HomeMy WebLinkAbout20150701Application for Intervenor Funding.pdfBenjamin I. Otto (ID Bar # 8292)
710 N 6'h Street
Boise,ID 83701
Ph: (208) 345-6933x12
Fax (208) 344-0344
botto@idahoconservation. org
Attorney for the ldaho Conseruation League
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF IDAHO POWER
COMPANY'S PETITION TO MODIFY
TERMS AND CONDITIONS OF PURPA
PURCHASE AGREEMENTS
IN THE MATTER OF AVISTA
CORPORATION'S PETITION TO
MODIFY TERMS AND CONDITIONS OF
PURPA PURCHASE AGREEMENTS
IN THE MATTER OF ROCKY
MOUNTAIN POWER COMPANY'S
PETITION TO MODIFY TERMS AND
CONDITIONS OF PURPA PURCHASE
AGREEMENTS
CASE NO. IPC-E-I5-01
CASE NO. AVU-E-Is-OI
CASE NO. PAC-E-T5.03
IDAHO CONSERVATION TEAGUE AND
SIERRA CIUB
APPLICATION FOR INTERVENOR
FUNDING
COMES NOW, the Idaho Conservation League ("ICL") and the Sierra Club, pursuant to Idaho
Code $ 6l-617A and IDAPA 31.01.01.161-165 with the following application for intervenor
funding. ICL and Sierra Club are intervenors in this case pursuant to Order No.33222 and33239
respectively. This application is timely pursuant to the Commissions instruction at the technical
hearing to submit such applications by July 10, 2015.
I.Idaho Code S 61-617,4' and IDAPA Rule 31.01.01.161 Requirement
Avista Corporation,Idaho Power Corporation, and Rocky Mountain Power are all
regulated public utilities and each have gross Idaho intrastate, annual revenues exceeding three
ICL/SC Application for Intervenor Funding I
IPC-E-15-01; AVU-E-15-01; PAC-E-15-01 July 1,2015
million, five hundred thousand dollars ($3,500,000.00). Because the three utilities presented a
united front in this case, ICL proposes the Commission allocate the responsibility for any
intervenor funding award based on a proportional share of the total number of Idaho customers
served by each utility. See Order No. 32697 at 51.
II. IDAPA Rule 31.01 .01.162 Requirements
1. Itemized list of Expenses
The attached Exhibit A is an itemized list of expenses incurred by ICL and Sierra Club in
this proceeding. Pursuant to page 14 of Order No. 32910, Exhibit A indicates the amount of
hours spent on investigating the Application and direct testimony of Idaho Power, conducting
discovery, preparing and filing the direct and rebuttal testimony of Mr. Beachr, reviewing the
direct and rebuttal testimony of other parties and preparing for cross examination of witnesses,
responding to the Staff and Idaho Power Motions to Strike, and participating in the hearing.
2. Statement of Proposed Findings
ICL and the Sierra Club propose the Commission maintain the 2O-year contract term and
adopt a change to the contracts to include an adjustment to the energy component of the rate after
year l0 for remainder of the contract term. Also, ICL asks the Commission to grant this request
for intervener funding.
3. Statement Showing Costs
ICL and Sierra Club requests $9650 in intervenor funding, as shown in Exhibit A and
rounded down for ease ofaccounting. Both the hourly rate and hours expended are reasonable
for this complex case and in line with the current range for other intervening parties. ICL and
' Because he provided his service pro bono, ICL and Sierra Club do not request Intervenor
funding for Mr. Wenner.
ICL/SC Application for Intervenor Funding 2
IPC-E-1 5-01 ; AVU-E-1 5-01 ; PAC-E-l 5-01 July 1,2015
Sierra Club does not request any reproduction fees, although the rules so allow and the amount
of paper produced in this case was substantial. We do not request any travel costs.
This case covered a complex and technical issue and required reviewing and responding
to the fillings of all three utilities, Commission Staff, and several other parties. To uncover the
facts, we reviewed the extensive discovery requests in this docket and submitted our own
discovery. We retained a nationally recognized expert, R. Thomas Beach, to prepare direct and
rebuffal testimony and appear at the technical hearing.2 We prepared a response to Staff and
Idaho Power's Motion to Strike Mr. Wenner's testimony. Council for ICL was an active
participant in the technical hearing. For each of these efforts we endeavored to limit the number
of hours expended to the maximum extent possible. We request an hourly rate for both counsel
and Mr. Beach that is in line with Order No. 32846. ICL dedicated far more hours than reflected
in the Cost Statement and the rate we request for Mr. Beach is only 60% of his hourly rate. For
all these reasons our request is reasonable.
