page 2 of3 evaluating, and installing cyber security patches for applicable Cyber Assets..." This server hardware vendor provides hardware maintenance and software support for the Company's System Operations control center computer systems. l0) VanDyke SecureFX/VShell - Licensing and support for secure file transfer software NERC CIP-011-2 Table Rl - Information Protection NERC CIP-011-2 Rl requires "Procedure(s) for protecting and securely handling BES Cyber System Information, including storage, transit, and use." The NERC guidelines and technical basis for this requirement call out information protection as pertaining to both digital and hardcopy information. Secure file transfer software is required in the Company's SCADA control center environment to protect and secure any "BES Cyber System Information" that traverses the networks and boundaries within the control center. I l) Extended Legacy Operating System Support - security update subscription NERC CIP-007-6 Table R2 - Security Patch Managernent This service is part of the "patch management process" required in compliance with NERC CIP-007-6 R2 that requires, for examplo, "A patch management process for tracking, evaluating, and installing cyber security patches for applicable Cyber Assets..." Microsoft provides this extended support service for the security updates they supply for the Company's SCADA system operating system software. Page 3 of3 JURISDICTION CASE NO: REQUESTER: TYPE: REQUEST NO.: AVISTA CORPORATION RESPONSE TO REQUEST FOR TNFORMATTON IDAHO DATE PREPARED: 0410612021 AVU-E-21-01 / AW-G-21-01 WITNESS: JeffSchlectIPUC RESPONDER: JeffSchlect/Craig Figart Production Request DEPARTMENT: Transmission Staff-l l0 TELEPHONE: (509) 495-4851 REQUEST: Regarding NERC CIP security regulatory obligations in JeffSchlect Direct Testimony, pages 3-5, please describe how the projects and investments included in the NERC CIP hansmission expenses are different from other IS/IT business cases, to include NERC CIP Compliance enterprise security. RESPONSE: The projects and investments associated with the Company's "SCADA - SOO and BUCC" business case and included in its NERC CIP transmission expenses are separate and distinct from other IS/IT business cases because the Company's System Operations control center systems are distinct systems, separate from the Company's broader enterprise security systems. Unlike the Company's broader enterprise security systems under the IS/IT organization, except for its physical security systems, the Company's system operations systems must meet the full breadth of mandatory NERC CIP standards, including regular audit certifications under WECC oversight. The Company manages these critical information and conhol systems separately and distinctly from the Company's broader IS/IT security systerns. For example, the Company's supervisory confrol and data acquisition (SCADA) system, a critical systan necessary for the reliable operation of the Company's high-voltage transmission grid, must meet a wide array of NERC CIP standards, such as CIP-007 - System Security Management and CP-010 - Configuration Change Management and Vulnerability Assessments. While it is just as important for the Company's non-system operations systems (i.e. its customer information system) to be secure, these broader IS/IT enterprise systems do not fall under mandatory NERC CIP standards. AYISTA CORPORATION RESPONSE TO REQUEST FOR INFORMATION JURISDICTION: IDAHO DATE PREPARED: 0410712021 CASE NO: AW-E-21-01 / AW-G-21-01 WITNESS: J. Kensok / L. Andrews REQUESTER: IPUC RESPONDER: David PlutTYPE: Production Request DEPARTMENT: IS/IT REQUEST NO.: Staff-ll l TELEPHONE: (509) 495-7588 REQUEST: Regarding Elizabeth M. Andrews Workpapers - t) PF 3.04 ID ISIT Adj 2020, please describe the categoization of IS/IT costs and why they differentiate from enterprise technology identification. Please include a detailed list of costs associated with each system type. RESPONSE: For the detailed list of costs associated with each system type please refer to StaflPR_lll Attachment A - 1) PF 3.04 ID ISIT Adj 2020 w 2022. See tab "Original Submission Pivof' for a detailed list of the original submission data. As part of the response we have also provided 2020 actuals. See tab "ISIT - 2- Non-Labor Actual" which replaces 2020 pro-forma with 2020 actuals, see tab *2020 Update List Pivot" for the detailed list of costs with 2020 actuals associated with each system type. ln reference to the request "please describe the categoization of IS/IT costs and why they differentiate from enterprise technology identification", we interpret the request to be a question of why systerns names used in StaflPR_l11 Attachment A - 1) PF 3.04 ID ISIT Adj 2020 w 2022 tab "ISIT - 2 - Non-Labor" called "Central Systems, Communication Systems, Distributed Systems and Network Systems" as in the screenshot here: Svstems Communic€fii]ns Systems Disffih.iled Sysfierns l,letuvort Sy$erns Business Application Systems, are not present in the categories used to describe general functional areas of enterprise technology referenced in "Kensok Testimony ID 2021- ISIT testimony, page 31, Table No. 2 - Non-Labor lncremental System Expense (System) as in the screenshot here: TableNo.2-Non-Labor fncremental S Security Systems Enabling Technology Business & Operati ngApplicatl on tems The general functional area of technology we call "Enabling