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HomeMy WebLinkAbout20171222Morrison Direct.pdfBEFORE THE RECE IVED ?fill0[C 22 PH 2: 3h IDAHO PUBLIC UTILITIES COMMISSION, i.,,JC t .: r.., ,ri,,isSlOu IN THE MATTER OF THE APPLIGATION OF IDAHO POWER COMPANY FOR AUTHORITY TO ESTABLISH NEW SCHEDULES FOR RESIDENTIAL AND SMALL GENERAL SERVICE CUSTOMERS WITH ON.SITE GENERATION CASE NO. IPG.E-17.13 DIRECT TESTIMONY OF MICHAEL MORRISON IDAHO PUBLIC UTILITIES COMMISSION DECEMBER 22,2017 ) ) ) ) ) ) ) ) 1 2 3 4 5 6 7 8 9 10 11 1-2 13 1,4 15 15 17 l_8 t9 20 21, 22 23 24 25 A. Please state your name and address for the record. A. My name is Mike Morrison. My business address is 472 West Washington Street, Boise, Idaho. O. By whom are you employed and in what capacity? A. I am employed by the Idaho Public Utilities Commission (Commission) as a Staff Engineer. O. Please give a brief description of your educational background and experience. A. I received a Bachelor of Science degree in Chemical Engineering from the University of Southern California in l-983, a Master of Science degree in Mechanical Engineering from the University of Idaho in 2002, and a Doctor of Philosophy in Geophysics with a Civil Engineering emphasis from Boise State University in 201-4. I have been a registered professional engineer in Idaho since L998. I attended the Electrical Utility Basic Practical Regulatory Program offered by New Mexico State University's Center for Public Utilities. Between 1988 and 2009, I held a number of engineering positions at Micron Technology, Inc. From 1990 through 1996, I was also a facilities engineer in the fdaho Army National Guard. In that capacity, I oversaw the design, construction, repair, and maintenance of facilities and roads at Gowen Fie1d, the National CASE NO. IPC-E-I7-L3 L2/22/17 MORRISON, M SIAFF (Di) 1 l- 2 3 4 5 6 7 8 9 10 l_ t_ t2 13 1,4 15 L6 t7 l_8 l_9 20 21, 22 23 24 Guard's Orchard Training Range, and other National Guard facilities in Southern Idaho. I began work at the ldaho Public Utilities Commission in 20L4. I am the Commlssion Staff's principal witness in cases involving Cost of Service. O What is the purpose of your testimony? A. I will discuss the Company's proposal to establish two new rate classes for its Residential and Sma11 General Service Net Metering Customers. I will also discuss the Company's proposal to reguire the installation and operation of smart inverters for all new customer-owned generator interconnections . O. Please summarize your testimony. A. In its Application, the Company argues that there is an intraclass cost shift from net metering to non-net metering customers, and that the consumption patterns of net metering customers are sufficiently different from those of non-net metering customers to warrant the creation of two new net metering classes. I will show that any intraclass cost shift is due to the method by which net metering customers are compensated, and not to any inherent differences in the consumption patterns of net metering and non-net metering customers. I will present Staff's proposal to modify Schedule 84, Customer Energy Production Net Metering Service, so that cAsE NO. rPC-E- l-7 - 13 L2/22/17 MORRISON, M STAFF 25 (Di) 2 1 2 3 4 5 6 7 8 9 10 LL t2 l-3 l4 l_5 15 a7 18 1,9 20 2t 22 23 24 25 net metering customers are compensated for the excess energy they provide at avoided cost rates while continuing to pay for the energy that they obtain from the Company under their current rate schedule. I will explain how Staff's proposal will correct any intraclass cost shift without requiring any new rate classes. I will recommend that the Commission initiate a docket in which all interested partj-es can work together to determine the appropriate avoided cost methodology used to compensate net metering customers. I will show that the Company's analysis using its rrnet zero customerrr overstates the differences in the consumptive patterns of net metering and non-net metering customers, and that there is actually Iitt1e difference between Ehe consumption patterns of these two groups. The Company also proposes that all new customer-owned generator interconnections be eguipped with smart j-nverters conforming to the grid reguirements of the Institute of Electrical and