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HomeMy WebLinkAbout20110421Objection to Request for Oral Argument.pdfesIDA~POR(I R.... ECFI\lf:'\ .' ". _... 'I 0.'''-_An IDACORP Company DONOVAN E. WALKER Lead Counsel dwalker(âidahopower.com H. 12.: 30 April 21, 2011 VIA HAND DELIVERY Jean D. Jewell, Secretary Idaho Public Utilties Commission 472 West Washington Street P.O. Box 83720 Boise, Idaho 83720-0074 Re: Case No. IPC-E-10-62 IN THE MATTER OF THE APPLICATION OF IDAHO POWER COMPANY FOR A DETERMINATION REGARDING A FIRM ENERGY SALES AGREEMENT BETWEEN IDAHO POWER AND GROUSE CREEK WIND PARK ", LLC Dear Ms. Jewell: Enclosed for filng please find an original and seven (7) copies of Idaho Power Company's Objection to Request for Oral Argument in the above matter. vVu- DEW:csb Enclosures 1221 W. Idaho St. (83702) P.O. Box 70 Boise, ID 83707 DONOVAN E. WALKER (ISB No. 5921) JASON B. WILLIAMS Idaho Power Company P.O. Box 70 Boise, Idaho 83707 Telephone: (208) 388-5317 Facsimile: (208) 388-6936 dwalkercæidahopower.com jwilliamsCâidahopower.com Attorneys for Idaho Power Company Street Address for Express Mail: 1221 West Idaho Street Boise, Idaho 83702 RECEIVED 20ri APR 2/ PM r2: 30 BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION OF IDAHO POWER COMPANY FOR A DETERMINATION REGARDING A FIRM ENERGY SALES AGREEMENT BETWEEN IDAHO POWER AND GROUSE CREEK WIND PARK, LLC IN THE MATTER OF THE APPLICATION OF IDAHO POWER COMPANY FOR A DETERMINATION REGARDING A FIRM ENERGY SALES AGREEMENT BETWEEN IDAHO POWER AND GROUSE CREEK WIND PARK II, LLC ) ) CASE NO. IPC-E-10-61 ) ) IDAHO POWER COMPANY'S ) OBJECTION TO REQUEST FOR ) ORAL ARGUMENT ) ) ) CASE NO. IPC-E-10-62 ) ) IDAHO POWER COMPANY'S ) OBJECTION TO REQUEST FOR ) ORAL ARGUMENT ) Idaho Power Company ("Idaho Powet'), in response to the Motion to Set Time for Oral Argument filed on April 7, 2011, by Grouse Creek Wind Park, LLC, and Grouse Creek Wind Park II, LLC (collectively "Grouse Creek"), hereby respectfully objects to Grouse Creek's Motion. Oral argument is not necessary in these proceedings. Grouse Creek did not request a hearing nor oral argument within the comment deadline. As IDAHO POWER COMPANY'S OBJECTION TO REQUEST FOR ORAL ARGUMENT - 1 described below, Grouse Creek has not alleged a sufficient basis requiring oral argument. The Commission ordered that these matters be processed pursuant to Idaho Public Utilities Commission ("Commission") Rules of Procedure 201 through 204, the Commission's rules on Modified Procedure. Order No. 32191. Order No. 32191 set forth March 24, 2011, as the deadline for comments and any request for a hearing and March 31, 2011, as the deadline for Idaho Power to file reply comments. Comments were filed by Commission Staff and by Grouse Creek within the comment deadline. Idaho Power filed Reply Comments by the reply comment deadline. The Commission found preliminarily that the public interest may not require a hearing to consider the issues presented in these matters and that the proceeding may be processed under Modified Procedure; Le., by written submission rather than by hearing. RP 201. Under Modified Procedure, "Persons desiring a hearing must specifically request a hearing in their written protests or comments." RP 203. "If protests, supports, comments or a reply are filed within the deadlines, the Commission wil consider them and may set the matter for hearing or may decide the matter and issue its order on the basis of the written positions before it." RP 204. Grouse Creek submitted lengthy Comments in these proceedings. It did not, however, request a hearing either in its Comments or subsequently. Instead Grouse Creek, two weeks after the comment deadline, has requested oral argument. The basis of its request for oral argument is the allegation that there are inconsistencies with statements of fact made by Idaho Power in its Reply Comments and the Comments submitted by Grouse Creek and suggests that, "Because the records in these cases are IDAHO POWER COMPANY'S OBJECTION TO REQUEST FOR ORAL ARGUMENT - 2 lengthy and Idaho Power appears to interpret the evidence different than the Grouse Creek QFs, the Grouse Creek QFs submit that it would be beneficial for the Commission to hold oral argument in these cases." Resolving disputed factual issues is a legitimate, proper, and necessary function of the Commission that it is well equipped and authorized to do, even for cases processed pursuant the Commission's rules on Modified Procedure. Oral argument is not the proper vehicle for the submission of factual evidence, and is not necessary in these matters. These cases are being processed under Modified Procedure, and the comment deadline has passed with no requests for a hearing or oral argument. Grouse Creek has made a lengthy submission on behalf of the projects, and Staff and the Company have also filed comments. There is no need for oral argument, certainly not solely to resolve disputed issues of fact in the written record. The Commission should render its decision in these matters based upon the written record pursuant to its rules on Modified Procedure. DATED at Boise, Idaho, this 21st day of April 2011. ~a/~~WÃlER Attorney for Idaho Power Company IDAHO POWER COMPANY'S OBJECTION TO REQUEST FOR ORAL ARGUMENT - 3 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on the 21 st day of April 2011 I served a true and correct copy of IDAHO POWER COMPANY'S OBJECTION TO REQUEST FOR ORAL ARGUMENT upon the following named parties by the method indicated below, and addressed to the following: . Commission Staff Kristine Sasser Deputy Attorney General Idaho Public Utilties Commission 472 West Washington P.O. Box 83720 Boise, Idaho 83720-0074 Grouse Creek Wind Park, LLCs Brett Woodard Wasatch Wind Intermountain, LLC 2700 Homestead Road, Suite 210 Park City, Utah 84098 Peter J. Richardson Gregory M. Adams RICHARDSON & O'LEARY, PLLC 515 North 2th Street P.O. Box 7218 Boise, Idaho 83702 -2 Hand Delivered U.S. Mail _ Overnight Mail FAX -2 Email Kris.SasserCâpuc.idaho.gov Hand Delivered -2 U.S. Mail _ Overnight Mail FAX -2 Email bwoodardcæwasatchwind.com Hand Delivered -2 U.S. Mail _ Overnight Mail FAX -2 Email peterCârichardsonandolearv.com gregCârichardsonandoleary.com c6?w~Donovan E. Walker ~ IDAHO POWER COMPANY'S OBJECTION TO REQUEST FOR ORAL ARGUMENT - 4