Technolory" as referenced in Table No. 2 above encompasses more granular areas of technology infrastructure we call 'oCentral Systons, Communication Systems, Distributed Systems and Network Systems." Here is a general description of each:o Cenhal Systems include expense associated with the Company's data centers, such as servers, storage, computer processing, and disaster recovery planning. Communications Systems include expense associated with the Company's enterprise voice communications, such as inbound and outbound calling, call centers, two-way radio crew communications, and cellular communications. Distributed Systems include expense associated with employee productivity tools, such as tablets, desktops, laptops, printers, and Microsoft Office products. Network Systems include expense associated with products, services, and leases that provide network and telecommunication solutions for the delivery of energy, safety systans, customer contact channels, and back office productivity. A more detailed and thorough description of the categories Enabling Technology, Business & Operating Application Systems and Security Systems can be found in 'oKensok Testimony ID 2021" ISIT testimony, page 5 line 3 through pageT line 9 which is copied here: a. How is Avista's technolory investments structured to support business processes? A. Avista's technology investments fall into two major areas: enabling technology and business and operating application systems. Additionally, we take an enterprise-wide approach to security and disaster recovery (resiliency) that envelopes our technology investment efforts to protect our people, our assets, and our facilities. Our business continuity/resiliency plan was tested this year during our COVID-19 pandemic response, exacerbated by windstorms and wildfires that resulted in wide-spread outages throughout our service territory. Our enabling technology (e.9., datalvoice networks, customer and electric/gas asset managernent databases) along with the business and operating applications such as our Website, SCADA applications, and Outage Management Systern performed very well. Specifically, enabling technology, consists of the technology infrastructure (such as data, endpoint compute and storage that includes hardware such as Personal Computers (PC) Laptops, Smartphones and Digital Storage. Enabling technology also includes operating systems, network transport connectivity which include devices like routers and switches. Additionally, enabling technology includes databases and data schemas, integrations, business intelligence tools, communication and collaboration platforms, etc. necessary to enable business capabilities through business application systems. It is the foundation on which we deliver energy safely and reliably, meet business objectives, and create value for our customers. Illustration No. I below shows the relationship between Enabling Technologies, I Business & Operating Application Systems and Enterprise Security and how those fit into the 2 difterent capital business cases discussed later in my testimony. a Illustration No. 1- Business Technolosv Structure: Enterprise Security [e-9. ,hyrrcal, Cyber, Bulmst Contnum . rnd &srit6 Rsmry) EnablingTechnologY -i"r,ffi ,"'"1$;*m,"*t'm;I:l' Business & Operating Application Systems Business and operating application systems are represented above as customer at the center (as discussed by Company witnesses Mr. Vermillion and Mr. Magalsky), shared business systems and energy resources enable business capabilities. Some of the capabilities within these areas include: providing customers with near real-time information on outages and estimated restoration times or automated bill-pay options, electric and natural gas service design in the field for prompt installation of new electric or natural gas service, storm damage assessment for quicker restoration efforts, fleet vehicle use and driving data to plan vehicle maintenance and increase driver safety, real-time vibration monitoring for large generators to optimize performance and avoid maintenance outages, track training courses for employees to meet compliance requirements, and many more. Business application systems enable business capabilities by automating business processes to optimize efficiencies and add functionality that cannot be duplicated manually at scale. Some examples of this include a three-dimensional imaging of system planning, geographic spatial positioning of assets in the field, near real-time information on system performance, or storage of volumes of compliance data to meet annual requirements from various agencies. Together, both platforms (enabling technology and business and operating application systems) work symbiotically to enable business capabilities. Enabling technology does not exist just to exist, just as business application and operating systems cannot exist without enabling technology. And just as importantly, neither of the two can co-exist without proper security to protect the information that is used to make business decisions and deliver energy to our customers. BusinessShared 5y1.,Iegalsy( ,RctoulctHrmm srr14ggul|lingFin& andBesourcegEnergY Ot,l.Be9C^DA.sYs.Asra MgnrtlcE.r l.ntlSnlnlGeDgraPh{s!a.MBrlil CertertheatCugtomergitlln6,I({r€customlr\ilcb.l€TcchlCenlrr(3ll516, Wildfire Resiliency Plan Business Case, April 2020 1 GENERAL INFORMATION Requested Spend Amount $268, 965, 00 O (2020 -2029) CAPX $ 59, 586, 000 (2020 -2029 OP X) Requesting Organization/Department Electric Operations Business Case Owner David Howell Business Case Sponsor Heather Rosentrater S ponsor Organ ization/Depailm ent Electric Operations Category Program Driver Custo mer Service Quality & Relidility 1.1 Steering Committee orAdvisory Group lnformation The effort to construc't a comprehensive Wildfirc Resilhncy Plan has been gukjed by steering commiftee mernbers: David Howell, Direc'tor, Elecfric Operations B ruce Howard, Sen ior D iredor, E nvi ronnental Affu i rs Elizabeth Andrews, Senbr Manager, Regulatory Affairs Greg Hesler, Vice Presiderl, Legal Bob Brandkamp, Senior RiskProgram Manager, Finarrce Alicia Gibbs, Manager, Asset Maintenance Casey Fiel d, M anager, Corporate Com mu nications Annie Ganno n, Manag€r, Corporate Com munications 2 BUSINESS PROBLEM Avista has a long hisbryof responding to adverse environmental conditions including wildfire events. Since 1 970, the frcquency and sire of wildf ires has increased throughout the Western UniEd States and is related to a warmirg climate, persistrent drought, and forest health conditions. At the same time, more and more people are choosing to live near forested areas orthe Wildland- Urban lnterface (WUl). This combination of more frequent ard largerf ires combined with an increasing population, has resulted in wildfire becoming a more significant business risktM needs to be mitigated. Number of llrcs larger tha 1.000 acrer per year oo U.S. Forest Servlce land Large Wildfires lncreasing Across the West 8il 20r ts to 60 0 E'O Staff_PR_1 1 2 Attachment A Business Case Justfi cation 2m Rev: March 26,2021 Page 1 of16 Page 1 of16 Wildfire Resiliency Plan Busrness Casq April 2020 ln 2017, a record number of wildfires burned across Washington State with the Department of Natural Resources (DNR) responding to over 1,850 individual fires. ln 2018, the Crescent Mountdn Fire near Twisp, Washington, cost more than $40 million to srppress. DNR recently announced a plan to raise $63 million in annual revenues to improve forest health and combatwildfires. To reduce operating risk electric utilities are developing wildfire mitigation plans with emphasis in three key areas: '1. Risk-Based Vegetation Management-to align vegetation strategieswith riskassessments and s up pl emert traditional, cycle-based vegetatbn m ai ntenance. 2. lnfrastructure Hardening - to upgrade and proted infrastructure and prevent spark-ignition events (e. g. eq uipment failure). 3. Emergency Response and Monitoring Systems - to transition from reliability peformance paradigms to risk-infsmed planning and operating structures. Emerging systems include d igital data inspections (LIDAR & photogramrnetry), artificial intelligence fire behavior systems, and system protection. ln April of 2019, a Wildfire Resiliency Plan charter was published describing three plan objectives: Emergency Operatims Readiness -to train, prepare, and posture Avista personnel and fire agency partrers to respmd to the threat of wildfire. Public Safety -to conduct community oufeach and promote fire adapted communities. To partnerwith fire protection agencies including the ldaho Department of Lands and the Washirgton Department of Natural Resoures. T&D Asset Gondition Programs - to reduce the likelihood of spark-ignitbn events related to T&D operatbns by replairg agirg inf rastructure in fire prore areas. Rev: March 26,2021 Page 2 of16 Stafi_PR_1 1 2 Attachment A Business Case Juslifi cation Page 2 of 16 Wildfire Resiliency Plan Busrness Case, April 2020 This business case reflects proposed actiors associated with T&D opaations, asset replaement programs, and engineering design & construdion. Though business cases are generally related to capital investmenb, thb business case includes cost projections for both capital investmenb and operating expense to reflect the scope of the program. Rather than assign components of Wildfire Resiliency to exbting projects and programs, the Wildfire Steering Committee recommerds a holistic approach, treatirg Wildfire Resiliency as an unified system rather than discrete comporents. Transmission - thotgh the likdihood of fhe ignition is relatively low, the impacts associated with transmission involved wildfires can be significant. Between 2014 and 2018 the electric transmission system experienced 625 sustdned outages. The vast majority of fansmission outages were related to winter storms and summer lightnirg activity. Transmission line faufts resrJt in approximately 3-5 ground fires peryear. Distribution - between 2014 and 2018 there were 6,200 unplamed outiages per year resulting in approximatelyl00spark-ignitioneventsandanoher90polefires. lngeneral,thedisfibution system is 50 times more likely than transmission to produce a spark-induced fire. .ProbaHy of spark ignition is low (3-5 times per year) oTra ns miss'ron related wi ldfires tend to be remote a nd I a rger (e.g. na ti onal forest) butfa ll outside Wildland Urban lnterface a reas. rDi rect i mpact to i nfrastructure i s Moderate to Hi gh .Low Proba bility x Moderate-High lmpact = Low-Moderate Risk Exposure Tra nsmission Risk .Probatility of spark ignitim is Moderateto High (- 100 per year,90 confi rmed pole fi res) .The liabilityexposure of a utility induced fire can ra qge from millions to billiorsofdollars. DistributionrelatedwildfirestendtofallirsideWUlareas. .Di