4. Explanation of Cost Statement
ICL and Sierra Club are both nonprofit organizations supported solely through charitable
donations from our members and foundations. In this proceeding, we represent our members and
supporters who are ratepayers of all three Idaho investor owned utilities, as well as those who
have an interest in promoting renewable energy throughout Idaho. To provide consistent,
professional, and impactful advocacy for our members and supporters ICL and dedicated a full-
time, highly trained staff member to work solely on energy issues. The cost of employing and
training this staff member is a significant financial commitment for a charitable organization.
Because of the complexity of the issues, and to present the Commission with the best possible
'Mr Wenner provided his services pro bono so we do not request funding for his time.
ICL/SC Application for Intervenor Funding 3
IPC-E-15-01; AVU-E-15-01; PAC-E-15-01 July 1,2015
evidence, we retained the services of nationally known experts in the field. To keep costs
reasonable we were able to secure Mr. Wenner's assistance pro bono and negotiated a substantial
discount from Mr. Beach's normal rate. Because charitable contributions are inherently unstable,
the availability of intervener funding is essential for ICL and the Sierra Club to participate in
these proceedings. Our groups have no pecuniary interest in the outcome of this case; rather we
dedicated our time and resources to represent the interests of our 25,000 supporters around the
state who have a strong interest in a robust clean energy industry in Idaho.
5. Statement of Difference
ICL and Sierra Club's proposed findings are materially different than the Staff, who take
the position that all long-term avoided cost forecasts are inaccurate, that fixed price contract do
not benefit customers, and propose a five year contract term. Our direct and rebuttal testimony,
explains the outlines of PURPA's requirements, the benefit to ratepayers of long-term, fixed
price contracts, and we propose a solution to balance the reasonable implementation of PUPRA
with protecting ratepayers. We further illuminated this material difference at the hearing during
cross-examination and closing statements. Our participation provides a detailed counterpoint to
the Staff position in this case so that the Commission has a complete and robust record on which
to base it's decision.
6. Statement of Recommendation
ICL and Sierra Club's proposed findings address issues of concem for all customers of all
three Idaho investor owned utilities. All customers, regardless of class, share a strong interest in
ensuring Idaho utilities acquire power pursuant to rules and methodologies that are fair, accurate,
and conform to applicable laws. Accordingly, our participation in the case outlines the
ICL/SC Application for Intervenor Funding
IPC-E-1 5-01 ; AVU-E-1 5-01 ; PAC-E-l 5-01 July 1,2015
Commission's discretion when implementing the PURPA law and regulations, the accuracy of
the current avoided cost model, and the benefits to customers of long-term, fixed price contracts.
Our final recommendation is designed the balance the competing interests embodied in
PURPA----encouraging the development of qualiffing facilities while ensuring all customers pay
accurate costs for energy and capacity. Our organizations do not have a monetary interest in
developing qualifuing facilities; rather we participated in this case to raise issues that concern all
customers--ensuring a proper and fair implementation of PURPA.
7. Statement Showing Class of Customer
Our individual members and supporters are residential and small commercial customers
of all thee Idatro investor owned utilities.
WHEREFORE,ICL respectfully requests the Commission grant this application.
DATED this lst day of |uly 2015.
Respe
Benjamin J. Otto
Idaho Conservation League
ICL/SC Application for Intervenor Funding
IPC-E-l 5-01 ; AVU-E-1 5-01 ; PAC-E- I 5-01
ully submitted,
July 1,2015
Exhibit A
Cost Statement for Idaho Conservation League and Sierra Club
Investigating Idaho Power's application and direct testimony
Reviewing the direct and rebuttal testimony of other parties, prepare cross
Benjamin J Otto (council for ICL): 2.5 hours @ $135
R Thomas Beach: 1.5 hours @ $135
Reviewing discovery by all parties, drafting ICL/SC discovery
Benjamin J Otto (council for ICL): 4.5 hours @ $135
R. Thomas Beach:2.5 hours @ $135
Preparing and filing the direct and rebuttal testimony of Mr. Beach
Benjamin J Otto (council for ICL): 2.5 hours @ $135
R. Thomas Beach: 36 hours @ $135
Benjamin J Otto (council for ICL): 6.5 hours @ $135
R. Thomas Beach: 2.5 hours @ $135
Responding to the Staff and Idaho Power motions to strike
Benjamin J Otto (council for ICL): 4 hours @ $135
Participating in the technical hearing of June 29 - 30
ICL/SC Application for Intervenor Funding
IPC-E-l 5-01 ; AVU-E-l 5-01 ; PAC-E-15-01
$337.s0
$202.s0
$607.s0
$337.s0
$337.s0
$4860.00
$877.s0
$202.s0
$540.00
Benjamin J Otto (council for ICL): l0 hours @ $t:S $1350.00
Total: $9652.50
July 1,2015
CERTIFICATE OF SERVICE
I hereby certiry that on this lst day of )uly 20I5,I delivered true and correct copies of the
APPLICATION FOR INTERVENOR FUNDING on behalf of the Idaho Conservation League
and the Sierra Club the following persons via the method of service noted:
Hand Delivery:
Yvonne.hogel @pacifi corp. com
Ted.weston@pacifi corp.com
datarequest@pacificorp. com
J.R. Simplot Corp & Clearwater Paper
Peter J. Richardson
Gregory M. Adams
Richardson Adams, PLLC
515 N. 27th Street
Boise,lD 83702
peter@richardsonadams. com
greg@richardsonadmas. com
Dr. Don Reading
6070 Hill Road
Boise,ID 83703
dreading@mindspring. com
Carol Haugen, Clearwater Paper
Carol.haugen@clearwater. com
Twin Falls Canal, Northside Canal,
American Falls Reservoir District No 2.
