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HomeMy WebLinkAbout20040622English Direct.pdfFECEfVED i! !="n , ~." ,.. - lc-' 2;:;01 JUH2 Pi') 1:52 UTl ~:' ;;i LiislON BEFORE THE IDAHO PUBLIC UTiliTIES COMMISSION IN THE MATTER OF THE APPLICATION OF A VISTA CORPORATION FOR AUTHORITY TO INCREASE ITS RATES AND CHARGES FOR ELECTRIC AND NATURAL GAS SERVICE TO ELECTRIC AND NATURAL GAS CUSTOMERS IN THE STATE OF IDAHO. ) CASE NO. AVU-O4-) AVU-O4- DIRECT TESTIMONY OF DONN ENGLISH IDAHO PUBLIC UTiliTIES COMMISSION JUNE 21 , 2004 Please state your name and business address for the record. My name is Donn English.My business address 472 W. Washington , Boise, Idaho 83702. By whom are you employed and in what capaci ty? I am employed by the Idaho Public Utilities Commission (Commission) as an auditor in the accounting section. What is your educational and experlence background? I graduated from Boise State University in 1998 with a BBA degree in Accounting.Following my graduation accepted a posi tion as a Trust Accountant wi th a penslon administration , actuarial and consul ting firm in Boise. a Trust Accountant, my primary duties were to audit the day-to-day financial transactions of numerous qualified retirement plans.In 1999 I was promoted to Pension Administrator.As a Pension Administrator , my responsibilities included calculating pension and profit sharing contributions, performing required non- discrimination testing and filing the annual returns (Form 5500 and attachments) In May of 2001, I became a designated member of the American Society of Pension Actuaries (ASPA)I was the first person in Idaho to receive the Qualified 401 (k) Administrator certification CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH, D. STAFF (Di) 1 and was one of only nlne people in Idaho with the Qualified Pension Administrator certification.In 2001 I was promoted to a Pension Consultant, a position I held until 2003 when I joined the Commission Staff. Wi th the American Society of Pension Actuaries , I served on the Education and Examination Committee for two years.On this committee I was responsible for writing and reviewing exam questions and study materials for the PA- and PA-2 exams (Introduction to Pension Administration Courses), DC-, DC-2 and DC-3 exams (Administrative Issues of Defined Contribution Plans - Basic Concepts, Compliance Concept s and Advanced Concept s) and the DB exam (Administrative Issues of Defined Benefit Plans)I have also regularly attended conferences and training seminars throughout the country on numerous pension issues. Since joining the Commission Staff (Staff), I have attended workshops at the Institute of Public Utilities at Michigan State University sponsored by the National Association of Regulatory Utility Commissioners. These workshops included many different topics, such as lncome taxes, depreciation, Sarbanes-Oxley, and rates of return on equity. Have you previously testified before this Commission? Yes , I have provided wri t ten and oral CASE NOS. AVU-04-1/AVU-04- 06/21/04 ENGLISH , D. STAFF (Di) 2 testimony in Idaho Power Company s general rate case (Case No. IPC-03-13) , primarily regarding treatment of pension expense and pre-paid pension costs for regulatory recovery. My testimony in that case also presented arguments against recovery of miscellaneous organizational dues and chari table contributions , interest expense and legal expenses. What is the purpose of your testimony in this proceeding? The purpose of my testimony in this proceeding to present Staff's position regarding penslon expense, depreciation expense, pro forma deferred income tax adj ustments relating to recent accounting methodology changes, legal expenses and certain miscellaneous expenses found in the Company s Application. Are you sponsoring any exhibi ts wi th your testimony? Yes , I will be sponsorlng Exhibit Nos. 121-127. ELECTRIC SECTION Pension Expense Please describe Avista Corporation (Avista; Avista Corp.; Company) pension plan. Avista Corp. sponsors a tradi tional def ined benefit pension plan in which participants will receive a set monthly income upon retirement that is based on their CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH, D. STAFF (Di) 3 years of serVlce and their final average earnings.This plan is fully funded by Avista Corp.Assets in the Plan are secured in a trust and guaranteed by the Pension Benefits Guaranty Corporation. Please describe the Company s treatment of penslon expense in its current rate filing. Avista proposes to use a pension expense of $14 000,000 on a total system-wide basis (Falkner Direct, page 24)The amount of Idaho s electric jurisdiction penslon expense proposed to be recovered in this rate case is $2,095,423. How was this amount calculated? During the 2002 test year, the Company s Net Periodic Pension Cost (NPPC) on a total system-wide basis was $9,277 622.The Company has estimated that for 2004 the NPPC will be $13,600,000 using an estimate of actual rates of return on assets of 3.88%, compensation increases of 5% and a discount rate of 6.25%.In its Application the Company rounded this estimated $13.6 million amount up to $14 million , and then made a pro forma adjustment to lncrease penslon expense by $4 615,000 system-wide or by $691,039 for the Idaho electric jurisdiction (Exhibit No. , page 8 of 10, Column ac) I have included Company witness Falkner s Workpaper No. ac6 that illustrates this calculation in my Exhibit No. 121, page 3 of CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLI SH, D. STAFF (Di) 4 Does Staff agree with the Company s penslon expense? No.Staff disagrees wi th the Company s treatment of pension expense.The pro