rect i mpact to i nfrastrucure is Low to Moderate o(High Probability)x (Moderate-High lmpact)= High Risk Exposure Distribution Risk Rev: March 26,2021 Page 3 of16 Stafi_PR_1 12 Attachment A Business Case J uslifi cation Page 3 of 16 Wildfire Resiliency Plan Busfness Case, April 2020 2.1 BUILDING A RISK.BASED WILDFIRE STRATEGY The Wildfire RiskAnalvsis Summarv identifies the inherent risk (curent state) and mitigated risk (future state) associated with Plan elements. Risk is defined as the probability or likelil"pod of an event combined with the impact or @nsequence of that event. To illustrate, considerthe inherentriskof a house fire. ln 2010, there were 362,100 residenthl house firesoutof ll4million U.S. householdsresultinginaneffectiverateof 0.317%o. 1n2010, insurance claimstotaled $6.65 bill'an or $18,365 per unit. The annual risk oostassociated with a single home is: 2010 U.S. Home Fire Risk = ProbabilityX Consequene = 0.317%oX $18,365= $58.22. As noted, the risk of transmission sourced wildfie is relatively low, though the impact to transmission infrastructure can be significant. Transmissbn lines are vulnerable to wildfkes with many of them routed through forested areas and away from cities and roadways. ln 2019, the Walla Walla-Wanapum 230 kV line was impacted by wildfire on two separate omasions, resulting in costs exceeding two-million dollars. The inherent risk of wildfire is much more than the cost to replace damaged infrasfucture. Unlike other storm events, the carce and origin of a wildfire can result in civil and criminal liability. To quantif y these risks, a series of wildfire workshops were convened in May-June of 2019. Six workshops were held to identify the design, operational, and maintenance related risks associated with transmission and disfibution facilities. The workshops were f acilitated by the Business Process lmprovencnt group (Bryan Powers, Cetena Mock)with guiJance from Avists's risk management expert Bob Brandkamp. The groups identified over one hundred and sixty potential mitigatirg strategies and approximately thirty of those elements have been promoted intc Avista's Wildf ire Resiliency Plan (draft document pending BOD/exeative approval, May 2020). lncluded in the Wildfire Resiliency Plan are estimates of the inherent risk (current state), together with projections of the mitigated risk (future state), and capital & operating costs. Values shown in the table indicate monetized risks and costsfrom 20201o2029. lnherent Risk or Gurrent State ($) Mitigated Risk or Future State ($) Cost Estimate ($) BenefiUCost 8.058 18.24B, l l 29B.2.M2 49 5 i I I i : I 59,586,000 2020-2029 Wildfire Resiliency Optimistic Pessimistic Capital Investment Operating Expense Staff PR 112 Attachment A 23 Busi ness Case J uslification 268,965,000 Page 4 of 16 Rev: March 26,2021 Page 4 of16 Wildfire Resiliency Plan Business Case, April 2020 The Wildf ire Resiliency Plan costforecasts are shown below. Avista Wildfire Resiliency Plan Cost Forecast ElCapital EOperating l I 2027 2022 2023 2024 202s 2026 2027 2028 2029 s16,98s s27,0ss s31,38o s31,380 s31,380 s31,380 s31,380 $31,380 s31,380 ss,1s4 s6,800 s7,31e 57,337 s6,7ss Se,sza 56,042 ss,611 5s,079 S3s,om 530,om S 2s,ooo 3 s20,ooo oo 515,000 sm,0m 5s,o0o 5o E capital EOperating In 2020 ss,26s 52,e66 ln total, the c4ital investmentforthe 10-year perird from 202G2029 is $268,965,000 with a co nes p ond ing o perati ng expense of $59, 586, 0@. 3 PROPOSALAND RECOMMENDEDSOLUTION The Wildf ire Steering Commitee supports the following twenty eighty plan elemenb to mitpate the riskofwildfire. lnordertodbtingubhtransmissionanddistributionelements,anumberingscheme was developed. For instance ST-12 is transmission grid hardening which involves convertirg wood poles to steel in elevated fire risk areas. Similarly, D-l6/17 is grid hardening for the distributbn slatem and involves replacing wood crossarms, removirB small copperwire, and converting critical structures from wood to steel. Rev: March 26,2021 Page 5 of '16 Stafi PR l12AttachmentA Business Case Justfi catbn Page 5 of 16 Wildfire Resiliency Plan Business Case, April 2020 Wildf ire Plan elemenb are grouped into four categories: a Grid Hardening and Dry Land Mode Enhanced Vegetation Management a SituationalAwareness a Operations and Emergency Response 3.1 GRID HARDENING AND DRY LAI\D MODE Grid hardening makes infrasfirchrre less likely to ignite a f ire and more resilient to he impact from fire. T&D g rid hard ening from 2020 thro ugh 2029 represenb a $246 million dollar investment. The Wildland Urban lnterface map (see inset) indicates the risk of wildfire associated withAvbh'sT&D system. Areas shown in orange and red highlQht are the mo st f ire prone and represe nt 40o/o of Avisf a's distribution and 20o/o of the transmbsion system. Transmission - ln 2006, Avista fully inorporated 'steel poles'into despn standards. This decision f ollowed the 2005{6 fire seasons in which the Bentorr Othello I ine was s ignificanty fire d amaged. Although Avista has mde stedy progress toaards conversion, most circuits are predominartly comprised of wood poles. The strategy to protect transmission sfuctures from wildfire is two{old: Fire Reistant Mesh Wrap on wood poles located in grassland areas Conversion from wood poles to steel in heavilyforested areas a lntrrfrcr l o a a rlt -ia^, d1 I /' -a ? , j'l;i' | "" ..'f. ;tF-o. i a ,r.a f ,1d a os \I*t ao' aI oG)Itjr { 3 Stafi_PR_1 12 Attachment A Business Case Justfi cationRev: March 26,2021 Page 6 of '16 Page 6 of 16 Wildfire Resiliency Plan Busrness Case, April 2020 ln grassland areas such as the Big Bend area, low intensity grass f ires are common and can have sigrificant impactto unprotected wood poles. ln 2019, two separate fires impaded the Walla Walla-Wanapum 230 kV line. Wood poles had been treated with Osmose fire retardant paint and thoughfire bumed through 17 miles of line, only4 sfuctures were desfoyed byfire. However, collateral damage caused by dowred structJres impacted another 21 structures. ln total, 25 strucfures were replaoed at a cost of over 2 million dollars. Fire retardant paint provkles good protection but requires re-application every 3-5 years. Transmission engineering plans to substitute FR pole painting with a Fire-Mesh product by Genics Corpordion. This will be a more permanent solution. ln March of 2020, Iransmission Enginering conductd a fied ted of the Genic's Fire-Mesh product. Wad poles ttrcre subjected to 30 minutes of continual fire exposure with only minor damage. The product is a slee/ screen coated wih a graphite material that chemically reactswhen expo*d to high ternperature. The mateial expands andessntially sealsthe pole. Though Fire-Mesh is an exciting new produd, its useis limited to grassland areas and is not generally suitablefortraditional f orest fires. ln these areas, wood poles will be converted to steel in order to protect against crown type fires. As slrcun on the previous p4e, AvisE infrastrudure is most at risk in the Colville and ldaho Panhandle forestareas. This represenb areas with high concenfations of fueland moderate residential development. lt is these areas where transmission grid hardening efforts will convert wood poles to steel. Transmission Steel Pole near Ninth & Central Substation Rev: March 26,2021 Page 7 of16 Staff PR 112 Attachment A Business Case J uslification Page 7 of 16 Wildfire Resiliency Plan Business Case, April 2020 Distribution - From 2014lo 2018, there were over 460 poles fires with 270 of those fires ocarning betweenMayandSeptember(fireseason). Additionally,therewere3,225equipmentfailuresand2,STS animal related events during that S-year tine span. Each of these events represenb a potential spark- ignition source 4gl related to external forces such as wind, weather, or lighhing. D istribution grid hardening efforts will focr.rs in the elevated fire risk areas (WUl Tier 213) and include: Replace all wood crossarms with fiberglass (the primary source of pole fires) Replace small copperwire with aluminum (obsolete material) Gonvert open wire secondary districts to covered wirc seryices lnstall wildlife guards Convertwood poles to steel at'high value' structres (heavily guyed poles, equipment poles) a a a a a Since the early 2000s, Avish has deployed a summeroperating strategy known as Dry Land Mode (DLM). During Dry Land Mode, a portion of the distribution system is operated with auto reclosing disabled. This limib he energy transmitted to a circult fauft location and thereby, reduces the likelihood of starting a f ie. As part of Wildf ire Resiliency, DLM will be modemized and include the installation of additional circuit reclosers. By stategically locating circuit reclosers at WiHland lnterface bourdaries, protection of fire prone areas can be adapted to match conditbns on the ground. This is a significant improvement over the cunent configuratbn. A diagram is included to illushate the process. DRY LAND MODE (Current and Proposed Future State) 162of345 Distdbution . Orcuib in DLM program determlned by Arca Engineers Distribution Forced Outages (2014-2018) Annual Rate OH Equipment - 645 Tree-387 Animal - 557 Pole Fire - 92 All Weather -2,424 System Total- 6,157 DLM Persistr in single mode throughout fire season (typ'rcalV late July to early October) Historically, DLM declaration atthe discretion ofthe Chief System Operator DLM 86.. Fuse Bhi/ing sdranrq Non Rcclosint (samc as cungrt , prognm) Dt"tl Y.llow - Two lnstiltaneo6 trlps vr,lth slnde reclose Dl"ill R.d- Hot lJnc Hdd (slrEle lntantaneous tlip) DIM declaration based from USFS F ire Threat Conditions (implemented June 2019) ,Current State lnclusion based on Wildland Urban lnGrface Map Tler 2-3 YES Tler l Maybe Non-WUl NO Future State Rev: March 26,2021 Page 8 of16 Staff_PR_l 12 Attachment A Business Case Justifi cation Page 8 of 16 Wildfire Resiliency Plan Busrness Gase, April 2020 A summary of T&D grid hardening progmms is shown below: The associated monetized risks and costs are sumrnarized below lnherent Risk or Current State ($) r'aiiigrt"o nisi or Future State ($) GostEstimate($) BenefiUcost 1.388 0.228 3.37B 0.918 13.1 245,600,000 4,0005,01 5.4 Wldfirc T&D Grid Hardening ST.6 TransmissionWood Pole FR Fire Mesh Wrapping Program To protectthe ground lineareaof transmission wood poles subjectto grass fires. Genics Fire-Mesh orod uct to reolace fi re retardanl oaint. ST-10 Transmissio n Fire lnspectio n Additional inspection and follow-up activities of transmission lines located in elevated firethreat areas. s-12 Transmission Grid Hard ening Converting wood poles to steel in elevated fire threat areas- D-6 DLM'eng i neeri ng review/study' Repo rt and reco mmend atio nsfro m DLM subcommittee to align DLMwith WUI map and provide for dynamic alig nmentof DLM with o revailino