HomeMy WebLinkAbout20050912Answer to IPC petitions.pdfDean J. Miller ISB #1968
McDEVITI & MILLER LLP
420 West Bannock Street
O. Box 2564-83701
Boise, ill 83702
Tel: 208.343.7500
Fax: 208.336.6912
oe~mcdevitt -miller .com
C~CEI\/ED
liED
---
f1m: ('
~p : ..j
1\) ..) L. ! t' ! i
In I.jU j)UfiLIC
J r l LIT IE s eD r'1/"'11 S S ION
Attorneys for Magic Wind, LLC
Cassia Wind Park LLC and
Cassia Wind LLC
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-
ANSWER TO PETITIONS OF
IDAHO POWER COMPANY FOR
RECONSIDERATION AND FOR
STAY
COME NOW, Magic Wind LLC, Cassia Wind Park LLC, Cassia Wind LLC (collectively
Magic and Cassia ), pursuant to IPUCRP 331., and Answer the Petitions of Idaho Power
Company ("Idaho Power
, "
IPCo ) for Reconsideration and for Stay as follows, to wit:
Petition for Reconsideration.
Idaho Power s Petition does not add any thing to the record with respect to the legal
issues associated with exemption standards, but merely concurs in the views expressed in the
Staff Petition for Reconsideration dated August 31 , 2005. "Idaho Power will not repeat in this
Petition all of the legal citations already presented in the Staffs Petitions." (Petition, pg. 3).
ANSWER TO PETITIONS OF IDAHO POWER COMPANY FOR RECONSIDERATION AND FOR STAY -
Accordingly, Magic and Cassia will not repeat here their demonstration of the error in
Staffs reasoning. In their Answers to the Windland Petition and the Staff Petition, Magic and
Cassia demonstrated that the exemption standard employed in change-of-rate cases was legally
permissible in those circumstances, but is not legally required in this case involving change-of-
eligibility criteria.
As a regulatory body, the Commission is not bound by the doctrine of stare decisis in the
same way courts of law are:
Because regulatory bodies perform legislative as well as judicial functions in their
proceedings, they are not so rigorously bound by the doctrine of stare decisis that
they must decide all future cases in the same way as they have decided similar
cases in the past. Intermountain Gas Co. v. Idaho Pub. Uti!. Comm 'n, 97 Idaho
113, 119, 540 P.2d 775 , 781 (1975). Rosebud Enterprises v. Idaho pub. Uti!.
Comm '128 Idaho 609, 917 P.2d 766 (1996).
Where good reasons exist, the Commission has the flexibility to adopt different policies for
different circumstances. And, as also demonstrated in Magic and Cassia s Answers to the
Windland and Staff Petitions, good reasons exist for the adoption of a different standard from
that applicable to change-of-rate cases.
With respect to the threshold criteria of submission of an interconnection application, the
Idaho Power Petition makes an assertion of fact that is not supported by and is contradicted by
the record. The Petition states
, "
Submittal of a request for an interconnection study is only the
first step in the interconnection process." (IPCo Petition, pg. 5). In fact, submission of an
interconnection application is not just the "first step" in the interconnection process. It has
greater significance. Exhibit 605 , received in evidence at the evidentiary hearing, is an Idaho
Power Company publication that provides information to potential interconnectors. It describes
the interconnection application this way:
ANSWER TO PETITIONS OF IDAHO POWER COMPANY FOR RECONSIDERATION AND FOR STAY -
Receipt of the completed application and the associated fee will be considered
the official notification to Idaho Power Company of your intention tointerconnect." (Emphasis added).
Idaho Power publishes on its website, in summary form, a list of projects that have submitted
interconnection applications, presumably so that other potential interconnectors can know where
they stand "in the queue" of projects seeking to interconnect. (Tr., pg. 78).
Thus, submission of an interconnection application is not simply an incidental "
first step
in the interconnection process. It is considered by
IPCo as the official notification of intent to
interconnect. It becomes the basis for notification to the public of the amount of capacity IPCo
considers being committed for supply to IPCo.
And, in Exhibit 603, IPCo s Answer to Magic and Cassia Discovery Requests, Idaho
Power indicated that the amount of capacity represented by interconnection applications for
projects less that 20 mw, as of the date oflPCo s Petition, was 79.07 mw. This is hardly a
deluge" when compared to IPCo' s plans to add 940 mw over a ten year period or when
compared to IPCo s system name place capacity of3 000 mw. (Exhibit 604, Tr., Pg. 78-79).
Finally, submission of an interconnection application must be accompanied by payment
of a substantial fee, providing further indication of a project's serious intent to proceed. (Exhibit
605).
For these reasons, the Commission s selection of submission of an interconnection
application as a threshold criterion is reasonable and should be retained.
Submission of an
application is not just a "first step . It is an official notification of intent. It becomes the basis for
public notification of the amount of committed capacity. It would produce a class of exempt
projects that is not large. It is strong evidence of serious intent to proceed.
ANSWER TO PETITIONS OF IDAHO POWER COMPANY FOR RECONSIDERATION AND FOR STAY -
Petition to Stay
Because, as demonstrated above, IPCo s Petition for Reconsideration is without merit, it
follows that the Petition to Stay should also be denied.
