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HomeMy WebLinkAbout20191231Application.pdfjErtsra Avista Corp. l4l1 East Mission P.O. Box 3727 Spokane. Washington 99220-0500 Telephone 509-489-0500 Toll Free 800-727-9110 December 30, 2019 .',., =Oc'i mt,:(-)m?:m (f -cnt\) Diane Hanian, Commission Secretary Idaho Public Utilities Commission P O Box 83720 Boise, ID 83720-0074 RE: Application of Avista Corporation for an Accounting Order Authorizing Accounting Treatment of Costs Related to AFUDC (Allowance for Funds Used During Construction). Dcar Ms. Hanian: Enclosed is an original and seven (7) copies of Avista's Application for an Accounting Order Authorizing Accounting Treatment of Costs Related to AFUDC (Allowance for Funds Used During Construction). Please direct any questions on this matter to Elizabeth Andrews at (509) 495-8601 or myself at (50e) 49s-8620. P Ehrbar Director of Regulatory Affairs Avista Utilities pat.ehrbar(d.avistacorp.com s09-495-8620 Enclosures DAVID J. MEYI]R VICE PRESIDENT AND CHIEF COUNSEL FOR REGULAI'ORY AND GOVERNMENTAL AFFAIRS AVISTA CORPORATION P.O.BOX3-127 I411 EAST MISSION AVENUE SPOKANE, WASHINGTON 99220-37 27 TELEPHONE: (509) 495-43 I 6 david.mevcr/davistacorp.com BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN TIIIr MATTER OF l'HE APPLICATION OF' AVISI'A CORPORATION, D/BiA AVISTA UTILITIES FOR AN ACCOUNTINC ORDER AUTHOzuZING ACCOLINl'ING AND RATEMAKING TREAI'MENT OI AFUDC (ALLOWANCE FOR FLTNDS USI-]D DURING coNSTRUC frON) ) ) ) ) ) ) ) CASE NO, AVU-E-19. I' CASE NO. AVU-G-19. O ? APPLICATION OF AVISTA CORPORAIION 2 3 4 5 6 7 8 9 I. INTRODUCTION Avista Corporation, doing business as Avista Utilities (hereinafter "Avista" or "Company"), at l4l I East Mission Avenue. Spokane, Washinglon. pursuant to Section 61- 524 Idaho Code and Rule 52 of the ldaho Public Utilities Commission ("Commission Rules of Procedure"), hereby applies to the Commission for an order authorizing the accounting and ratemaking treatment detailed in this Application related to a portion of its calculated Allowance for F'unds Used During Construction (*AFUDC'). The Company filed an accounting application related to AFUDC on February 1, 2019. which the Commission approved on May 2,2019 (Order No. 34326 in Docket Nos. AVU-E- 19-02 and AVU-G-19-01). In that application, the Company requested approval to defer costs related to AFUDC, for both the difference calculated between using the State AFUDC rate and the FERC AFUDC rate as a regulatory asset (i.e. FERC Account No. 182.3) and for federal income taxes associated with AFUDC. In that filing, the Company had only requested to del-er the difference between the State and FERC AFUDC rate lor 2018 and going forward. This application seeks approval to reclassily a porlion ofAFUDC calculated beginning in 2010 and through 2017, based on recommendations ofFERC. Avista is a utilily that provides service to approximately 387,000 electric customers and 251,000 natural gas customers in a 26,000 square-mile area in eastern Washington and northem ldaho. Avista Utilities also serves approximately 103,000 natural gas customers in Oregon. The largest community served by Avista is Spokane, Washinglon, which is the location of its main officc. Pursuant to Commission Rule of Procedure 201, the Company requests that this filing be processed under the Commission's rules for Modified Procedure. Application of Avista Corporation CaseNo. AVU-E-I9- & AVU-G-I9- l0 ll 12 l3 t4 l5 l6 t7 l8 l9 20 2l 22 .:J Pagc I I Communications in rel'erencc to this Application should bc addressed to: 2 J 4 5 6 7I 9 l0 11 David J. Meyer, Esq. Vice President and ChicfCounsel for Regulatory & Govemmental Affairs P. O. Box372'7 l4l I E. Mission Avenue, MSC l3 Spokane. Washington 99220-37 27 Telephone: (509) 495-4316 Facsimile: (509)495-8851 E-mai l : david. meyel?)Etlistacorp.oon Patrick Ehrbar Director of Regulatory Affairs Avista Corporation P. O.Box3727 14l I E. Mission Avenue, MSC 27 Spokane, Washington 99220 -37 27 Telephone: (509) 495-8620 Facsimile: (509)495-8851 E-mail lrick.ehrhar(z vlstaco c0lI t2 l3 t4 l5 16 III. BACKGROUND The Federal Energy Regulatory Commission (FERC) notilied Avista in December 2017 that they would be auditing the Company's compliance with Form I and 3-Q, and accounting requirements ofthe Uniform System of Accounts under CFR part 101. During the course of the audit (which was completed in September 2019), FERC staff made recommendations regarding the recording of AFUDC and the tax treatment of the equity Application of Avista Corporation Case No. AVU-E-I9- & AVU-C-I9- t7 18 l9 20 2t 22 23 25 26 27 24 28 Page 2 II. SUMMARY OF APPLICATION Avista requests Commission approval to def'er a portion of the costs related to AFUDC, as follows: For the period January l, 2010 through December 3l , 2017, authorize the Company to defer the AFUDC dillerence calculated between using the State AFUDC rate and the FERC AFUDC rate as a regulatory asset (i.e. FERC Account No. 182.3), which would be included in rate base, and amortize this regulatory asset over the composite remaining lifb olthe plant-in-service, as described in this Application. This proposed treatment would result in no impact to overall rate base, nor impact present customers' rates. I component ol AFUDC. Based on those discussions, thc Company implemented revised accounting in 2018 lbr AFUDC. The Commission approved the revised accounting on May 2,2019 (Order No. 34326). Thc