fi re-weather co nditio ns D-8 DLM trigger' Using USFS fire threat cond itionsto declare the base level DLM program (implemented in June 2019) D-13 DLM mid line circuit reclosers lnstallation of new circuit reclosers near boundary location of WulTiers 2lSfrom Non WlJl areas- D-16 WA Distribution Grid Hardening WA co mponent of work to replace wood crossarms, smal I co pper wire, and to i nstall wild I ife g uard s i n WtIl Tier areas 2 and 3 /elevaterl fire th real) o-17 lD Distribution Grid Hardening Same as above. ldaho portion 2020-2029 T&D Grid Hardening Optimistic Pessimistic Capital lnvestment Operating Expense Rev: March 26,2021 Page 9 of16 Stafi PR ll2AtlachmentA Business Case Juslification Page 9 of 16 Wildfire Resiliency Plan Business Case, April 2020 The 10-year cost forecast for grid hardening capital investment and operating expense is indicated below. Grid Hardening & Dry Land Mode Operations Plan Cost Forecast ECapital EOperating oO 3s,000 30,000 2 5,000 20,000 15,000 10,000 5,000 0 El Capital Eoperating n_ 202L r5,200 461 -7025 2 8,800 501 2020 4, 500 455 2022 24,300 411 i 6.248 2023 2 8,8 0C) 481. 2024 2 8,800 49.1 12.92B -2026 2 8,8 00 561 -2027 2 8,800 521 -2028 2029 28,800 28,800 3.2 ENHANCEDVEGETATION MANAGEMENT Trees contact Avista powerlines approximately 400 tincs per year and represent a significant risk of fire ignition. The objective of enhanoed vegetation managernent is to transitbn from solely reliability-based to risk-based methods, especially in the elevated fire threat areas. Though primarily an operating expense category, Avista does plan to widen transmission rightsof-ways in fire prone areas which would include capihl ouflays. The 10-year risk and cost evaluatbns are shown below. 531 541 5,100,000 51,175,000 lnherent Risk or Gurrent State ($) '-1 I Mitigated Risk or Future State ($) Cost Estimate ($) BenefiUCost 412M 1.87B 19604I I 2020-2029 Enhanced Vegetation Management Capital lnvestment Operating Expense Optimistic Pessimistic Rev: March 26,2021 Page 10 of 16 Staff_PR_l 12 Attachment A Business Case Juslifi cation Page '10 of 16 Wildfire Resiliency Plan Business Gase, April 2020 lndividual plan elements include: ST-5 and D-l4 Digital Data Collection - to conduct aerial and ground based LIDAR surveys togetherwith high resolution photography, and infrared imaging. Machineleaming algorithms will be used to idertify threats from vegetation both from a proximity (grow-in) and tree health (fall-in) perspective and used to identify sfucture defects such as fracfured crossarms, damaged insulators, and leaky transformers. ST-7 Fuel Reduc'tion Pailnerships - tree thinnirg and presoibed burns conducted in conjunction with local fire and state agercy partners. ST-9 Transmissim Right-of-Way - to widen conidors in elevated fire risk areas. D.4 Vegetation Management in GPG Designs - to incorporate initial vegetation clearing in d istributbn d esign packages. D-l0 Distribution Risk Tre - to conduct annual risk tree assessment on the d istibution system. Cunently, risk tree work is performed every 5 years. D-l1 Public Outreach 'Right Tree-Right Place' - to work with custrcmers in elevated fire risk areas to remove tall growing trees undemeah powerlines and replace them with line-compatible species. As noted, the bulkof this effort involves operating expense elements, however, widenirg transmission conidors and incorporating initialvegetatbn clearing into distibutbn designs are capitalprojects. Anannualcaoitalinvestmentof$5l0.000isforecasilfrom2020to2029fora totalof $5.100.000. Enha nced Vegetation M a nagement Plan Cost Forecast ElCapital EOperating OOc@ 7,000 6,000 5,000 4,00t) 3,000 2,m0 1,000 0 El Capi tal El Ope r ati ng ,ll 2 07t) 510 2,27 5 n 2A) 1 510 4,400 n 2023 5i0 6,500 l/l)) 5i0 6,000 2024 510 6,500 2026 510 5,6tJ0 )o),1 5i0 5,150 n 2028 510 4 700 )02 9 510 4 150 n n 2025 510 5 ,900 Rev: March 26,2021 Page 11 of 16 Staff PR ll2AttachmentA Business Case Juslifi cation Page 11 of 16 Wildfire Resiliency Plan Busfness Case, April 2020 3.3 SITUATIONALAWARENESS This category includes constructing a fire-weather dashboard to combine short term weather forecast elements such as tempeature, wind speed, and relative humklity with longer term fire threat conditions such as drouglt and forest health metrics. lt includes substatbn and distribution line communication elements to allow monitorirB and control of equipment in f ire prone areas. The associated monetized risks and costs are summarized below lnherent Risk or Gurrent State ($) Mitigated Risk or Future State ($) GostEstimate($) BenefiUCost 8 31 lndividual plan elements include: ST-2 Fire-Weather Dashboard - to develop a f ire risk displayfor transmbsion and distribution operatirB stdf. This supports alignment of field tactics with prevailirB fire conditions. D-I2 Midline Recloser Communication -to retrofit modem d istri butbn circuit rcdosers wih communication equi pment. This is part of an overall strategy to enhance Avistas Dry Land Mode system (see inset). D-I5 100% Substation SGADA-to extend substatbn monitoring and control capabilities into rural, f[.e prone areas such as Colvlle, Kellogg, and Grangwille. The 1O-year cost forecast is shown on the subsequent p4e. The bulk of the investment relates to adding substation SCADA equipment. Av ista cunently operated thrty-three substation without SCADA. When f ire crews respond to an incident, they often