Electronic Engineers (IEEE) standards 1-547 and l-547.1. Unfortunately, both of these standards are sti11 being drafted by the IEEE, and the Company was unable to provide draft copies for my review, so I am unable to provide an analysis of either the costs or benefits of the Company's proposal. I will recommend that the Commission postpone a decision on this CASE NO. IPC-E- 1,7 -]-3 L2/22/1,7 MORRISON, M STAFF (Di) 3 1 2 3 4 5 6 7 I 9 t-0 11 L2 13 1,4 l_5 l_5 l7 18 1"9 20 21, 22 23 24 25 proposal until such time as Commission Staff can review them. The Company also seeks to revise Schedule 72, both to synchronize it with proposed changes to its net metering program and to permit on-site inspection of newly installed on-site generation systems when cj-rcumstances beyond the Company's control exist. In fact, the Company's proposed revisions to Schedule 72 are guite substantial, and I will recommend that they be considered in a separate docket. O. What factors justify establishment of new rate classes? A. On pages 7 and 8 of its Application, the Company explains that different rates may be justified by factors such as cost of service, quantity of electricity used, differences in conditj-ons of service, or the time, nature, and pattern of use. O. Has the Company met this standard? A. No. The Company did not provide a Cost of Servj-ce Study. fn j-ts response to Staff 's Production Request No. 3, the Company indicated that it does not. intend to perform a Cost of Service study until after the Commission approves the Company's new rate classes (Exhibit No. 101) . As I will show, there are no meaningful CASE NO. IPC-E-17-13 t2/22/t7 MORRISON, M STAFF (Di) 4 l_ 2 3 4 5 5 7 8 9 10 11 12 13 l4 t-5 1,6 L7 18 19 20 2L 22 23 24 25 differences between net metering and non-net metering customers in the quantities of electricity used, differences in conditions of service, time, nature, and pattern of use. a. Who would be affected by the Company's proposal? A. A11 Schedule 1 Residential and Schedule 7 Sma11 General Servj-ce net metering customers would eventually be moved to the Company's proposed net metering schedules. In its Application, the Company indicated that existing Residential and Small General Service net metering customers would continue to take servj-ce under Schedule 84 (Application at 10 and 11) ; however, in j-ts response to Staff's Production Reguest No. 4, the Company indicated that these customers would eventually be moved to the Company's proposed net metering schedules (Exhibit No. 702). According to the Company's 201,7 net metering report (Exhibit xo. 9), the majority of the net metering systems in the Company's Idaho service territory are owned by Schedule 1 Residential customers (1,137) . Commercial and Industrial customers comprise the next largest group of net metering customers (135). There are also five irrigation customers. Solar photovoltaic generators constitute 942 of CASE NO . IPC-E- 1,7 -1,3L2/22/17 MORRISON, M STAFF (Di) s the net metering systems currently connected to ldaho Power's g'rid, followed by wind g'enerators (5?) , and hydro/other generators (1?); however, the Companyrs proposal would also apply to all Residentj-a1 and Sma11 General Service customers who generate their own power using biomass, geothermal, or fuel ce11 technology. O. What is the name plate capacity and growth rate of Idaho Powerts net metering systems? A. Between December 31 , 201-3 and March 31 , 20L7 , the cumulative nameplate capacity of Idaho Power's net metering systems grew from 2.8L megawatt (MW) to 9.58 MV{, which represents an annual growth rate of 45.8*. The total nameplate capacity of wind/hydro/other decreased slightly over this time period, so virtually all of this increase was due to increases in the number of solar systems installed in Idaho Power's service territory. O. Please explain how customers are compensated for the excess energy that they produce under Schedule 84. A. Schedule 84 is open to customers from all Idaho Power rate classes except those taking service under Schedule 4 (Residential Energy Watch Pilot Pl-an) and Schedule 5 (Residential Time-of-Day Pilot Plan). Under Schedule 84, net metering customers remain in their rate class, but receive a kilowatt hour (kwh) credit for CASE NO. IPC-E-17-13 