HomeMy WebLinkAbout20150225Cross Petition for Clarification.pdfWilliams Bradb,rry
ATTORNEYS ATLAW
February 25,2015
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Ms. Jean Jewell
Commission Secretary
Idaho Public Utilities Commission
472W. Washington
Boise,lD 83702
Re: IPC-E-15-01
Dear Ms. Jewell:
Enclosed please find an original and seven copies of Cross Petition for Clarification of
Renewable Energy Coalition for filing in the above referenced docket.
Please call should you have any questions.
Sincerelv.flil^t:
Ronald L. Williams
RLWjr
Enclosures
cc: Service List
1015 !7, Hays Steet - Boise, lD 83702
Phone: 208-344-6633 - Fax: 208-344-0077 - wrtrw.udlliamsbradbury.com
Ronald L. Williams,ISB No. 3034
Williams Bradbury, P.C.
l0l5 W. Hays St.
Boise LD,83702
Telephone: 208-344-6633
Fax: 208-344-0077
ron@williamsbradbury. com
Irion Sanger
Applying Counsel
Sanger Law PC
I117 SE 53'd Avenue
Portland, OR 97215
Tel: (503) 756-7533
Fax: (503) 334-2235
irion@sanger-law.com
Counsel for Renewable Energt Coalition
IN THE MATTER OF IDAHO POWER
COMPANY'S PETITION TO MODIFY
TERMS AND CONDITIONS OF
PROSPECTTVE PURPA ENERGY SALES
AGREEMENTS
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BEFORE THE IDAHO PUBLIC UTILITES COMMISSION
Case No.IPC-E-15-01
CROSS PETITION FOR
CLARIFICATION OF RENEWABLE
ENERGY COALITION
Pursuant to Rule 325 of the Idaho Public Utilities Commission's (the
'oCommission") Rules of Practice and Procedure, IDAPA 31.01.01. 071 et. seq.,the
Renewable Energy Coalition ("REC") cross petitions the Commission to clarify Order
No.33222, as requested by the Intermountain Energy Partners LLC ("IEP"). In support
of this cross petition, REC states as follows:
The ordering paragraph of Order No.33222 provides in part:
IT IS HEREBY ORDERED that effective February 5,2015, and
pending further order of the Commission, the maximum contractual
term for Idaho Power's new PURPA contracts shall be five years.
REC CROSS PETITION FOR CLARIFICATION Page I
IEP filed a petition for clarification requesting that this ordering paragraph of
Order No. 33322 be revised as follows:
IT IS HEREBY ORDERED that effective February 5,2015, and
pending further order of the Commission, the maximum contractual
term for Idaho Power's new PURPA contracts shall be five years,
provided however this Order shall not apply to proposed OF
projects that do not exceed the published rate eligibility cap.
Idaho Power Company's ("Idaho Power") petition to modiff the terms and
conditions of prospective Public Utility Regulatory Policies Act ("PURPA") energy sales
agreements ("ESAs") ("Idaho Power Petition") requested that the Commission reduce the
term for certain ESAs from twenty years down to two years. Idatro Power specifically
requested that the term be shortened only for "transactions with proposed QF projects
that exceed the published rate eligibility cap", which "is 100 kilowatts for wind and solar
QFs and l0 average megawatts for all other QF generation types." Idaho Power Petition
at 1-2, n.l.
Idaho Power has subsequently confirmed in response to J.R. Simplot's first
request for production of documents that Idaho Power is not seeking to limit the ESA
term for QF projects that are lower than the published rate eligibility cap. Therefore,
Idaho Power is not proposing to shorten the contract term for solar and wind projects 100
kilowatts and lower or for other QF generation types that are l0 average megawatts or
lower.
Idaho Power supports its request to reduce the contract term with evidence
regarding the impacts of new large wind and solar QFs. Idaho Power asserts that it has
1,302 megawatts of PURPA projects under contract, with 781 megawatts on-line and
operational today. Idaho Power Petition at 18. Idaho Power states that it currently has
REC CROSS PETITION FOR CLARIFICATION Page2
577 megawatts of PURPA wind capacity operating, with an additional 50 megawatts
scheduled to be on-line in 2016. Id. Idaho Power also states that it also has 461
megawatts of PURPA solar capacity under contract to be on-line in 2016, with 885
megawatts seeking contracts to be on-line in20l6. Id. Idaho Power alleges significant
customer rate and reliability concerns associated with this large amount of existing and
new large wind and solar QFs. ld. at20-27.
Idaho Power states that small hydroelectric QFs below the rate eligibility cap
make up the majority of the number of individual PURPA projects. Id. at 17-18.
Specifically, small hydroelectric projects make up 68 of the total 133 PURPA projects
under contract. Id. at 18. These are existing projects that have been operating and selling
electricity to Idaho Power for many years, and often do not have other opportunities to
sell their power other than to Idatro Power.