order stated the following: "We have reviewed the Application and the comments of Commission Staff. Based on our review, we find it reasonable to approve the Application. There will be no impact on the Company's overall rate base, and the move will align the Company's practices with FERC procedures." In the Company's original filing, the Company stated that as Avista was still under audit by FERC, no adjustmenls had been agreed upon or made for years prior to 2018 for either item identified by FERC. Avista submits this second Application to comply with a recommendation that FERC made in its final audit report dated September 19, 2019. included as Exhibit l. FERC has recommended that Avista reclassily a portion ofAFUDC recorded from January I , 2010 going forward from plant rate base (FERC Account No. l0l - Plant in Service) to a regulatory asset rate base (FERC Account No. 182.3 - Regulatory Asset (AFUDC)). 2 3 4 5 6 7 8 9 10 ll 12 l3 14 t5 l6 't7 l8 l9 20 21 22 IV.EXPLANATION OF DEFERRAL AND PROPOSED ACCOUNTING TREATMENT AFUDC represents the cost olboth the debt and equity funds used to finance utility plant additions during the construction period. As prescribed by regulatory authorities. AFUDC is capitalized, during construction, as part of the cost of utility plant. The offsetting entries are recorded in the income statement as follows: a) the debt component of AFUDC is credited to FERC Account No. 432 - Allowance for Borrowed Funds Used During Construction and b) the equity component of AFUDC is credited to FERC Account No. 419.I - Allowance for Other Funds Used During Construction. -fhe Company is Application of Avista Corporation Case No. AVU-E-I9- & AVU-G-I9- 23 24 25 26 27 28 Page 3 2 J 4 5 6 7 8 9 permitted, under established regulatory practices, to recover the capitalized AFUDC through its inclusion in rate base and the provision for depreciation after the related utility plant is placed in service. Avista capitalizes AFUDC in Washington, Idaho and Oregon on a monthly basis using the Washington Utilities and 'l'ransportation Commission (WUTC) approved Rate of Retum (ROR) lrom the most recent general rate case.l The most recent approved ROR (7.50%) was from the 2017 general rate case (Docket Nos. UE-I70485 and UG-170486) effective May 1,2018. On the other hand, the AFUDC FERC rate (6.l2Yo tor 2018) is calculated based on guidance in the Uniform System of Accounts under CFR part 101. FERC has indicated that if the FERC AF-UDC rate is different than the state approved rate, the AFUDC capitalized should be split between utility plant and regulatory asset. The amount capitalized in utility plant would be based on the FERC AFUDC rate. The amount included in the regulatory asset would be the difference belween the State AFUDC rate (currently 7.50%) and the FERC AFUDC rate (6.12o/o for 2018). Using the proposed accounting described above, the Company's level of rate base and depreciation/amortization expense does not change. Based on the recommendations by FERC in the Audit Report, Exhibit l, at page 26, the Company has recalculated the AFUDC amounts from January I, 2010 through December 3l, 2017 to determine the amount of excess AFUDC that had been capitalized using the state AFUDC rate over as compared to the FERC rate. On a system basis, this amount is approximately $37.7 million. After adjusting for accumulated depreciation, the Company would transfer approximately $32.8 million fiom plant rate base (FERC Account No. 101 - Plant in I The use of Avista's ROR authorized by the Washington Commission, its majorjurisdiction, as the AFUDC rate has been consistently used in ldaho since the 1980's. Application of Avista Corporation Case No. AVU-E-I9- & AVU-G-I9- 10 ll t2 13 14 l5 16 t7 l8 l9 20 21 22 Page 4 1 2 3 4 5 6 7 8 9 Service) to a regulatory asset rate base (FERC Account No. 182.3 - Regulatory Asset (AFUDC)).2 V. REQUEST FORRELIEF WHEREFORE, Avista respectfully requests that the Commission issue an Order approving the requested defbrred accounting and ratemaking treatment, as follows: For the period January 1, 2010 through December 31,2017, authorize the Company to defer the AFUDC difference calculated between using the state AFUDC rate and the FERC AFUDC rate as a regulatory asset (i.e. FERC Account No. 182.3), which would be included in rate base, and amortize this regulatory asset over the composite remaining life ofthe plant-in-service, as described in this Application. The Company requests that the matter be processed under the Commission's Modified Procedure rules through the use of written comments. DATED at Spokane, Washington, this 30th day ofDecember 2019. AVIS'fA CORPORATION By Patrick Ehrbar Director of Regulatory Attairs Avista Corp r ldaho electric share is approximately 58.5 million and ldaho natural gas share is approximately $0.8 million Application of Avista Corporation Case No. AVU-E-l9- & AVU-G-I9- l0 ll 12 13 14 15 l6 t7 Iu 19 20 2t 22 Page 5 VERIFICATION STAI.U OI WASIIIN(iTON ) ) County ofSpokanc ) Patrick Ehrbar, being duly sworn, on oath deposes and says: That he is the Director of Regulatory Atlairs of Avista Corporation; That he has read the foregoing Application, knows the contents thereof, and believes the same to be true. Patrick Ehrbar Subscribed and sworn to before me this 30th dav of December. 2019. Notary Public in and fbr the State Washington, residing in Spokane Application of Avista Corporation Case No. AVU-E-19- & AVU-G-I9- lr