forma adjustment is based on an estimated pension expense that was calculated uslng speculative assumptions that may or may not hold true. Specifically, the Company uses an 8 percent actuarial assumption of future rates of return on assets; however for 2004 the Company uses an estimated actual return on assets of only 3.88%.It is impossible to predict wi th any certainty the actual investment performance of the plan assets for 2004.Therefore , this adjustment is not known and measurable and should be rej ected by the Commission. Furthermore , I do not believe that the recovery of FAS expense is appropriate in this case. Please describe FAS 87 expense. FAS 87 expense lS a reference to Statement of Financial Accounting Standard No. 87 and is synonymous with Net Periodic Pension Cost.The Statement was issued by the Financial Accounting Standards Board to alleviate long- standing controversy regarding how to report for pension liability.It mandates the use of Net Periodic Pension Cost for reporting pension expense on a company s financial statements.The NPPC is an accrual of pension expense for a given year , but it is not the actual amount of cash that CASE NOS. AVU-04-1/AVU-04- 06/21/04 ENGLISH, D. STAFF (Di) 5 a company is required to contribute to a penslon plan to meet its minimum funding liability and avoid interest and penalties.It is also important to note that FAS 87 makes no mention of regulatory accounting. Has there been any perceived problems wi FAS 87? There has been a growlng concern amongYes. accounting professionals regarding the use of FAS 87 and the potential for manipulation of financial statements. Just last year , the Financial Accounting Standards Board agreed to put further review of FAS 87 on its formal agenda.Though the Board has not made any changes to the Statement, the concern lS still present. What was the actual cash amount that Avista was required to contribute to the pension plan during the 2002 test year? The Employee Retirement Income Security Act (ERISA) and section 412 of the Internal Revenue Code mandate the required minimum contribution necessary for plan sponsor to meet its funding obligations.A completely different calculation is used to determine the mlnlmum cost for a given plan year.Avista s 2002 ERISA required minimum contribution was $7 481 201 on a total system-wide basis. Please briefly describe ERISA. CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLI SH , D. STAFF (Di) 6 ERISA was enacted by Congress in 1974 to ensure some level of security in employee benefit plans. Since its enactment, penslon plans are subj ect to intense federal regulation because of the long-term nature of the benefit obligation and the resulting potential for changed circumstances.One of many ERISA requirements is the systematic advanced funding requirements to protect employees against employer defaul t .ERISA mandates the minimum amount that must be funded each year to a pension plan to avoid a funding deficiency. How is this amount calculated? The first step of the calculation is to determine the Normal Cost for the year.The Normal Cost is the annual cost of the plan uslng the plan s actuarial cost method as established in the plan document.The Normal Cost is a calculation that takes into consideration the present value of future benefits, the actuarial value of the Plan s assets, any unfunded liabili ties and the present value of the Company s future payroll.This information is used to calculate an accrual rate that is then mul tiplied by the Company s current payroll to produce the Normal Cost.By adding or subtracting any charges or credi ts to the Normal Cost one can obtain the Annual Cost.The Minimum Required Contribution is the lesser of the Annual Cost or the difference between the Full Funding Limitation CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH , D. STAFF (Di) 7 and any credit balance.This minimum contribution is the amount that a company must fund in order to avoid a funding deficiency in the Funding Standards Account. Is this Minimum Required Contribution the amount that Avista Corporation actually contributed to the Plan for the 2002 plan year? In its discretion, Avista contributed anNo. additional $4 518,799 beyond the minimum required amount for a total of $12 million. What amount of pension expense do you believe appropriate for Avista Corporation to recover in rates? I believe that it is appropriate for the Company in this case to recover only the amount that it was legally required to contribute to the Plan.For the 2002 test year , this amount was $7 481 201 system-wide and $1 120 217 for the Idaho electric jurisdiction.However , Staff has pro formed our adjustment to update the pension expense to 2003 actuals.The 2003 system-wide mlnlmum penslon contribution was $8,694 685 with $1,301 921 allocated to Idaho s electric jurisdiction.Staff's adj ustment reduces the Company s proposed pens ion expense from $14 , 000, 000 $8,694 685, resulting in a decrease to Idaho revenue requirement of approximately $867 000. Are you suggesting that this Commission adopt a policy that only the ERISA required minimum contribution be CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLI SH , D. STAFF (Di) 8 accepted for rate recovery? I am not necessarily recommending a strict policy of only accepting the ERISA required minimum amount for rate recovery purposes, but I do believe that the ERISA minimum contribution is the best starting point in determining the amount to allow for recovery.When deal ing with the different pension calculations , it is important to remember that these ~costs n we are referring to are artificial numbers that have no connection to