L2/22/L7 (Di) 6MORRISON, M STAFF l_ 2 3 4 5 5 7 B 9 10 11 !2 l_3 l4 15 1,6 L7 18 L9 20 2t 22 23 24 25 1 2 3 4 5 5 7 8 9 10 11 t2 13 t4 15 16 L7 18 t9 20 21, 22 23 24 25 excess energy that they produce. Currently, the energy consumed and produced by net metering customers is netted monthly: That is, at the end of each monthly billing cyc1e, excess energy produced by the net metering customer is subtracted from the energy provided by Idaho Power, and the resulting difference applied to the rates appropriate for that customer's rate c1ass. fn the event that the customer produces more energy than they consume, a kilowatt hour credit is carried forward and applied to the subsequent billing cyc1e. Net metering customers receive no monetary compensation for the excess energy that they produce, but kilowatt hour credits may accrue indefinitely. Schedule 1 (Residential) and Schedule 7 (General Service) customers are limited to generation systems with a total nameplate capacity rating of 25 kw or 1ess. a. Why is the energy consumed and produced by net meterj-ng customers netted monthly? A. Prior to the advent of AI,II (Advanced Metering Infrastructure), customer output was measured with a meter that spun in one direction when power was being consumed by a customer, and spun the other direction when power was being put onto the grid by that customer, so that the meter displayed the I'net" energy consumed by the customer at the end of each monthly billing cycle. In CASE NO. IPC-E-17-]-3 L2/22/L7 MORRTSON, M STAFF (Di) 7 1 2 3 4 5 5 7 I 9 10 11 L2 l_3 1,4 15 15 l7 18 1,9 20 2L 22 23 24 25 its response to Staff's Production Request No. 7, the Company explained that its current AI,II meters record net hourly consumption/generation, so it is now possible to net consumption and production for each hour (Exhibit No. 103). O. Under Staff's proposal, how would Schedule 84 be modified? A. In short, Staff proposes that Section 1 of Schedule 84 be changed to take advantage of the Company's AMI meters by netting consumption/generation hourly rather than monthly. Under Staff's proposal, the net metering customerrs bil1ed consumption would be determined by summing the consumption from each hour in which there j-s net consumption, and the result applied to applicable Schedule l- or Schedule 7 rates. The net metering customerrs excess energy credit would be determj-ned by summing the production from each hour in which there is net production and applying the result to an avoided cost rate. The net metering customer's bill would then be calculated by subtracting the excess energy credit from the customer's biIled consumption. O. What intraclass cost shifting currently occurs within the Residential Schedule 1 and Sma11 General Service Schedule 7 rate classes? A. The Company's Residential and Small General CASE NO. IPC-E- L7 -1,3t2/22/1,7 MORRISON, M STAFF (Di) 8 Service customers pay a $5.00 monthly service charge and a per kWh energy charge. The $5.00 monthly service charge is insufficient to cover either the Companyrs customer related costs such as billing, customer service, and service drops, or its fixed costs of generation, transmission, and distributj-on, so that the per kWh energy charge must be higher than the cost of energy in order to assure that the Company recovers its revenue requirement. Non-net metering customers with average bi11ed consumption pay for the costs j-ncurred by the Company on their behalf ,' however, customers whose bi11ed consumption is below average don't completely pay for the costs that the Company incurs serving them, and customers whose biIled consumption is above averag'e pay more than their share. Very few customers are rraverage, r' so most Schedule 1 and Schedule 7 customers either subsidize, or are subsidized by other customers within their class. O. How does Schedule 84 create an intraclass cost shift from net metering to non-net metering customers? A. Net metering customers are being overcompensated for the energy that they produce. The value of excess energy provided by net metering customers is due, primarily, to the energy costs that it aIlows the Company to avoid; however, net metering customers are effectively compensated at full retail rates. As (Di) eCASE NO. IPC-E- 17 -1.3 t2/22/17 MORRISON, M