C. Tom Arkoosh
Arkoosh Law Offices
802 W. Bannock St Ste. 900
P.O. Box 2900
Boise,ID 83701
Tom. arkoo sh@arkoosh. com
Erin.cecil@arkoosh.com
Intermountain Energt P artners
Dean J. Miller
McDevitt & Miller LLP
420W. Bannock Street
PO Box 2564-83701
Boise,lD 83702
j oe@mcdevitt-miller.com
Jean Jewell
Commission Secretary
Idaho Public Utilities Commission
42TW.Washington St.
Boise,ID 83702-5983
(Original and seven copies provided)
Electronic Mail:
Idaho Power
Donovan E. Walker
Regulatory Dockets
Idaho Power Company
l22l West Idaho Street
P.O. Box 70
Boise, ID 83707
dwalker@idahopower. com
dockets@idahopower. com
Avista
Michael G. Andrea, Senior Counsel
Clint Kalich
Avista Corporation
1411 E. Mission Ave, MSC-23
Spokane, WA99202
Michael. andrea@avistacorp. com
Clint.kalish@avistacorp. com
Roclqt Mountain Power
Yvonne R. Hogle
Daniel Solander
Ted Weston
Rocky Mountain Power
201 S. Main Street, Ste 2400
Salt Lake Ciry, UT 84111
Daniel. solander@pacifi corp. com
Leif Elgethun, PE, LLE AP
Intermountain Energy Partners
PO Box 7354
Boise, lD 83707
leif@sitebasedenergy. com
Idaho lrrigation Pumpers Association
Eric L. Olsen
Racine, Olson, Nye, Budge & Bailey,
Chartered
P.O. Box 1391
201E. Center
Pocatello, lD 83204
elo@racinelaw.net
Anthony Yankel
29814 Lake Road
Bay Village, OH 44140
tony@yankel.net
Micron Technologlt
Richard Malmgren
Assistant General Counsel
Micron Technology Inc.
800 South Federal Way
Boise,ID 83716
remalmgren@micron.com
Frederick I Schmidt
Pamela S Howland
Holland & Hart LLP
377 S. Nevada St.
Carson City, NV 89703
fschmidt@hollandhart. com
phowland@holandhart. com
Amalgamated Sugar
Scott Dale Blickenstaff
Amalgamated Sugar Co LLC
1651 S. Saturn Way, STE 100
Boise, Idaho 83702
sblickenstaff@amalsugar. com
Ren ew able En er gy C o aliti o n
Ronald L. Williams
Williams Bradbury, P.C.
1015 W. Hays St.
Boise,Idaho 83702
ron@williamsbradb ury. com
Irion Sanger
Sanger law, P.C.
1117 SW 53'd Avenue
Portland, OR972l5
irion@sinager-law.com
Agpower DCD, LLC and Agpower Jerome,
LLC,
Andrew Iackura
Sr. Vice President North America
Development
Camco Clean Energy
9360 Station Street. Suite 375
Lone Tree, CO 80124
Andrew. j ackura@camcocleanenergy. com
Dean J. Miller
McDevitt & Miller LLP
420W. Bannock Street
PO Box 2564-83701
Boise,lD 83702
j oe @mcdevitt-miller. com
EcoPlexus,Inc
John R. Hammond,lr.
Fisher Pusch LLP
101 s. capitol Blvd., suite 701
Boise ID 83702
jrh@fischerpusch.com
Iohn Gorman
Ecoplexus,Inc.
650 Townsend Street, Suite 310
San Fransisco, CA 94103
johng@ecoplexus.com
Benjamin I. Otto