real-world values.These costs do not accurately estimate the value of the plan s liability to pay benefits, the Company legal liability should the plan be terminated , or the value of benefits accumulated under the plan.These calculations are simply a means by which the federal Tax Code and the ERISA regulations dictate the level of funding in a plan for purposes of tax deductions and minimum funding rules. The calculation methodologies consist of using inaccurate data and speculative assumptions and running them through an overly precise formula to produce a cost calculation. Therefore, there is no accurate contribution value, and we are forced to rely on a number that is produced by the calculations.Given this speculative nature of penslon contributions , I believe it is wise for the Commission to reserve some discretion in determining amounts to be recovered through rates based on the individual facts and CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLI SH , D. STAFF (Di) 9 circumstances of each case.Given the large requested rate increase in this case, funding at the ERISA minimum level lS appropriate. Please explain Exhibi t No. 121. Exhibit No. 121 consists of four pages.The first two pages are simple line graphs that compare Avista s NPPC and the ERISA minimum contributions since 1995. The following two pages are workpapers of Company witness Falkner illustrating Avista s pro forma penslon adj ustments.As depicted by the graphs, the contributions between 1995-2001 were consistently under $4 million. 2002 , Avista s contributions began trending rapidly upward. My investigation of Avista ' s pension contribution history focused on reasons for this upward trend other than poor market performance ci ted by Company wi tness Falkner (Falkner direct, pages 24-25)During my review I noticed that the actuarial assumption for future rate of return on assets was lowered from 9% in 2001 to 8% in 2002.Anyt ime an assumption is changed during a test year, it raises suspicions.The effect of the impact of this assumption change is shown on Exhibit No. 121 , page 2 and is approximately $1.35 million in 2002 and $1.56 million in 2003.At the time of the assumption change, the Plan average actual return Slnce 1995 had been approximately percent.In 2003, the Plan experienced a weighted average CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH , D. STAFF (Di) 10 return of approximately 24.5%.Though Avista changed the actuarial assumption for the test year and increased FAS penslon expense, I do not believe it was an attempt by the Company to manipulate the expense or game the system. believe the change of the rate of return assumption was the resul t of short - term uncertainty in the equi ties market. This reasoning, however, violates the process in which one determines actuarial assumptions.Actuarial Standard of Practice No. 27 written by the Pension Committee of the Actuarial Standards Board states that in determining long- term rate of return assumptions, one should look at expected long-term returns and not give undue weight to recent past history. To change the rate of return assumption because of poor market performance ignores the fact that the markets have historically always trended back toward their long-term averages.Many companles were compelled to reduce their assumed returns during recent years, but these changes are premature given that the markets have historically always rebounded. Because the Net Periodic Pension Cost increased by approximately $10 million over a three-year period, and the change in assumptions accounted for only approximately $1.5 million of that increase, it was the downturn in equity markets between 2000-2002 that created the dramatic CASE NOS. AVU-04-1/AVU-04- 06/21/04 ENGLI SH, D. STAFF (Di) 11 lncrease I do not believe it is appropriate for ratepayers to bear the burden of increased rates to cover a pension expense that is created by a short-term downward trend in the market. That said, I believe this assumption change lssue is not the most important pension concern in this proceeding.The primary issue before the Commission involves the use of the ERISA required mlnlmum expense for rate recovery and not the Net periodic Pension Cost. Why do you support the use of the ERISA required minimum expense in this case? I support the ERISA mlnlmum contribution because the funding calculation method uses a smoothed value of plan assets.A smoothed value recognizes gains and losses on plan investments over a five-year period.While the market losses of 2000-2002 are phased into this calculation , so are the market gains of 2003.In contrast, FAS 87 expense accounts for market gains and losses in the year that they occurred.During periods of market volatility, the FAS 87 expense has the potential to fluctuate because it completely captures the galns or losses of a specific year. The ERISA minimum contribution should remain more consistent because only 20% of current market gains or losses are factored into the calculation together with 20% of each of the four previous years ' gains CASE NOS. AVU-E- 04 -l/AVU-G- 04-06/21/04 ENGLISH, D. STAFF (Di) 12 and losses.Thus, from a consistency standpoint, the ERISA required minimum contribution is the most reasonable. Allowing Avista to recover more than the ERISA minimum contribution may cause over-recovery of pension costs paid and would not be reasonable. Has this Commission ever approved a penSlon expense other than NPPC 87 for ratemaking purposes? Just recently the Commission issued OrderYes. No. 29505 in Case No. IPC-03-13 in which the utility was allowed to collect only its cash contribution under ERISA as the pension expense