requestthat powerlines be de-energlzed. Without SCADAcontrol, line personnel must be dispatched to perform switching which is not onlytime consuming butalso exposes Avbta personnelto fire sdety hazards. Dry Land Mode Since the earll 2000's, Avista has reconliguretl a portion of the distribution system to operate as'lton-reclosing' during fire seasolt. In addition, a stancling order (SOP) requires that all transmission line. be patrolled ;rrior lo re- energization. The Wildlire Plarr calls 1'or a rer,'iew of this pruceduui:. Elements iclentit'ied in Situational Arvareness gr()up supporl this e flir rt. 151M 585M 7M5M 17,965,000 1,019,000 2020-2029 Situational Awareness Optimistic Pessimistic Capital lnvestment Operating Expense Rev: March 26,2021 Page 12 of 16 Staff_PR_l 1 2 Attachment A Business Case J uslification Page 12 of 16 Wildfire Resiliency Plan Busrness Case, April 2020 SituationalAwareness Plan Cost Forecast ECapital Eloperating ooo 2,500 2,000 1,500 1,000 500 0 [: 2020 220 2 202r 1,190 57 2022 2,735 97 2023 2,060 99 7024 2,MO t07 2025 2,060 116 2426 2,060 724 2021 2,060 133 2028 2,060 147 2029 2,060 749 E Capital E ope rating 3.4 OPERATIONS AI\ID EMERGENCY RESPONSE Though the invesfnents in this grouping are relatively low, the risk reductbn is s(;nifbant with efforts focused on partnering with fie professionab, sdety training, condition-based risk assessment, and co llecti ng paformance metics. The assocbted risks and costs are summarized below. 269M 73M GostEstimate($)2,378,000 BenefiUCost 73 390 lnherent Risk or Current State ($) Mitigated Risk or Future State ($) 1.368 319M 300,000 2020-2029 Operations & Emergency Response Capital lnvestment Operating Expense Optimistic Pessimistic Staff_PR_1 1 2 Attachment A Business Case Juslifi catbnRev: March 26,2021 Page 13 of 16 Page 13 of 16 Wildfire Resiliencv Plan Business Ca se, April 2020 lndividual Plan Element include: Operations and mergency The 10-year cost forecast for c4ital investment and operating expense is ind bated below Operations & Emergency Response Eialrital ElOperating EOP & FirelCS Representation Transmission Design Reviewof Major Events Wi ldfi re Perfo rmance Metrics Emerg ency Respo nd er Train in g Expedited Fire Response Fuse Coord ination Study Recloser Event Reporting Fire lg n ition Tracking System Fire Sup p ressio n \uetti n g' agent WUI layer in GIS Arcos Wildfi re Notifi cation To i n co rporale wild fi re resil iency p lanning i nto Avista's EOP documentation. To commitAvista resources at Fire lncid ent Co mmand. After a major event, allowa 24-48 hourengineering assessment p rio r to reco nstructio n. To establish leading and lagging indicators associated with wildfire resiliency (e.9. fire ignition events, # red flag days, tree fall-in, etc.) To p rovid e an n ual fi re safety and electrical h azard trai n i n g fo r Avista I i n e p erso nnel and fi refig hti ng personnel, respectively. Partner wilh fire agencies to investigatethefire potential fo llowing transmbsbn linefault events. To conductannual distributionfuse system analysis en suri n g p ro per d own stream co o rdi nation between circuit reclosers and fuses. To analyze all d istri butio n circuit recloser events simi lar to what currently o ccurs fo r transmissio n circuit breakers. To develop afield tracking systemto identify spark- ignition events related to T&D operations Chemical add itives such as'cold fi re' can be used to extend the effectiveness ofwater as a fire inhibitor. To maintain Avista's wildland urban interface (WUl) dataset within theAFM/GlS system To maintain an ARCOS notification systemin the event of a wildfire. rr I'*t -l l.I ) .'![.r ,r[\ r l5t i l(u t:tl t1 [[*rI r(),,6 r'1tj lllt alritai EI(:l,cratirig .)ll? -j .! I t)., 1 lli , (),r ., i I r, .r j'l I0] I 1(l .r 1,,: 2 (i,1 4 1( j i tli i (r 2 )t) 1(t )t ,,') .'(\,/ i l(t .'-'t: .)(i, ?, 1(, l -:,i 2 ().1 !l i{l i i(! sT-4 sT-8 sT-l1 D-3 D-5 D-9 Rev: March 26,2021 Page 14 of '16 Stafi_PR_1 1 2 Attachment A Business Case J uslifi cation Page 14 of 16 Wildfire Resiliency Plan Business Case, April 2020 Summary The eff ort to mitigate the impact of wildfires is a top-tier risk for Avbh and for utilities throughout the westem United States. The cumulative impac'ts associated with declining forest health and increasing populations have combined to make wildfhe a significant threat to communities and our economy. Avista's approah to nitpating his risk includes engagement wih key shkeholders includirg fire agency professionals, building on Avista's 130 year history, and adheren@ to cost prudency standards. The Wildf ire Resiliency prognam reflects a year-long effort to identify opportunities to reducefire risk. Ttis effort is described in four doaments: March 2019-Wildfire Resiliercy Plan Charter Septem ber 201 I - Wi ! dfi re Ri sk Analysi s Sumrn*y (proposed acti ms) January 2020 - Wi ldfi re Resi I iercy Gost Forecast Apri I 2020 - Wi ldfi re Resi I iency Plan (drffi pendi ng acceptance) These documenb are available from the Wildfire Resilieney Plan Manager Arilrr t,lilaues It'rldirr Rrsk Anrlr sr\ :uilrrLr11 l\ t)t ,), 1 \ t', n' \ irl; rJrl),'r lirl , ""1ltti; , ,.