STAFF 1 2 3 4 5 6 7 I 9 10 l_ l_ t2 13 1,4 15 t6 L7 18 L9 20 2t 22 23 24 25 discussed earlier, Idaho Power's Schedule 1 and Schedule 7 retail rates are substantially higher than the Company's energy costs. As explained on pages 5 through 9 of Ms. Aschenlcrenner's testj-mony, this concern was raised by Staff in Case No. IPC-E-01-39 (Applicatj-on for Approval of a New Schedule 84). a. Briefly describe the data that you used to evaluate potential cost shifting between net metering and non-net metering customers. A. The Company provided hourly consumption data for all Idaho net metering customers who were connected to Idaho Power f or the period ,January 1, 201,5 through December 31, 201,6. This included data for 555 Schedule 1 Resi-dential customers and 23 Schedule 7 Sma11 Commercial customers. Values were positi-ve for hours during which net metering customers received power from the Company, and negative during hours in which customers provided excess energy to the Company (Staff Production Reguest No. 8, Exhibit No. 104). The Company also provided hourly consumption data for a stratified random sample of 498 Residential non-net metering customers (Staff Production Reguest No. a2, Exhibit No. r05); however, data for 1-1 of these customers was incomplete and not used. f used data from the remaining 487 Resj-dential non-net metering customers CASE NO. IPC-E-l.7-]-3 t2/22/t7 MORRTSON, M. (Di) 10 STAFF 1 2 3 4 5 6 7 8 9 10 l_ l_ L2 13 L4 15 15 1,7 18 1,9 20 2a 22 23 24 25 t_ 2 3 4 5 6 7 I 9 10 11 t2 13 l4 15 15 l7 18 19 20 2L 22 23 24 25 in my analysis. O. Please summarize your analysis. A. Because residential customers account for most net metering generation capacity, and virtually all net metering growth, my analysJ-s focused on Residential Schedule 1 customers. f used the Companyrs 201-6 rates for all analyses. In order to estimate an average net metering customer's bill under Staff's proposal, I used 2016 DSM avoided cost rates,' however, as I indicated earlier, I believe that the exact methodology for calculating net metering avoided cost rates should be determined in a separate docket. I have summarized my analysis in Table 1. Annual kWh Consumed Excess kWh Billed kwh Bill before Excess Generation Credit Excess Generation Credit Final Bill Non-N EM Customers S r,mr.er NEM Excluding Schedule 84 Credit NEM with Schedule 84Credit NEMStaffProposal 113 151.34 133.96 Table l-: NEM) S 1,164.34 s 926.75 s L,027.38 Consumption and billing for average non net metering (Non- and Net Metering (NEM) cusLomers under current rates andStaff's ProposaJ-. A. Currently, what is the magnitude of the cost shift under Schedule 84? A. Under Schedul-e 84, a net metering customer's monthly excess generation is subtracted from her monthly consumption, and so an average net metering customer pays substantially less ($gZe.l5/yr) than she would pay CASE NO. IPC-E-17-13 L2/22/L7 MORRISON, M STAFF tt,78t 13,113 13,113 0 3,44A 3,4A4 LL,78L t3,tt3 9,669 s 1,001.51 s 1,151.34 926.7ss N/A N/A N/A (Di) 11 1 2 3 4 5 6 7 I 9 t_0 11 1,2 13 l4 l_5 t_5 l7 t-8 19 20 2t 22 23 24 25 without the Schedule 84 excess energy credit (#1,154.34/yr). A portion of the $237.59 difference represents the avoided cost due to excess energy provided by the net metering cusEomer ($135.96) , and is therefore not a subsidy. The remaj-ning $100.63 represents the cost shift from an average residential net metering customer to the general body of residential ratepayers. A summary of consumption, excess generation, and billing information can be found in Table 1. O. Does Staff's proposal eliminate all intraclass subsidies? A. Staf f 's proposal eliminates all j-ntraclass subsidies that are due to the Schedule 84 Net Metering program; however, intraclass subsidies that are not related to net metering remain in pIace. By virtue of their slightly greater average consumption (tab1e 1), there would be a sma11 subsidy from averag,e net metering customers to non-net metering customers,' however, as discussed earlier, this type of cost shift is not unique to net metering customers. THE COMPAIIYIS NET ZERO CUSTOMER AIVAI,YSIS O. What are net zero customers, and why are they important? A. As we have already discussed, Schedule 84 aIlows net metering customers to rrbankrr energy credits CASE