included for rate recovery.The ERISA required mlnlmum contribution had been $0.00 for many years and was expected to remain $0.00 for qui te some time. It was this expense level that was included in rates in Order No. 29505 at 21. Depreciation Expense Please explain Staff's posi tion on the Company proposed depreciation expense. During the course of it's audi t, Staff noticed that the depreciation rates the Company proposed were significantly higher than rates more recently approved by this Commission.The Company has used a depreciation study from 1997 , which Staff believes may be outdated. Did you compare the depreciation rates proposed by Avista to other states that Avista operates in? CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH , D. STAFF (Di) 13 Yes, I compared Avista s depreciation rates currently in place in Idaho to the rates that were recently approved by the Washington Utilities and Transportation Commission in Docket No. UE-991606.The rates approved in that docket were stipulated to by all parties. Why are different depreciation rates used in different states? Calculating depreciation rates is very similar to calculating pension expense.The calculations are based on numerous assumptions, such as remalnlng life, salvage value and removal costs.Though the formulas are quite precise, the resul t is only as good as the assumptions.Therefore, two different depreciation experts could calculate different depreciation rates.However , logic dictates that plant in Idaho will not depreciate faster than the same plant in Washington. What is Staff's depreciation expense proposal for the Company in thi s case? Staff proposes that the Commission adopt the same depreciation rates that are effective in Washington.The resul t of this adj ustment decreases Idaho s electric revenue requirement by approximately $676,000. How does Staff's proposed overall depreciation rates compare to Idaho s other large utilities? Staff's proposed composi te depreciation rate for CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH, D. STAFF (Di) 14 Avista s electric utility is 2.47 %.This amount reasonable and within the range of other utilities currently operating in Idaho. Has the Company expressed its willingness to accept the same depreciation rates in effect in Washington for use in Idaho? In a meeting on June 2 , 2004, the CompanyYes. gave a verbal agreement to accept Washington rates in Idaho as a means of mitigating the overall rate lncrease and for consistency of depreciation rates between states. 3 .Income Tax Please explain Staff's posi tion regarding lncome tax expense and deferred income tax. At issue is the Company s change in methodology when accounting for income taxes.Due to recent changes by the Internal Revenue Service , certain plant and inventory that once were required to be capitalized can now be expensed and deducted.In following the IRS's new allowable methodology, Avista calculated the amount of previously capi talized plant and inventory and deducted those amounts in a single year, resul ting in a windfall benefit to the Company. Does Staff approve of this change in methodology? Staff believes that the Company prudentlyYes. applied for approval to change its methodology and receive CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH , D. STAFF (Di) 15 the benefits that accompanied that change.Since the Company is using a 2002 test year with pro forma adjustments, and the tax benefit was received in 2003, Staff believes it is appropriate to make a pro forma adjustment to reflect deferred income tax.Inclusion of the deferred income tax as a pro forma adj ustment to rate base allows customers to receive a portion of this benefit now since the tax expense will increase and the deferred tax balance will decrease in the future as the timing difference turns around. Is the Company proposlng to keep this benefit for shareholders? The Company normalized the benefit and to that extent, ratepayers would have received the proper benefi had this windfall occurred prior to the test year.For this reason deferred income tax is pro formed in Staff' proposal. Please explain normalization. Normalization is a distinct method of reflecting income tax expense In a regulatory environment.Us ing thi method , all lncome tax costs related to items in a current period will be computed, .whether paid in the current year or paid in a later year.This normalization method creates a deferred income tax expense and the associated accumulated deferred income tax liability is subtracted CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH , D. STAFF (Di) 16 from rate base.The rate base reduction provides the benefi t currently to customers.However , these timing differences will reverse in the future, and at some point the tax expense deductions will turn around and taxes will increase causing customer rates to increase.Without Staff's pro forma adj ustment, customers would pay too much in rates for taxes over time. Are customers golng to pay higher rates because of this accounting change? Wi thout Staff's proposed adj ustment, yes.Part of the rates paid by prior and current customers included an amount for income tax expense.The Company recalculated its reduced income tax expense for prior years and collected the refund, so customer rates were higher than necessary in past years.However , Staff is not trying to recapture past customer overpayments, but rather prevent customers from having to pay twice when the timing differences reverse themselves.Changes in the deferred income tax account will reflect these differences. What do you propose to ensure that customers are not harmed by future tax increases resul ting