HomeMy WebLinkAbout20080902_2345.pdfDECISION MEMORANDUM
TO:COMMISSIONER REDFORD
CO MMISSI 0 NER SMITH
COMMISSIONER KEMPTON
COMMISSION SECRETARY
COMMISSION STAFF
LEGAL
FROM:NEIL PRICE
DEPUTY ATTORNEY GENERAL
DATE:AUGUST 29, 2008
SUBJECT:IDAHO POWER'S APPLICATION FOR A CERTIFICATE OF PUBLIC
CONVENIENCE AND NECESSITY AUTHORIZING THE
INSTALLATION OF AMI TECHNOLOGY THROUGHOUT ITS
SERVICE TERRITORY; CASE NO. IPC-08-
On August 5, 2008, Idaho Power Company ("Idaho Power" or "Company
submitted an Application for a Certificate of Public Convenience and Necessity ("CPCN"
pursuant to Idaho Code 89 61-502A, 61-503, 61-525 , 61-526, RP 052, and RP 112
, "
to install
Advanced Metering Infrastructure ("AMI") technology throughout its service territory, granting
authorization to accelerate the depreciation of the existing metering infrastructure, and including
the corresponding operation and maintenance benefits as they occur.Application at 1. The
Company requested that its Application be processed through Modified Procedure. IDAP A
31.01.01.201-.204.
THE APPLICATION
Idaho Power s CPCN Application states that the Company plans to implement AMI
technology throughout its service territory over a three-year period commencing in 2009. See
Application at 5. The Company will utilize a phased implementation approach of the AMI
technology, beginning with its Capital Region (including the Boise, Kuna, Meridian, Eagle
communities) in 2009 , Canyon and Payette Regions (including the Nampa, Caldwell , Payette
and Ontario communities) in 2010 and its Southern and Eastern Regions (including the Twin
Falls, Hailey, Jerome, Pocatello and Salmon communities) in 2011. Id. Installation of the new
meters will generally progress along established meter reading routes until completion. Id.
DECISION MEMORANDUM
As support for its Application, Idaho Power cites numerous Commission Orders
instructing the Company to implement AMI "as soon as possible." Order No. 29196 at 10; see
also Order Nos. 28894, 29026, 29362 and 30102. The Company believes that AMI offers
numerous long-term benefits to its customers. Idaho Power points to the obvious advantages of
reduced operational costs associated with meter reading, as well as future anticipated benefits
referenced by the Commission in a prior Order discussing the issue:
AMR would improve meter reading accuracy, eliminate the need for Idaho
Power to gain access to customer property for monthly meter reads, and allow
Idaho Power to develop new services in the future. An AMR system would
improve outage monitoring, theft detection, and employee safety. AMR'
capacity for remote connects and disconnects would also save customer time
and employee labor. From a billing perspective, AMR would result in fewer
estimated bills, less rebilling, flexible billing schedules, account aggregating,
and flexible rate designs.
Order No. 29196 at 10. Idaho Power adds that the AMI technology it has selected is "fully
capable of enabling the various other functionalities anticipated by the Commission, and
mentioned above, as well as other 'smart-grid' operations into the future.Application at 6.
Customers will begin to see better outage management capabilities immediately but the full
benefits associated with hourly data collection will require some additional time to allow for
additional back office systems and rate structures" to be put in place. Id.
Idaho Power states that it has already selected vendors and executed contracts for the
purchase of the necessary hardware, software and labor for AMI installation. Id. at 7-8. The
project will require multiple vendors (4) due to the lack of a single-source vendor offering all of
the requisite products and services necessary for AMI installation. Id.
Idaho Power does not request a rate increase in conjunction with its Application. In
addition to a CPCN permitting the installation of AMI technology throughout its service
territory, Idaho Power requests the following:
. . . that, in the ordinary course of events, Idaho Power can expect to rate base
the prudent capital costs of deploying AMI as it is placed in service, accelerate
the depreciation of the existing metering infrastructure replaced by AMI over
the three-year deployment, and include the operation and maintenance
benefits in the accounting methodology.
Id.
DECISION MEMORANDUM
The Company claims that it has arrived at a "good faith estimate" of the total capital
cost ofthe three-year AMI installation project. Id. at 9. The estimate of the total capital cost for
the project is listed in the Application as $70.9 million plus "certain additional costs that the
Company knows it will incur but cannot quantify with precision at this time.Id. The capital
cost does not include the accelerated depreciation of the existing metering infrastructure or the
operation and maintenance benefits associated with the deployment of the new AMI technology.
Id.
The Company s Application states that its current estimate is subject to revision "for
documented, legally-required equipment changes and material changes in assumed escalation or
growth rates not foreseen at the time of this Application.Id.Idaho Power commits to
absorbing any "extra" capital cost above the "adjusted Commitment Estimate" and including in
its rate base only the amount actually incurred up to this "adjusted Commitment Estimate.Id.
In anticipation of project commencement in January 2009, Idaho Power has made
certain equipment and material purchases totaling $1.2 million and states that it will be required
to make additional purchases of approximately $5 million in September and October 2008. Id.
10.
Idaho Power requests that its Application be processed in an expedited manner
through Modified Procedure. The Company filed testimony from employees John R. Gale
Courtney Waites and Marc Heintzelman concurrent with its Application filing. Id.
PETITION FOR INTERVENTION
Kroger operates " 1 0 grocery stores and other facilities in the state ofldaho." Petition
at 2. Kroger purchases more than 30 million kWh of electricity from Idaho Power and states that
if Idaho Power s Application is granted then its cost for electric service "could be substantially
impacted.Id. The Company states that it intends to "present evidence related to rate design
and revenue allocation.Id.
ST AFF RECOMMENDATION
Staff has reviewed Idaho Power Application and attached testimony and
recommends that it be processed through Modified Procedure with a 90-day comment period.
DECISION MEMORANDUM
COMMISSION DECISION
Does the Commission wish to process Idaho Power s Application for a CPCN
authorizing the Company to install AMI technology throughout its service territory through
Modified Procedure with a corresponding 90-day comment period?
...-----
Deputy Attorney General
M:IPC-O8-
DECISION MEMORANDUM