NO. IPC-E-17-13 t2/22/1-7 MORRTSON, M STAFF (Di ) 1"2 for use at a later time, day, or month. Under Schedule 84, some net metering customers are able to bank enough credits during one tj-me period to cover their consumption for the entire year: These customers, with no net annual consumption, are ca1Ied net zero customers. Net zero customers only pay their $5.00 monthly service charge, and because the monthly service charge is insufficient to cover the Company's fixed and customer related costs, net zero customers are recj-pients of a large intraclass subsidy from other members of their rate cIass. O. In their testimonies, Ms. Aschenbrenner and Mr. Ange11 discuss the effects of net zero customers on the system (Aschenbrenner Di, pages 32 through 36; Ange11 Di, pages l-1 through l-4). What is wrong with this analysis? A. The Company's analysis compared consumption of a single net metering customer to that of a nearby non- net metering customer (Ange11 Di, page 11). Neither the net zero net metering customer nor the non-net metering customer used for comparison were typical customers. Given the tremendous diversity within the Residential cIass, it isn't surprising that the Company was able to find a pair of customers to demonstrate its point; however, it is inappropriate to use data from a single pair of customers to establish a new rate c1ass. CASE NO. IPC-E-17-13t2/22/L7 MORRTSON, M. (Di) 13 STAFF 1 z 3 4 5 6 7 8 9 10 1L L2 13 l4 l_5 15 L7 18 1"9 20 21- 22 23 24 25 1 2 3 4 5 6 7 I 9 10 11 L2 13 L4 l_5 16 l7 18 1"9 20 2L 22 23 24 25 About l-1.5? of Idaho Power's Residenti-a1 Schedule l- Net Metering customers are net zero customers, so while net zeyo customers constitute an important group, their consumption patterns are not representative of typical net metering customers. A more representative comparison j-s obtained by comparing consumption patterns of averag'e net metering customers with those of average non-net metering customers. On page L2 of his testimony, Mr. Ange11 provides a graph comparing the hourly consumption of the Company's selected net metering customer to that of a nearby non-net metering customer on its system peak day (.fune 29, 2OL6) . I have reproduced Mr. Ange11 's graph as Figure 1 of my testimony. For comparison, Figure 2 j-s a graph of hourly consumptj-on of average net metering and average non-net metering customers on the same day. We note that peak consumption of the Company's selected customers (Figure 1) is much greater than that of average customers (Figure 2). The most striking difference between these two graphs is seen at 1:00 pm when the Company's selected net zero customer's net production peaked at about 4.5 kW (Figure 1). By contrast, the average net metering customer's generation peaked at 0.74 kW, or only about one sixth the peak generation of the Company's net zero customer (Figure 2) . CASE NO. IPC-E-]-7-]-3 L2/22/1,7 MORRISON, M STAFF (Di ) 1,4 t_ 2 3 4 5 6 7 I 9 10 11 t2 l-3 t4 15 1,6 l7 L8 19 20 2L 22 23 24 25 lrrrr,Jf ft L 2 3 4 5 6 7 8 I r0111213141516171819202L222324 Hor Endha r "l{et Zero" ltet Meterlng Customer r Standard Senrice Resld€fltiel Customer =I II I' 8 6 4 2 IJJ {2t {{l {61 Figure 1: Company's comparison of hourly consumption for a selected net zero cusUomer to a nearby non-neE metering customer onthe Company's system peak day. Reproduced from Angell Di, Figure 1-. Average Net Metering and Non-Net Metering Hourly Consumption (System Peak Dayl 8 5 4 2 3x I r r h h h h r,r .r.r.r,t.l I .l I il il [ ll II I I {2} (4) (6)I 2 3 4 5 6 7 8 I 101112131415161718192021222324 Hour Ending I Net Meterirg I Standard Service (NoftNet ireterirEl Fi-gure 2: Staff's comparison of consumption of average net metering customers to average non-net metering customers on the Company's system peak day (ilune 29th, 201,6) . CASE NO. IPC-E-]-7-13 L2/22/t7 MORRISON, M STAFF (Di ) 1s 1 2 3 4 5 5 7 8 9 t-0 11 a2 13 t4 15 15 L7 18 t9 20 21 22 23 24 25 a. Would Staff's proposal correct the intraclass cost shift from net zero customers to non-net metering customers? A. Yes. Under Staff's proposal, net zero customers would pay fu1I retail rates during hours in which they are net consumers of energy, and receive credit for excess energy at avoided cost rates. Because avoided cost rates