HomeMy WebLinkAbout20040805Reply Comments on Reconsideration.pdfR. Blair Strong
Paine, Hamblen, Coffin
Brooke & Miller LLP
717 West Sprague Avenue, Suite 1200
Spokane, W A 99201-3505
Telephone: (509) 455-6000
Facsimile: (509) 838-0007
Attorneys' for A vista Corporation
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BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF THE PETITION
FILED BY IDAHO POWER COMPANY
FOR APPROVAL OF MODIFICATIONS
TO THE SECURITY PROVISIONS
REQUIRED TO BE INCLUDED IN
POWER PURCHASE AGREEMENTS
BETWEEN ELECTRIC UTILITIES
(IDAHO POWER, A VISTA
CORPORATION DBA A VISTA
UTILITIES, AND P ACIFICORP DBA
UTAH POWER & LIGHT COMPANY)
AND PURP A Q ALIFYIN G
FACILITIES (QFS)
CASE NOS. IPC-03-
A VU-03-
PAC-03-
REPLY COMMENTS OF A VISTA
CORPORATION ON
RECONSIDERATION
I. INTRODUCTION
Avista Corporation ("Avista ), by and through its undersigned attorneys
respectfully requests that the Commission consider and receive these Reply Comments.
II. COMMENTS
A vista has concerns regarding the use of second liens for risk mitigation in
levelized rate contracts similar to those expressed in the Idaho Power Company
comment~. There is a definite possibility for conflicts of interest if qualifying facility
QF") developers are allowed to prepare and file documents that are necessary to grant
utilities security interests in QF assets in the event of defaults under QF power purchase
and sale contracts.
REPL Y COMMENTS OF A VIST A CORPORATION
ON RECONSIDERATION -
A vista recommends that creation of second liens on QF projects be handled in a
manner similar to common commercial and real estate transactions. In those transactions,
the party receiving the benefit of the lien or mortgage may prepare and file the lien or
mortgage documents, or select the attorney or closing agent who performs the required
legal work. In other situations, a person or law firm who is neutral to the seller and the
buyer performs the legal work associated with creating the lien. Although the person
whose property is to be encumbered is responsible for executing appropriate documents
only in the most exceptional circumstances is that person actually tasked with the
responsibility of preparing and filing the appropriate documents that create the lien.
Allowing QF developers to prepare and file the required documents would be an
unnecessary departure from usual commercial practice.
If QF developers are assigned the task of preparing, filing and perfecting a second
lien for a utility, then the utility should not be held responsible for the viability of that
security. It would be unreasonable to require a utility to accept a security interest created
by a QF and then hold the utility responsible, if the security interest is not ultimately
effective, enforceable or sufficient to cover all of the assets.
A vista also concurs that a utility should recover in its rates costs relating to
preparing and/or reviewing second liens. Alternatively, costs of preparation and/or
review of such liens should be directly reimbursed by the developer. The utility should
have the discretion to determine whether its legal work associated with such liens will be
conducted internally, or by retaining outside assistance.
A vista suggests that these issues be clarified in its final order so as to diminish
possible misunderstandings between QF developers and the utility. The Company also
REPLY COMMENTS OF A VISTA CORPORATION
ON RECONSIDERATION - 2
recommends that the Commission make clear that utility will recover their costs
regarding the creation and/or review of second liens.
III. SERVICE OF FURTHER PLEADINGS
Service of further pleadings, and other documents relating to this proceeding
should be served upon the following:
H. Douglas Young
A vista Corporation
O. Box 3727
Spokane, W A 99220-3727
Telephone: (509) 495-4521
Facsimile: (509) 495-8856
E-mail: doug.young(g)avistacorp.com
- and -
R. Blair Strong
Paine, Hamblen, Coffin, Brooke & Miller LLP
717 West Sprague Avenue, Suite 1200
Spokane, W A 99201-3505
Telephone: (509) 455-6000
Facsimile: . (509) 838-0007
E-mail: rbstrong
(g)
painehamblen .com
RESPECTFULLY SUBMITTED this 2nd day of August, 2004.
PAINE, HAMBLEN, COFFIN, BROOKE
& MILLER LLP
REPL Y COMMENTS OF A VISTA CORPORATION
ON RECONSIDERATION - 3
CERTIFICA TE OF SERVICE
HEREBY CERTIFY that on thec;2 y of August, 2004 I caused to be
served a true and correct copy of the foregoing by the method indicated below, and
addressed to the following:
Ms. Jean Jewell, Secretary XXXX S. Mail
Idaho Public Utilities Commission Hand Delivery
472 West Washington Street Facsimile
Boise, Idaho 83720-0074 Overnight Mail
Electronic Mail
Randy C. Allphin XXXX S. Mail
Contract Administrator Hand Delivery
Idaho Power Company Facsimile
O. Box 70 Overnight Mail
Boise, ID 83707-0070 Electronic Mail
Harton L. Kline XXXX S. Mail
Monica B. Moen Hand Deli very
Idaho Power Company Facsimile
1221 West Idaho Street Overnight Mail
O. Box 70 Electronic Mail
Boise, ID 83707-0070
Mark Widmer XXXX S. Mail
PacifiCorp Hand Deli very
825 NE Multnomah Facsimile
Portland, OR 97232 Overnight Mail
Electronic Mail
Dale G. Rasmussen XXXX S. Mail
Associate General Counsel Hand Deli very
PacifiCorp Facsimile
825 NE Multnomah, Suite 1800 Overnight Mail
Portland, OR 97232 Electronic Mail
Colin Persichetti XXXX S. Mail
Director, Marketing & Trading Hand Deli very
PacifiCorp Facsimile
825 NE Multnomah, Suite 600 Overnight Mail
Portland, OR 97232 Electronic Mail
Scott Woodbury, Esquire XXXX S. Mail
Idaho Public Utilities Commission Hand Delivery
472 West Washington Street Facsimile
Boise, Idaho 83720-0074 Overnight Mail
Electronic Mail
00194985
REPLY COMMENTS OF A VISTA CORPORATION
ON RECONSIDERATION - 4