from this methodology change? Avista has normalized the 2003 tax methodology change that resul ted in a windfall.Therefore, tax expense after 2003 will be properly reflected in the deferred CASE NOS. AVU-E- 04 -1/AVU-04-06/21/04 ENGLISH, D. STAFF (Di) 1 lncome tax balance and future tax expense.However , the 2002 test year does not reflect normalization of the 2003 tax methodology change going forward. Therefore, Staff has increased the Idaho electric jurisdictional portion of the Company s deferred income tax balance, thus reducing total rate base by $9,966,000.This incorporates the pro forma effect of the tax methodology change in the 2002 rate base. Staff Exhibit No. 122 shows the adjustment amounts as calculated by the Company and provided to Staff in response to Production Request No. 218.The net effect of this adjustment on the Idaho electric revenue requirement is a reduction of $1 442 000. Legal Expenses Please describe Exhibi t No. 123. Exhibi t No. 123 is a list of legal expenses that Staff proposes to remove from the electric test year expenses.Line 1 of Exhibit No. 123 removes $14,035 from the test year for legal expenses allocated to Idaho for the operations of Avista Labs.These expenses were incurred by the subsidiary and should be directly assigned to that subsidiary.Line 2 removes $1 326 from the test year legal expenses allocated to Idaho related to the operations of Avista Communications.Again , these expenses were incurred by the subsidiary and should be directly assigned to that subsidiary. CASE NOS. AVU-E- 04 -l/AVU-G- 04- 06/21/04 ENGLISH, D. STAFF (Di) 18 Line 3 of Exhibit No. 123 removes from the test year $74 363 in legal expenses allocated to Idaho that the Company incurred during the bankruptcy proceedings of Enron Corp.Though these expenses were prudently incurred , they were an extraordinary expense that the Company will not incur beyond the test year.Therefore, Staff has removed Idaho s jurisdictional allocation of these expenses. Line 4 of Exhibit No. 123 removes from the test year $478,980 in legal expenses related to the Federal Energy Regulatory Commission (FERC) investigation into electrici ty trading practices.Again, though the Company may have prudently incurred these expenses, the investigation has been completed and these expenses are not likely to recur beyond 2003. Please explain the FERC investigation and why these expenses should not be included in customers ' rates. In February 2002 , the FERC initiated a fact- finding investigation of potential manipulation of electric and natural gas prices by Avista Corp. and its affiliate Avista Energy in the California energy markets.The FERC was specifically interested in whether or not Avista Corp. and any of its affiliates participated in trading strategies that were similar to those practiced by Enron. Avista incurred significant legal expenses defending itself and allocated $478,980 to Idaho s electric jurisdiction. CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH, D. STAFF (Di) 19 In April of 2004 , after filing its Application wi th this Commission to increase base rates, Avista Corporation received notice from the Federal Energy Regulatory Commission that its investigation into any alleged improprieties committed by Avista Corporation and its affiliates had been concluded.The Federal Energy Regulatory Commission cleared Avista of any wrongdoing. Given that these activities should not be associated with the normal provision of electricity and should not recur in the future, Staff has removed these expenses on the grounds that they are non-recurring.However , the Company revenue requirement still includes a substantial level of other legal expenses for Idaho s electric jurisdiction. Miscellaneous Expenses Please explain Exhibi t No. 124. Exhibit No. 124 lists several miscellaneous expenses discovered during Staff's audi t that Staff believes are inappropriately charged to ratepayers.These expenses include such items as Christmas and Fourth of July parties for employees, and contributions to various charities and social organizations that promote the Company s public image or should be allocated to affiliates. The largest single expense item on the list is expenses incurred by Avista Corporation pertaining to CASE NOS. AVU-04~1/AVU-04-06/21/04 ENGLI SH, D. STAFF (Di) 20 corporate strategy.A review of this report indicated that approximately 75% of the report dealt with non-regulated operations of Avista Corporation.Staff also reviewed the minutes of the Board of Directors meetings to evaluate the percentage of the Board's time spent discussing non- regulated operations for this report.Staff believes that corporate strategy benefi ts all subsidiaries of Avista Corp, regulated and non-regulated alike.Therefore, Staff has allocated 75% of these expenses to affiliates. Does this conclude your testimony regarding Avista Corporation s Application to increase its base rates for electrici ty in Idaho? Yes. GAS SECTION Pens ion Expense Did Staff make any adj ustments to pension expense for Idaho s gas jurisdiction? Avista included an adjustment increase Yes. $170,068 for Idaho gas operations that reflects the use of the 2004 estimated Net periodic Pension Cost.Based on the arguments previously mentioned in Section 1 of my electric testimony, Staff has adjusted the Company s proposed 2004 estimated $14 million pension expense to the 2003 ERISA required minimum contribution of $8,694 685.This equates to an Idaho gas jurisdiction amount of $320,409.The CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH, D. STAFF (Di) 21 effect of this adjustment reduces the Idaho gas revenue requirement by approximately $214 