compensate customers only for costs that they a11ow the Company to avoid, there would be no impact to non-net metering customers. NET METERING VS. NON-NET METERING CONSI'MPTION PATTERNS a. How do consumption patterns of net metering customers differ from those of non-net metering customers? A. There is Iitt1e dj-fference in the consumption characteristics that cause the Company to incur fixed costs. The primary consumption characteristics that cause the Company to incur fixed costs are contribution to coincident peak (CP), group non-coincident peak (NCP), and indivj-dual peaks. These are summarized in Table 2. Peak lndividual Contribution to CP 7:00 Non-Net Non Coincident Peak 7:00 Net Meteri ng Grou p Non Coi ncident Peak ll2/ 78/ 2OL6, 9:00 am) Table 2: Peak magnitudes and times for net metering and non-netmetering customers. CASE NO . IPC-E- 1,7 -L3 t2 / 22 /17 MORRISON, M STAFF 9.13 7L.42 2.867 2.31L 2.992 2.33 (Di ) L6 Schedule l- Residential customers are a diverse class; however, the distribution of individual consumption patterns from both groups is nearly identical. Figures 3 and 4 allow us to compare the magnitude and timing of individual customer peaks. Consumption patterns of both groups are similar, with individual peaks occurring throughout the year and concentrations of peaks occurring in summer and winter months. For both net metering and non-net metering customers, most individual peaks are less than 35 kW. Net Metering Peak Load by Month (2016) 80 70 60 isod!!,|o iro m 10 a a hi*," -. ..'r.. 6. rl:'r'tirr.i $. . :.:i.. . ,r; a a taa.# a a a a a f. -a o or aaaf,r rB a a 'IMAMJJASOTID Month Figure 3: Net. metering Peak Load by Month for all 201-5 residentialnet metering customers. (Di ) 1,7CASE NO. IPC-E-L7_I3 L2/22/1-7 MORRISON, M STAFF 1 2 3 4 5 6 7 I 9 10 L1 L2 13 t4 15 15 1,7 18 1,9 20 2t 22 23 24 25 1 2 3 4 5 5 7 I 9 t-0 11 t2 13 t4 l-5 l_5 1,7 18 l_9 20 2t 22 23 24 25 g) m 60 isoi1!8{0 E30c 20 10 0 Non-Net Metering Peak Load by Month (2015) M *: . #r,r6i.rrl ..:.'.".' l'tj{il a iXFi;,il;r o DoA Mo.th Figure 4: Non-Net Metering Peak Load by Month for Stratified Random Sample of residential non-net metering customers. There are some sma11 differences between the two groups. On average, net metering customers demand less power (2.311 kw) than non-net metering customers (2.851 kW) at system coincident peak (,June 29t}r between 5:00 pm and 7:00 pm) . Power consumed at coinc j-dent peak is an important component of the Coincident Peak factor used to allocate fixed generation and transmission costs in Cost-of-Service studies. Had the Company performed a Cost-of-Service Study, it would likeIy have allocated slightly less generation and transmj-ssion plant cost to net metering customers. Given the large fraction (942) of residential net metering systems using solar greneration, it isn't surprisj-ng that summertime coincident peak consumption of net metering customers is reduced. Class non-coincident peak is an important component of the Non Coincident Peak factor used to CASE NO. IPC-E- L7 -1.3 L2/22/L7 MORRTSON, M STAFF (Di) 18 a 1 2 3 4 5 6 7 8 9 10 1L 1-2 13 t4 15 t6 t7 l-8 L9 20 2t 22 23 24 25 allocate distribution plant in cost-of-service studies. Using data provided by the Company, we find that net metering customers' average non-coincident peak was less (2.330 kW) than that of non-net metering customers (2.992 kW). As a group, net metering customers peak during the winter rather than during the summer. On the other hand, individual peak loads are important determinants of costs that the Company expends on distribution p1ant, and in particular, on the costs of secondary transforTners and service drops. Average individual net metering peaks are somewhat higher (1-1-.420 kW) than those of non-net metering customers (e.130 kw) . Had the Company performed a Cost-of-Service Study, it is difficult to determine whether it would have allocated more or less distribution plant to net metering customers than to non-net metering customers. I should reiterate that these differences are guite smaI1 relative to the total variability among Schedule 1 customers. Had the Company conducted a Cost- of-Service study, it is 1ikeIy that they would have determined the differences in the overal-I costs of serving these two