DATED this \-t.day of September, 2005.
Respectfull y submitted
Dean J. Mi
McDevitt & Miller LLP
420 W. Bannock
Boise, ID 83702
Phone: (208) 343-7500Fax: (208) 336-6912
Counsel for Magic Wind LLC
Cassia Wind Park LLC and
Cassia Wind LLC
ANSWER TO PETITIONS OF IDAHO POWER COMPANY FOR RECONSIDERATION AND FOR STAY -
CERTIFICATE OF SERVICE
I hereby certify that on the Itt!Lrtay of September, 2005, I caused to be served, via themethod(s) 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~puc.state.id. us
Hand Delivered
S. Mail
Fax
Fed. Express
Email
Scott Woodbury
Idaho Public Utilities Commission
472 West Washington Street
O. Box 83720
Boise, ID 83720-0074
swoodbu~puc.state.
Hand Delivered
S. Mail
Fax
Fed. Express
Email
Barton L. Kline
Monica B. Moen
Idaho Power Company
1221 West Idaho Street
O. Box 70
Boise, ID 83707
BKline(~jdahopow er. com
MMoen~idahopower. com
Hand Delivered
S. Mail
Fax
Fed. Express
Email
Linda Nordstrom
PacifiCorp
825 NE Multnomah, Suite 1800
Portland, OR 97232
Fax: 503.813.7252
lisa.nordstrom~paci fi corp. com
Hand Delivered
S. Mail
Fax
Fed. Express
Email
Bob Lively
Pacificorp
One Utah Center, 23rd Floor
201 S. Main Street
Salt Lake City, UT 84140
Fax: 801.220.2798
bob .livel v~pacificorp. com
Hand Delivered
S. Mail
Fax
Fed. Express
Email
'-A
'-A
'-A
'-A
'-A
'-A
vf""-S
'-A
'-A
'-A
'-A
'-A
'-A
'-A
ANSWER TO PETITIONS OF IDAHO POWER COMPANY FOR RECONSIDERATION AND FOR STAY -
William J. Batt
John R. Hammond, Jr.
Batt & Fisher, LLP
U S Bank Plaza, 5th Floor
101 South Capital Boulevard
O. Box 1308
Boise, ID 83701
Fax: 208.331.2400
irhcmbattfisher.com
wibcmbattfisher. com
Hand Delivered
S. Mail
Fax
Fed. Express
Email
Michael Heckler
Director of Marketing & Development
W indland Incorporated
7669 West Riverside Drive, Suite 102
Boise, ID 83714
Fax: 208.375.2894
mheckl ercmwindland. com
Hand Delivered
S. Mail
Fax
Fed. Express
Email
Peter J. Richardson
James T. Carkulis
Richardson & O'Leary PLLC
99 East State Street
O. Box 1849
Eagle, ID 83616
Fax: 208.938.7904
peter~ri chardsonando I eary. com
Hand Delivered
S. Mail
Fax
Fed. Express
Email
Glenn Ikemoto
Principal
Energy Vision, LLC
672 Blair Avenue
Piedmont, CA 94611
Fax: 510.217.2239
gJenni~pacbell.net
Hand Delivered
S. Mail
Fax
Fed. Express
Email
'-A
'-A
'-A
'-A
'-A
'-A
'-A
'-A
'-A
ANSWER TO PETITIONS OF IDAHO POWER COMPANY FOR RECONSIDERATION AND FOR STAY -
Richard L. Storro
Director, Power Supply
and David Meyer
1411 E. Mission Ave.
O. Box 3727, MSC- 7
Spokane, W A 99220-3727
Fax: 509.495.4272
di ck. storro~avistacorp. com
da vid.mever~avistacorp. com
Hand Delivered
S. Mail
Fax
Fed. Express
Email
R. Blair Strong
Paine, Hamblen, Coffin, Brooke &
Miller LLP
717 West Sprague Ave., Suite 1200
Spokane, W A 99201-3505
Fax: 509.838.0007
r. blair. strong~painehamblen. com
Hand Delivered
S. Mail
Fax
Fed. Express
Email
J. R. Simplot Company
Attn: David Hawk
Director, Energy Natural Resources
999 Main Street
P. O. Box 27
Boise, Idaho 83702
(208) 389-7306
Fax: (208) 389-7333
dhawk~simplot.com
Hand Delivered
S. Mail
Fax
Fed. Express
Email
R. Scott Pasley
Assistant General Counsel
J. R. Simp lot Company
999 Main Street
Box27
Boise, Idaho 83702
(208) 389-7321
(208) 389-7464 telefax
IDJaslev~simplot.com
Hand Delivered
S. Mail
Fax
Fed. Express
Email
'-A
'-A
'-A
'-A
'-A
'-A
'-A
'-A
'-A
'-A
'-A
ANSWER TO PETITIONS OF IDAHO POWER COMPANY FOR RECONSIDERATION AND FOR STAY -
William M. Eddie
Advocates for the West
O. Box 1612
Boise, ID 83701
billeddie~rmci.net
Hand Delivered
S. Mail
Fax
Fed. Express
Email
'-A
'-A
'-A
'-A
ANSWER TO PETITIONS OF IDAHO POWER COMPANY FOR RECONSIDERATION AND FOR STAY -