000. Depreciation Expense Please explain Staff's adj ustment to depreciation expense for Idaho s gas jurisdiction. As I discussed in Section 2 of my electric testimony, the Company has accepted rates in other states that are significantly less than those rates booked in Idaho.By applying the rates approved in Washington State to Idaho s gas jurisdiction , the proposed revenue requirement is reduced by $44,000. Income Tax Did Staff take issue wi th the treatment of the income tax methodology change and pro form the associated deferred income taxes in this case for Idaho s gas jurisdiction? The recent change in methodology discussedYes. In Section 3 of my electric testimony also applies to gas plant and inventory.Again , because the test year in this proceeding is 2002 , and the tax methodology change was made in 2003, there is a timing difference making a pro forma adj ustment necessary for customers to receive any portion of this tax benefit in this case.Staff has pro formed the change in the deferred income tax amount in rate base to reflect known and measurable changes in deferred taxes and CASE NOS. AVU-E- 04 -l/AVU-G- 04-06/21/04 ENGLI SH, D. STAFF (Di) 22 therefore capture this tax change on a going forward basis. Staff's adj ustment to the deferred tax balance reduces Idaho s gas jurisdictional rate base by $2 639,000. The net effect this adjustment has on revenue requirement is a reduction of $382 000.Exhibit No. 125 prepared by Avista in response to Production Request No. 218 illustrates the calculation for this adjustment. Legal Expenses Does Staff take exception to any legal expenses proposed to be recovered from Idaho gas customers in this proceeding? During the course of our audi t, StaffYes. discovered several legal expenses that should have been directly assigned to affiliates or were for extraordinary events that will not recur , similar to the arguments listed in Section 4 of my electric testimony.Specifically, Staff discovered $16,537 in legal fees allocated to Idaho s gas jurisdiction related to the bankruptcy filing of Enron Corpora t ion.Other legal fees removed from test year expenses were $3,136 and $303 incurred by Avista Labs and Avista Communications respectively but were allocated to Idaho s gas jurisdiction.These expenses and the total adjustment are shown in Exhibit No. 126.This adjustment reduces the Idaho gas revenue requirement by $19,976. CASE NOS. AVU-04-1/AVU-04-06/21/04 ENGLISH , D. STAFF (Di) 23 Miscellaneous Expenses Do you have any other adjustments to Idaho s gas jurisdiction? There were several miscellaneous expensesYes. pertaining to the promotion of corporate image, holiday lunches and charitable organizations that Staff believes were mistakenly included above-the-line.These expense reductions are listed in Exhibi t No. 127 and reduce Idaho gas revenue requirement by $110,650. Does this conclude your direct testimony in this proceeding? Yes, it does. CASE NOS. AVU-E- 04 -l/AVU-G- 04-06/21/04 ENGLISH , D. STAFF (Di) 24 $16 000 000 $14 000 000 $12 000 000 $10 000 000 $8,000 000 $6,000 000 000 000 000 000 History of Avista Pension Costs 1995 1996 1997 1998 1999 2000 2001 2002 2003 Year -+- Net Periodic Pension Cost (FAS 87) --- ERISA Required Minimum Contribution Exhibit No. 121 Case No. A VU-04- A VU-04- D. English, Staff 6/21/04 Page 1 of $16 000 000 $14 000 000 $12 000 000 $10 000 000 ~ $8 000 000 000 000 000 000 000,000 History of Avista Pension Costs Including Effect of Assumption Changes 1995 1996 1997 1998 1999 2000 2001 2002 2003 Year -+- Net Periodic Pension Cost (FAS 87) --- Net Periodic Pension Cost (after assumption change) -.- ERISA Required Minimum Contribution Exhibit No. 121 Case No. A VU-04- A VU -04- D. English, Staff 6/21/04 Page 2 of 4 - - - -.. '. : ~J KV\ -e.. o..c~ AVISTA UTILITIES Payroll Loading Adjustment And Pension Pro Forma Twelve Months Ended December 31. 2002 Amount Amount - Pension Incurred Cleared Difference !IQforma Payroll benefits $27,017,214 $25,100,071 $1,917,143 $4,255,953 Payroll taxes 898,062 552,000 . 346,062 . Payroll time off 10,735,046 303,348 431,698 Total $43,650,322 $40,955,419 $2,694,903 255,953 (1) ,2004 projected pension costs less 2002 actual pension costs for the utility. 2004 projection 2002 actual Difference Allocation to utility Net increase to utility $14,000,000 - - 385,000 615,000 92.22% $4,255,953 2002 Washington Electric Labor 2002 Total Company Labor % of total $ 24 615,596. - $ 79,844~620. 30.829% Payroll loading adjustment allocated to Washington Electric $830,812 $1,312,068 2002 Idaho Electric Labor 2002 Total Company Labor % of total . 12,964,290. $ 79,844 620. 16.237% Payroll loading adjustment allocated to Idaho Electric $437,571 ,/ ' (( $691,039 ---- Exhibit No. 121 Case No. A VU-04- A VU -04- D. English, Staff 6/21/04 Page 3 of 4 Ky1l ~ S VISTA UTILITIES Payroll Loading Adjustment And Pension Pro Forma Twelve Months Ended December 31. 2002 Amount Amount Pension Incurred Cleared Difference roforma Payroll benefits $26,075,545 $24 158,402 $1,917 143 255,953 Payroll taxes 898,062 5,552,000 346,062 Payroll time off'10,735,046 10,303,348 431,698 Total $42,708,653 $2,694 903 $4,255,953$40,013,750 (1) 2004 projected pension costs less 2002 actual pension costs for the utility. 2004 proJection 2002 actual Difference Allocation to utility Net increase to utility $14 000,000 385,000 $4,615,000 92.22% $4,255,953 2002 Washlngton Gas Labor 2002 Total Company Labor . % of .total $ 7,273,797. $ 79,844,620. 110% Payroll loading adjustment allocated to Washington Gas $387,717$245,506 2002 Idaho Gas Labor 2002 Total Company Labor % of total $ 3,190,949. $ 79,844,620. 