Idaho Power explains that these hydroelectric projects provide only 154
megawatts of the total1,302 megawatts of PURPA nameplate generation. Id. While
there are many individual small hydroelectric QFs, the small total size of these existing
projects are not causing the alleged rate or reliability concerns identified by Idaho Power.
In contrast, many of these projects are seasonal, which means that they provide Idaho
Power with valuable capacity. Therefore, limiting the contract length to these projects
not only does not address the problems identified by Idaho Power, but may harm both
Idaho Power and its end-use customers.
It would be a significant burden and cause uncertainty for the numerous
individual small projects to frequently renegotiate their ptrchase power agreements.
These projects are not large energy developers, but are community-based entities that are
REC CROSS PETITION FOR CLARIFICATION Page 3
important contributors to the health of their local economies. The Commission should
not make any modifications to PURPA policy that impacts these small hydroelectric
projects without careful consideration of these projects' needs and operational
characteristics. There is currently no evidence or other information in the record that
would warant any changes to the contract term or any other terms and conditions that
apply to small hydroelectric projects.
WHEREFORE, REC respectfully requests that the Commission grant IEP's
petition for clarification limiting the interim relief that shortened the maximum contract
term to five years so that it only applies to propgsed QF projects that exceed the
published rate eligibilrty cap.
Dated this 25ft day of February,2015.
Respectfully submitted, .
/)\
/(U l^ t/lrt^
Ronald L. Williams
Williams Bradbury, P.C.
Attorneys for REC
REC CROSS PETITION FOR CLARIFICATION Page 4
CERTIFICATE OF' SERVICE
I HEREBY CERTIFY that on the 25th day of February, 2015, a true and correct
copy of the within and foregoing CROSS PETITION FOR CLARIFICATION OF THE
RENEWABLE ENERGY COALITION was served as shown to:
Jean D. Jewell, Secretary
Idatro Public Utilities Commission
472West Washington
Boise,Idaho 83702
jeanjewell@puc.idaho. gov
C. Tom Arkoosh
Twin Falls Canal Company
North Side Canal Company
American Falls Reservoir District #2
Arkoosh Law Offices
802 W Bannock Ste 900
Boise ID 83702
tom. arkoosh@arkoo sh. com
Ben Otto
Idaho Conservation League
710 N 6th
Boise ID 83702
botto @ idahoconservation. org
Leif Elgethun PE LEED AP
Intermountain Energy Partners LLC
PO Box 7354
Boise lD 83707
leif@ sitebasedener gy. com
Dean J Miller
McDevitt & Miller LLP
PO Box 2564
Boise lD 83702
i oe(Dmcdevitt-miller. com
Daniel E Solander
Rocky Mountain Power
201 South Main Street Ste 2400
Salt Lake City UT 84111
daniel. solander@pacifi com.com
datarequest@pacifi corp. com
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REC CROSS PETITION FOR CLARIFICATION Page 5
Ted Weston
Rocky Mountain Power
201 South Main Ste 2300
Salt Lake City UT 84111
ted.weston@pacifi com.com
Kelsey Jae Nunez
Snake River Alliance
PO Box 1731
Boise ID 83701
knunez@ snakeriveralliance. or g
Donovan E. Walker
Lisa A. Grow
RandyAllphin
Idaho Power Company
1221 West Idaho Street
Boise,ID 83702
dwalker@ idahopower. com
lerow@idahopower.com
rallphin@ idahopower. com
dockets@idahopower.com
Clint Kalich
Avista Corporation
l4l I E Mission Ave MSC-7
Spokane WA99202
clint.kalich@avistacorp. com
Michael Andrea
Avista Corporation
l4ll E Mission Ave MSC-23
Spokane WA99202
michael. andrea@avistacorp. com
Scoff Dale Blickenstaff
The Amalgamated Sugar Company LLC
l95l S Satum Way Ste 100
Boise ID 83702
sbl ickenstaff@amal su gar. com
Richard E. Malmgren
Micron Technology Inc
800 South Federal Way
Boise ID 83716
remalmgren@micron.com
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REC CROSS PETITION FOR CLARIFICATION Page 6
Peter J. Richardson
Gregory M. Adams
Richardson Adams, PLLC
PO Box 7218
Boise,lD 83702
peter@richardsonadams. com
gre g@richardsonadams. com
Dr. Don Reading
6070 Hill Road
Boise,ID 83703
dreading@m indspring.com
Frederick J. Schmidt
Pamela S. Howland
Holland & Hart LLP
377 South Nevada Street
Carson City NV 89701
fschmidt@hollandhart. com
Matt Vespa
Sierra Club
85 Second St 2nd Floot
San Francisco CA 94105
matt.vespa@ sierraclub. ore
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,a)
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Ronald L. Williams
REC CROSS PETITION FOR CLARIFICATION PageT