*'affiliN ,r!rig6il '' --rE Rev: March 26,2021 Page 15 of 16 Staff PR l12AttadmentA Business Case Justifi cation Page 15 of 16 Wildfire Resiliency Plan Business Case, April 2020 4 APPROVAL AND AUTHORIZATION The undersigned acknowledge they have reviewed the Wildfire Resiliency Plan business case and agree with the approach it presents. Significant changes to this will be coordinated with and approved by the undersigned or their designated representiatives. Signature: Print Name Title: Role: Signature: Print Name: Title: Role: Signature Print Name: Title: Role: David Howell D irecto r, Electric Operations Date Date: Date: Business Case Owner Heather Rosentrater Sr. VP, Energy Delivery and Shared Services Business Case Sponsor Alicia Gibbs, Greg Hesler, Bob Brand kamp, Bruce Howard, Liz Andrews, David Howell, Casey Field, Annie Gannon vanous Steering/Advisory Committee Review 5 VERSION HISTORY Template Version: 03107 12017 Version lmplemented By Revision Date Approved By Approval Date Rmon 1.0 David James 3/30/20 lnitial Submissbn Rev: March 26,2021 Page 16 of 16 Stafi_PR_1 1 2 Attachmenl A Business Case J ustfi cation Page 16 of 16 ruRISDICTION CASE NO: REQUESTER: TYPE: REQUEST NO.: AVISTA CORPORATION RESPONSE TO REQUEST FOR INFORMATION IDAHO DATE PREPARED: 0410212021 AW-E-21-01 / AW-c-21-01 WITNESS: David JamesIPUC RESPONDER: David James Production Request DEPARTMENT: Wildfire ResiliencyIPUC-112 TELEPHONE: (s09) 49s-418s REQUEST: Regarding the Wildfire Resiliency Plan in Heather L. Rosentrater Direct Testimony, pages 19-20, please provide all business case documentation or project selection analysis documents for all projects that are in the Wildfire Resiliency Plan. Please describe how wildfire resiliency project costs are differentiated from other project costs. RESPONSE: Please see Staff PR_l12 Attachment A for the Wildfire Resiliency Plan Business Case previously provided with Company witress Mr. Howell testimony Exhibit 12. Exhibit 12 included all Wildfire Resiliency Plan supporting documents. Wildfire Resiliency Project costs have been assigned their own Master Activity Code (MAC) for O&M expenditures and Expenditure Request (ER) number for Capital expenditures, so all Wildfire costs roll up to these categories. Most costs are charged directly to each appropriate state via an organization number e,mbedded into the project number. JURISDICTION: CASE NO: REQUESTER: TYPE: REQUEST NO.: AVISTA CORPORATION RESPONSE TO REQUEST FOR INFORMATION IDAHO DATE PREPARED AVU-E.2I.01 / AW-G.2I-01 WITNESS:IPUC RESPONDER: Production Request DEPARTMENT:Staft-114 TELEPHONE: 041021202t Clint Kalich Annette Brandon Power Supply (s09) 49s-4324 REQUEST: Please provide workpapers that derive the following2019 actuals and the pro forma net power costs from Mr. Kalich's Exhibit 9. Item 2019 Actuals (Thousand Dollars) Pro Forma (Thousand Dollars) Chelan PUD 15,277 14,680 Douglas PUD 2,629 3,615 Grant PUD 9,438 11,273 Lancaster PPA 28,141 28,467 Lancaster Combined Cycle Combustion Turbine 27,247 29,254 BPA Point-to-Point for Colstrip, Coyote Springs 2 & Lancaster 12,322 14,350 WNP-3 under Account 555 7,911 WA WNP3 - reconciling items (not in ERM/PCA) 88 WNP-3 under Account 565 472 RESPONSE: Please see Avista's response ll4c, which contains TRADE SECRET, PROPRIETARY or CONFIDENTIAL information and exempt from public view and is separately filed under IDAPA 31.01.01, Rule 067 and233, and Section 9-340D, Idaho Code. Please see the table below for the information requested. Please note the final three items in the table below were for reconciliation pumoses only to the general ledger (system numbers) and are not included in the Idaho Authorized Power Supply Adjustment. Item 2019 Actuals (fhousand Dollars) Pro Forma (fhousand Dollars) Chelan PUD Staff PR 114 Attachment A Kalich Workpapers - Conf Aurora Portfolio Output Douglas PUD Staff PR I 14 Attachment A Kalich Workpapers - Conf Aurora Portfolio Output Grant PUD Staff PR 114 Attachment A Kalich Workpapers - Conf Aurora Portfolio Output Lancaster PPA Staff PR 114 Attachment A Kalich Workpapers - Conf Aurora Portfolio Output Lancaster Combined Cycle Combustion Turbine Staff PR 114 Attachment C Kalich Workpapers - Conf Fuel Costs BPA Point-to-Point for Colstrip, Coyote Springs 2 & Lancaster Staff PR 114 Attachment B BPA Borderline - proforma uses 5 year average WNP-3 underAccount 555 Staff PR 114 Attachment A Washington Only WA WNP3 - reconciling items (not in ERMIPCA) This item was mislabeled and should represent Solar Select StaflR_l 1 4C Confi dential Attachment D Washington Only WNP-3 under Account 565 Staff PR 114 Attachment B Washington Only AVISTA CORPORATION RESPONSE TO REQUEST FOR INFORMATION ruRISDICTION: IDAHO DATE PREPARED CASE NO: AW-E-21-01 / AW-G-21-01 WITNESS: REQUESTER: IPUC RESPONDER:TYPE: Production Request DEPARTMENT: REQUEST NO.: Staffi115 TELEPHONE: 04/02t2021 Clint Kalich Annette Brandon Power Supply (s0e) 49s-4324 REQTJEST: Please provide a copy of each of the following confracts: a. Chelan PUD contract b. Douglas PUD contract c. Grant PUD contract d. The Lancaster PPA RBSPONSE: Please see Avista's response 115C, which contains TRADE SECRET, PROPRIETARY or CONFIDENTIAL information and exempt from public view and is separately filed under IDAPA 31.01.01, Rule 067 and 233, ard Section 9-340D, Idaho Code. Please see the following attachments: e. Chelan PUD contract- Staff PR I 15C Confidential Attachment A f. Douglas PUD contract - Sta[PR_l15C Confidential Attachment B and Staff PR I l5C Confidential Attachment C g. Grant PUD confract- Sta{_PR_l15C Confidential Attachment D h. The Lancaster PPA - Staff PR I l5C Confidential Attachment E