996% Payroll loading adjustment allocated to Idaho Gas $107,688 $170,068 Exhibit No. 121 Case No. A VU-04- A VU -04- D. English, Staff 6/21/04 Page 4 of AVISTA UTILITIES E'"wECTRIC ADJUSTMENT SUMM:.ZffiY TWELVE MONTHS ENDED DECEMBER 31, 2002 (000' S OF DOLLARS) Line No.DESCRIPTION RJ:., ""\1ENUE S Total General Business In terdepartmental Sal Sales For Resale Total Sales of Electricity Other Revenue Total Electric Revenue EXPENSES Production and Transmission Operating Expenses Purc:.1-:lased Power Depreciation and ~~ortization Taxes Total production & Transmission Distribution Operating Expenses Depreciation Taxes Total Distribution 16 Customer Accounting17 Customer Service & Information18 Marketing ro"Administrative & General Operating Expenses Deprecia tion Taxes Total Admin. & General Total Electric Expenses "'-", Operating Income before FIT Federal Income Taxes Current Accrual (at 35%) Deferred Income Taxes Amortized ITC SETTLEMENT EXCHANGE POWER NET OPERATING INCOME RATE BASE PLANT IN SERVICE Intangible Production Transmiss ion Distribution General Total Plant in Service ACCUMULATED DEPRECIATION ACCUM. PROVISION FOR AMORTIZATION Total Accurn. Depreciation & Amort. GAIN ON SALE OF BUILDING DEFERRED TP..xES TOTP..L RATE BASE IDAHO DFIT - OVERHEADS ELECTRIC System Washington Idaho . $0 Exhibit No. 122 Case No. A VU-04-(9,966)(9,966)A VU -04- ($9,966)($9,966)D. English, Staff 6/21/04 Page 1 of :00 -- '--~-, A VIST A.UTILITIES Accumulated Deferred Taxes Related to Overheads Electric Balance at December 31 , 2003 Distribution Hydro Kettle F aHs Kettle Falls CT Other Production Rathdrurn Transmission Total Allocation Notes: Prod uctionlTransmission Net electric distribution plant - AMA " . --'---" Alloc Basis Electric System IdahoWashinqton ($17 045,977)($1 O ~65,497)($6 380,480) 381 480)873 813) 507 667) (276 112)(181 ,102)(95 010) (550 810)(361 276)(189 534) (247 318)(1.62 216)(85 102) 126 676)(738 987)(387 689) 836,293)516 225)320;068) ($27,464 666)($17,499 116)($9 965 550) - 1 100.000% 1 00.000% 65.590% 62.569% 34.410% 37.431% .~. Exhibit No. 122 Case No. A VU-04- A VU -04- D. English, Staff 6/21/04 Page 2 of 2 DMF file: OverheadsDFIT Bk.xlsSheet: El VISTA CORPORATION STAFF ADJUSTMENTS TO LEGAL EXPENSES A VU-O4- Line Adjustment Avista Labs Avista Communications Enron Corp. Bankruptcy FERC Investigations Amount Allocated to Electric Utility per A vista 590 742 Electric Allocated to Idaho Electric Jurisdiction 035 326 Allocated using a 35.880% allocation factor per Avista Response to Audit Request No. 20 $ 209 768 $ 1 334 950 363 $ 478 980 * $ 568 704 Exhibit No. 123 Case No. A VU-04- A VU -04- D. English, Staff 6/21/04 AVISTA CORPORATION STAFF MISCELLANEOUS ADJUSTMENTS AVU-04- VENDOR DESC Account No.Total Transaction Electric Memberships Directly Charged to Idaho Jobs Plus 930.000 089 Concerned Business Inc 930.000 067 Bonner County EDC 930.000 218 Coeur D'Alene 930.500 207 Silver Valley EDC 930.500 207 Greater Sandpoint Chamber 930.094 880St. Joe Development Foundation 930.000 804Post Falls Area 930.758 610 Greater Hayden/Hayden Lake 930.500 402 Less than$500 930.222 787Total Directly Charged to Idaho 574 272 Memberships Allocated to Idaho Total Electric Spokane Regional 930.225 578 Western Energy Institute 930.000 157 National Hydropower Association 930.810 810 PNUCC 930.827 827 Northwest Gas Association 930.968 509Valley Vision 930.000 067Washington Roundtable 930.844 669 Inland Northwest Partners 930.14.080 320 Inland Northwest HVAC Assn 930.500 034 Foundation for Water 930.000 000 Spokane Area Economic 930.100 103 Downtown Spokane Partnership 930.000 022 Corporate Executive Board 930.000 875Financial Executives 930.055 196University of Idaho 930.000 156Spokane Convention 930.000 609 Better Business Bureau 930.817 1,462 Spokane Valley 930.650 327Philanthropy Northwest 930.1,400 006Boston College/CCC 930.200 863AWB930.25 160 834Idaho Association of 930.020 733 CTED/Economic Development 930.000 719 Pullman Chamber of Commerce 930.800 644 Marketing Executives 930.750 539 International Economic 930.640 460 Forest Resources Assoc Inc 930.620 620 ClealWater Economic 930.600 483Kettle Falls Generating 930.600 600Spokane Area 930.500 359 Washington Economic 930.500 381Less than $500 930.341 772 Total to be allocated to Idaho 253 007 206 733 Allocation factors 35.446%Total Allocated to Idaho 279 Total of Account 930.111 551 Charitable, Civic/Community Organizations Total ElectricAnne Marie Axworthy 930.725 583Debbie Simock 930.733 590Wampum930.200 965 Spokane Symphony Association 930.598 481 Resource Planning Unlimited 930.060 853 Anne Marie Axworthy 930.730 587 Elect AI French for President 930.500 402 Kristine Meyer 930.566 455Philanthropy Northwest 930.000 804 Davenport District Art Board 930.500 402Adventures in Advertising 930.539 238Adventures in Advertising 930.572 460 EDS Corporation 930.963 383 ' Adventures in Advertising 930.636 511 Judith L Cole 930.566 455 Judith L Cole 930.826 664Women of Avista Corp 930.800 644Charges $500 or greater 930.514 12,477 Allocation Percentage 930.35.446% Idaho Allocation of Charges $500 or Greater 930.423Idaho allocation of Charges less than $500 930.501Idaho Direct Charges of $500 or less 930.169 Total of Account 930.15,093 Other Miscellaneous Bain & Company 923 164 835 246 325 Avista Summer Picnic 923 246 391 Spokane Indians Summer Picnic 923 304 Annual Trailblazer Dinner 926 318 146Avista Christmas Luncheon 921 317 849Total Other Miscellaneous 226,020 261 788 Total Miscellaneous Adjustments 542,115 388,431 Exhibit No. 124 Case No. A VU-04- A VU -04- D. English, Staff 6/21/04 ""-'" -, -?"""'