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Dean J. Miller ISB #1968
McDEVITT & MILLER LLP
420 West Bannock Street
O. Box 2564-83701
Boise, ill 83702
Tel: 208.343.7500
Fax: 208.336.6912
ioe(fYmcdevit.1:miJ ler .com
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Attorneys for Magic Wind, LLC, Cassia
Wind Farm LLC and Cassia Gulch
Wind Park LLC (Magic and Cassia)ORIGINAL
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF THE PETITION OF
IDAHO POWER COMPANY FOR AN
ORDER TEMPORARILY SUSPENDING
IDAHO POWER'S PURP A OBLIGATION TO
ENTER INTO CONTRACTS TO PURCHASE
ENERGY GENERATED BY WIND-
POWERED SMALL POWER PRODUCTION
FACILITIES.
Case No. IPC-O5-
REPLY OF MAGIC AND CASSIA
TO MOTION TO MODIFY
SCHEDULE
COME NOW Magic and Cassia, by and through their counsel, and make the
following Reply to Idaho Power Company s Motion to Modify Schedule dated July 19
2005.
INTRODUCTION
To place Idaho Power s Motion in proper context two observations are
appropriate:
First, since June 17 2005 Idaho Power Company has been operating under a self-
declared suspension of its federal PURP A obligations. During this time the normal
contracting process has been halted. (See Testimony of Jared Grover). The Magic and
Cassia projects, both of which are at important stages of development, have already been
REPLY OF MAGIC & CASSIA TO MOTION TO MODIFY SCHEDULE -
harmed by Idaho Power s unilateral suspension of its obligations. (See Testimony of
Armand Eckert, Jared Grover).
Second, Idaho Power now proposes to further extend its self declared suspension
for an indefinite period 1, without a Commission finding as to its legality or factual
necessity. Further extension of the self-declared suspension with cause further, and
perhaps irreversible, harm to the Magic and Cassia projects.
AN EXTENSION SHOULD NOT BE GRANTED UNLESS A
GRANDF A THERING" RULE IS ADOPTED AT THE SAME TIME
Two proposals for the definition of an exemption standard are in the record. Staff
recommends that any projects that have submitted a signed contract to Idaho Power
Company should be exempted from a temporary suspension of the Company s PURP A
obligations. (See Testimony of Rick Sterling). Magic and Cassia have recommended
that any projects that have submitted Interconnection Applications to Idaho Power should
be exempted. (See Brief of Magic and Cassia, dated July 15, 2005).
Both of these tests are sensible. They each provide a rational way to distinguish
between projects that are mature and those that are not. They each strike a fair balance
between allowing mature projects to proceed to completion and between concerns
however unfounded, that "too much" wind is on the horizon.
Thus, if the Commission grants the requested extension, it should at the same time
declare that any project that meets the Staff test (contract submitted) or the Magic-
1 While Idaho Power professes a willingness to proceed expeditiously, Magic and Cassia are not so sure.
this case proceeds in a workshop/settlement format, history indicates this process is time consuming and
slow to fruition. (See, for example the Commission s pending workshop proceedings with respect to
customer rules and stray voltage. http://www.puc.state.id.us/ru~kings/ican.pdi andhttp://www.puc. idaho. gov /internet/ cases/ e ~notc/200 04l.2lliIT.I.Q.E%200 f%20NEGOTIA TED%20RULEMAKING.PDF. These matters have been pending for months with little
discemable progress). If the case proceeds with traditional testimony and hearings, the prognosis is not any
better. In the last case in which the Commission addressed wind issues Us. Geothermal nine months
lapsed from start to finish. (See Order No. 29632).
REPL Y OF MAGIC & CASSIA TO MOTION TO MODIFY SCHEDULE - 2
Cassia test (application submitted) is exempt from the suspension and that the contracting
process with respect to those projects should continue, under current rules and rates.
IF AN EXEMPTION STANDARD IS NOT ESTABLISHED, THE JULY 22
HEARING SHOULD PROCEED
Magic and Cassia are willing to make reasonable accommodations to address
Idaho Power s concerns that the volume of testimony and material to be considered has
expanded beyond that which can be considered in one days time. To that end, Magic and
Cassia hereby formally waive their right to cross examine all witnesses except Company
witness Gale and Staff witness Sterling. Further, Magic and Cassia will vacate the
currently scheduled deposition of John R. Gale so as to allow Idaho Power and other
parties additional time for preparation.
CONCLUSION
Magic and Cassia respectfully request that any extension be conditioned by the
exemption from suspension as herein suggested and in the absence thereof the July 22
hearing proceed as scheduled.
Dated this day of July, 2005
Respectfully submitted
CDEVITT & MILLER LLP
Dean J. Miller
McDevitt & Miller LLP
420 W. Bannock
Boise, ID 83702
Phone: (208) 343-7500Fax: (208) 336-6912
Counsel for Magic Wind LLC, Cassia
WindFarm LLC and Cassia Gulch Wind
Park LLC
REPLY OF MAGIC & CASSIA TO MOTION TO MODIFY SCHEDULE -
CERTIFICATE OF SERVICE
I hereby certify that on the 1lL
~y
of July, 2005, I caused to be served, via themethodes) indicated below, true and correct copies of the foregoing document, upon:
Jean Jewell, Secretary
Idaho Public Utilities Commission
472 West Washington Street
O. Box 83720
Boise, ID 83720-0074
i iewell(illpuc.state.id. us
Scott Woodbury
Idaho Public Utilities Commission
472 West Washington Street
O. Box 83720
Boise, ID 83720-0074
swoodbu(illpuc. state.
Barton L. Kline
Monica B. Moen
Idaho Power Company
1221 West Idaho Street
O. Box 70
Boise, ID 83707
BKline(illidahopower .com
MMoen(illidahopower. com
Linda Nordstrom
Pacifi Corp
825 NE Multnomah, Suite 1800
Portland, OR 97232
Ii sa.norqstrom(illpacificorp. com
Fax: 503.813.7252
Bob Lively
Pacificorp
One Utah Center, 23rd Floor
201 S. Main Street
Salt Lake City, UT 84140
bob .li vel y(illpacificorp. com
Fax: 801.220.2798
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REPLY OF MAGIC & CASSIA TO MOTION TO MODIFY SCHEDULE - 4
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John R. Hammond, Jr.S. Mail
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REPLY OF MAGIC & CASSIA TO MOTION TO MODIFY SCHEDULE - 5
R. Blair Strong
Paine, Hamblen, Coffin, Brooke &
Miller LLP
717 West Sprague Ave., Suite 1200
Spokane, W A 99201-3505
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J. R. Simplot Company
Attn: David Hawk
Director, Energy Natural Resources
999 Main Street
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Boise, Idaho 83702
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REPLY OF MAGIC & CASSIA TO MOTION TO MODIFY SCHEDULE - 6