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HomeMy WebLinkAbout20110926_3471.pdfWILLIAMS. BRADBURY ATTORNEYS AT LAW RECE ZOll SEP 23 PH 2: 32 September 23,2011 iDr\I1C¡ UT!LiTli:S Ms. Jean Jewell Commission Secreta Idaho Public Utilties Commission 472 W. Washington Boise,ID 83702 Re: IPC-E-I1-10 Dear Ms. Jewell: Please find enclosed an original and seven copies of the Motion for Extension of Time of Interconnect Solar Development, LLC for filing in the above referenced case. Than you for your assistance in this matter. Please feel free to give me a call should you have any questions. Sincerely,~~tJ~ .. Ronald L. Wiliams RLW/jr Enclosures 1015 W. Hays Street - Boise, ID 83702 Phone: 208-344-6633 - Fax: 208-344-0077 - ww.wiamsbradbur.com Ronald L. Wiliams, ISB No. 3034 Wiliams Bradbur, P.C. 1015 W. Hays St. Boise,ID 83702 Telephone: 208-344-6633 Fax: 208-344-0077 ron~wiliamsbradbur.com RECEI r-L~ lUll SEP 23 PM 2= 32 Attorneys for Interconnect Solar BEFORE THE IDAHO PUBLIC UTILITES COMMISSION IN THE MATTER OF THE APPLICATION OF ) IDAHO POWER COMPANY FOR A ) DETERMINATION REGARDING THE FIRM ) ENERGY SALES AGREEMENT WITH ) INTERCONNECT SOLAR DEVELOPMENT, ) LLC, FOR THE SALE AND PURCHASE OF )ELECTRIC ENERGY. ) ) Case No. IPC-E-11-10 MOTION FOR EXTENSION OF TIME COMES NOW, Interconnect Solar Development, LLC ("Interconnect Solar" or "ISD"), by and through its counsel of record, Wiliams Bradbur, PC, and fies this Motion for Extension of Time for Interconnect Solar and Idaho Power Company to resubmit a Firm Energy Sales Agreement ("FESA") to the Idaho Public Utilities Commission ("Commission"), for the reasons stated below. 1. Order No. 32361 issued September 20, 2011 gave ISD and Idaho Power seven days, or until September 27,2011, to resubmit the FESA with rates corrected for a computational error related to the escalation of the capacity component of avoided costs, after which the Commission would proceed with deliberations regarding approval or disapproval of the Agreement. 2. Interconnect Solar and Idaho Power have also identified a second computational error related to the capacity value of the Murhy Flats solar project, ANSWER TO STAFF'S MOTION FOR EXTENSION OF TIME, Page 1 resulting from a failure to correctly model sumer hourly generation based on shift to daylight savings time. This error appears to largely accounts for the difference between the 36% capacity factor assigned by Idaho Power to the Project at the June 2010 system peak hour of 7:00 P.M, versus the 55% capacity valuation derived by Siemens for the same hour, using the PVSYST solar modeling program. 3. Correcting for this daylight savings time error requires Idaho Power to re- ru its avoided cost model which the Company has agreed to do, on an expedited basis, with results expected on Monday, September 26,2010.1 However, there is the possibilty that ISD and Idaho Power will not be able to tum the new modeled prices into a revised and fully executed FESA by September 27,2010. 4. Following a meeting between Interconnect Solar and Idaho Power on Thursday, September 22, 2011 in which scheduling was discussed, ISD believes that a revised and executed FE SA can be presented to the Commission on Thursday, September 29,2010. WHREFORE, Interconnect Solar requests that the Commission issue an order extending by two days, until September 29, 2011, the date by which Idaho Power and ISD resubmit their Firm Energy Sales Agreement with accurate avoided cost calculations. DATED: This ~ 1,J day of September, 2011. f¿,li L V JklsI ~L.\I~ Ronald L. Wiliams Wiliams Bradbur P.C Attorneys for Interconnect Solar Development, LLC 1 This new mode ru wil also continue to correct for the capacity escalation error previously identified. ANSWER TO STAFF'S MOTION FOR EXTENSION OF TIME, Page 2 CERTIFICATE OF SERVICE I hereby certify that on this _ day of August, 2011, a tre and correct copy of the foregoing was served by the method indicated below, and addressed to the following: Donovan E. Walker D us Mail Lead Counsel D Facsimile Idaho Power Company D Hand Delivery PO Box 70 D Overnght Mail Boise,ID 83707-0070 ~E-Mail Address E- Mail: dwalker~idahopower.com Randy C. Allphin D us Mail Energy Contract Admin.D Facsimile Idaho Power Company D Hand Delivery POBox 70 D Overnght Mail Boise,ID 83707-0070 ~E-Mail Address E- Mail: rallphin~idahopower.com Kristine A. Sasser D US Mail Deputy Attorney General D Facsimile Idaho Public Utilties Commission D Hand Delivery PO Box 83720 D Overnght Mail Boise,ID 83720-0074 ~E-Mail Address E-Mail: kris.sasser~puc.idaho.gov Randy Hemmer, Manager D US Mail Interconnect Solar Development, LLC D Facsimile 3777 Twilight Drive D Hand Delivery Boise,ID 83703 D Overnght Mail E- Mail: randyhemmer~clearre.net ~E-Mail Address fl ai L (, ~lsI ~L.\I~ ANSWER TO STAFF'S MOTION FOR EXTENSION OF TIME, Page 3