-= ' VI STA UTILITIES GAS ADJUSTMENT SUMMARY TWELVE MONTHS ENDED DECEMBER 31, 2002 (000' S OF DOLLARS) Line No.Description RE\lENUES Total General Business Total Tr~sportation Other Revenues Total Gas Revenues EXPENSES Exploration & Development Production Ci ty Gate Purchases Purchased Gas Expense Net Nat. Gas Storage Trans Total Production Underground Storage Operating Expenses Deprecia tion Taxes Total Underground Distribution Operating Expenses Deprecia tion Taxes Total Distribution Storage Cus tamer Accounting Cus tamer Service & Information Sal es Administrative and General Operating Expenses Depreciation Taxes Total Admin. & General Total Gas Expense Opera ting Income before FIT Federal Income Taxes Current Accrual (at 35%) .AInort ITC Deferred FIT NET OPERATING INCOME RATE BASE PLANT IN SERVICE Underground Storage Distribution plant General Plant Total Plant in Service ACCUMOLATED DEPRECIATION Underground Storage Distribution Plant General Plant Total Accum. Depreciation DEFERRED TAXES GAS INVENTORY GAIN ON SALE OF BuILDING -.--.----. TOTJI...L RATE BASE IDAHO DFIT - OVERHEADS GAS System Washington Idaho . 0 (2, 639)(2 639) ($2 , 639)($2,639) , Exhibit No. 125 Case No. A VU-04- A VU-04- D. English, Staff 6/21/04 Page 1 of 2 ,-";.._--"-.. AVISTA UTILfTIES Accumulated Deferred Taxes Related to Overheads Gas Balance at December 31. 2003 Alloc Gas Basis stem Washin ton Idaho Gas - Distribution NDP 222 196 ($5 583 036 639 160 Total ($8 222 196)($5 583,036 ($2 639 160) Allocation Notes: Net distribution plant - AMA Gross AID Net Percent NDP 272 912 059 242 578 190 669 481 100.000% 185 314 508 845 482 129,469,026 67.902% (1) Source is Gas Utility Plant (G-PL T-12A) from Results of Operations 597 551 (1) (26 397 096)(1) 200,455 32.098% Exhibit No. 125 Case No. A VU-04- A VU -04- D. English, Staff 6/21/04 Page 2 of 2 DMF file: OverheadsDFIT Bk.xls Sheet Gas AVISTA CORPORATION STAFF ADJUSTMENTS TO LEGAL EXPENSES A VU-O4- Gas Amount Allocated to Allocated to Gas Utility Idaho Gas Line Adjustment per Avista Jurisdiction Avista Labs 185 136 Avista Communications 983 303 Enron Corp. Bankruptcy 710 537 976 Exhibit No. 126 Case No. A VU-04- A VU -04- D. English, Staff 6/21/04 AVISTA CORPORATION STAFF MISCELLANEOUS ADJUSTMENTS AVU-04- VENDOR DESC Account No. Memberships Directly Charged to Idaho Jobs Plus 930. Concerned Business Inc 930.25 Bonner County EDC 930. Coeur D'Alene 930. Silver Valley EDC 930. Greater Sandpoint Chamber 930.25 SI. Joe Development Foundation 930. Post Falls Area 930. Greater Hayden/Hayden Lake 930. Less than$500 930. Total Directly Charged to Idaho Memberships Allocated to Idaho American Gas Association 930. Spokane Regional 930. Western Energy Institute 930. Northwest Gas Association 930. Valley Vision 930. Washington Roundtable 930. Inland Northwest Partners 930. Inland Northwest HVAC Assn 930. Spokane Area Economic 930. Downtown Spokane Partnership 930.25 Corporate Executive Board 930.25 Financial Executives 930. University of Idaho 930. Spokane Convention 930. Better Business Bureau 930. Spokane Valley 930. Philanthropy Northwest 930. Boston College/CCC 930. AWB 930. Idaho Association of 930. CTED/Economic Development 930.25 Pullman Chamber of Commerce 930. Marketing Executives 930. International Economic 930.25 Clearwater Economic 930.25 Spokane Area 930. Washington Economic 930. Less than $500 930. Total to be allocated to Idaho Allocation factors Total Allocated to Idaho Total of Account 930. Charitable, Civic/Community Organizations Anne Marie Axworthy 930. Debbie Simock 930. Wampum 930. Spokane Symphony Association 930. Resource Planning Unlimited 930. Anne Marie Axworthy 930. Elect AI French for President 930. Kristine Meyer 930. Philanthropy Northwest 930.22 Davenport District Art Board 930. Adventures in Advertising 930. Adventures in Advertising 930. EDS Corporation 930. Adventures in Advertising 930. Judith L Cole 930. Judith L Cole 930. Women of Avista Corp 930. Charges $500 or greater 930. Allocation Percentage 930. Idaho Allocation of Charges $500 or Greater 930. Idaho allocation of Charges less than $500 930. Idaho Direct Charges of $500 or less 930. Total of Account 930. Other Miscellaneous Expenses Bain & Company Avista Summer Picnic Spokane Indians Summer Picnic Annual Trailblazer Dinner Avista Christmas Luncheon Total Other Miscellaneous Total Miscellaneous Adjustments Total Transaction Gas 000 911 000 933 000 782 500 293 500 293 094 214 000 196 758 148 500 222 434 47,574 302 Total Gas 137 393 825 225 647 000 6,473 968 247 000 933 844 745 080 2,752 500 1,466 100 997 000 978 000 740 055 565 000 555 000 391 817 355 650 323 1,400 259 200 222 160 215 020 189 000 185 800 156 750 139 640 118 600 117 500 500 341 331 333,543 128 111 30.791% 447 48,749 Total Gas 725 142 733 143 200 235 598 117 060 207 730 143 500 566 111 000 196 500 539 301 572 112 963 580 636 125 566 111 826 162 800 156 514 037 30.791% 935 112 208 255 164 835 045 246 721 304 318 1,431 317 431 226 020 646 622 651 110 650 Exhibit No. 127 Case No. A VU-04- A VU -04- D. English, Staff 6/21/04 CERTIFICATE OF SERVICE HEREBY CERTIFY THAT I HAVE THIS 21ST DAY OF JUNE 2004 SERVED THE FOREGOING DIRECT TESTIMONY OF DONN ENGLISH, IN CASE NO. A VU-04-l/A VU-04-, BY MAILING A COpy THEREOF POSTAGE PREPAID TO THE FOLLOWING: DAVID J. MEYER SR VP AND GENERAL COUNSEL VISTA CORPORATION PO BOX 3727 SPOKANE WA 99220-3727 KELLY NORWOOD VICE PRESIDENT STATE & FED. REG. AVIS T A UTILITIES PO BOX 3727 SPOKANE WA 99220-3727 CONLEY E WARD GIVENS PURSLEY LLP PO BOX 2720 BOISE ID 83701-2720 DENNIS E PESEAU, PH. D. UTILITY RESOURCES INC 1500 LIBERTY ST SE, SUITE 250 SALEM OR 97302 CHARLES L A COX EV ANS KEANE 111 MAIN STREET PO BOX 659 KELLOGG ill 83837 BRAD M PURDY ATTORNEY AT LAW 2019 N 17TH ST BOISE ill 83702 , ,\(' SECRET ARY CERTIFICATE OF SERVICE