groups to be very smaII. CASE NO. IPC-E-17-13 t2/22/1-7 MORRISON, M STAFF (Di ) Le 1 2 3 4 5 5 7 I 9 10 1,2 11 l-3 t4 15 16 L7 18 L9 20 2t 22 23 24 THE COMPAIiIY I S PROPOSAL TO REQUIRE ALL NEW NET METERING CUSTOMERS TO INSTALL Al{D OPERATE SMART INVERTERS O. Why do you oppose the Company's proposal to reguire all new net metering customers to use smart inverters? A. The Company proposes that all new net metering customers be required to install and operate smart inverters as defined by the Institute of Electrical and Electronic Engineers. Unfortunately, the applicable IEEE Standards and definitions (IEEE 1-547 and IEEE t547.1-\ won't be published until 201-9 (Company's Response to Production Request No. 1, Attachment 2, Page 15, Exhibit No. 105), so there is no way to evaluate either the benefits or costs of the Company's proposal. In fact, the IEEE hasn't even released a draft copy of the standard. In short, the Company is reguesting that Commission adopt IEEE 1,547 and IEEE 1547.1 before these standards have been released. O. Was the Company able to provide any information about the proposed content of IEEE L547 and IEEE 1,547.L? A. The Company provided two draft power point presentations (Exhibit Nos. 1-07 and 108) . Both presentations included disclaimers that the presentations and views expressed in them are those of individuals, and not the formal- position of the IEEE, so the Company CASE NO. IPC-E-17-13 t2/22/t7 MORRISON, M STAFF 25 (Di ) 20 didnrt provide any hard information about either of the proposed smart meter standards. THE COMPAT{Y' S PROPOSAIS TO }ODIE:T SCEEDI'LE 72 O. Pl-ease summarj-ze the Company's proposed changes to Schedule 72. A. In its Application, the Company states that it seeks to revise Schedule 72 to j-ncorporate defined terms necessary to slmc the interconnection reguirements between Schedule 72 and proposed Schedules 6 and 8. The Company also states that it proposes to make one minor revision to Schedule 72 to a1low the Company additional time to complete the on-site inspection of a newly installed on-site generation system when circumstances beyond the Company's control- arise (Application at 11. ) In fact, the Company's proposed modlflcations are not minor, and constitute a major revision to Schedule 72 (Company Exhibit No. 5). Schedule 72 applies to all energy providers who j-nterconnect with the Company's grid, lncluding its PURPA and net metering customers. Because the Company's proposed modifications to Schedule 72 go far beyond the scope of its application, the Company's proposed changes should be considered in a separate case that would ensure input from all stakeholders. CONCLUSIONS AIID RECOMMEIIDATIONS (Di) 2tCASE NO. IPC-E-17-].3 t2 / 22 /17 MORR]SON, M STAFF t_ 2 3 4 5 5 7 8 9 10 11 1,2 13 t4 15 15 17 18 19 20 2t 22 23 24 25 1 2 3 4 5 6 7 8 9 10 11 1,2 13 L4 15 15 l7 18 t9 20 2L 22 23 24 25 a. Please summarize your recommendations regarding the Company's proposal to establish two new rate classes for its Residential and Sma11 General Service net metering customers. A. The new rate classes provided by the Company are unnecessary. Any intraclass cost shift from net metering to non-net metering customers arises from Schedule 84' s compensation methodology, which effectively compensates net metering customers at rates that are g'reater than the value of the energy that they provide to the Company. The simplest way to eliminate this intraclass subsidy is to modify Schedule 84 so that net metering customers pay fuII retail rates for the hours in which they are net consumers of energy, and receive credit at avoided cost rates for the hours in which they produce excess energy. I recommend that the Commission initiate a docket in which the Company and interested parties can work together to determine the appropriate avoided cost methodology used to compensate net metering customers. O. Please summarize your recommendations regarding the Company's proposal to reqr.rire all new net metering installations to use smart inverters. A. The Company is asking the Commission to approve a standard that has not been released, and is thus CASE NO. IPC-E- 17 -1,3 L2/22/L7 MORRISON, M STAFF (Di ) 22 1 2 3 4 5 5 7 I 9 l-0 11 L2 l4 13 15 l_6 77 18 19 20 2L 22 23 24 unavailable for revi-ew. I recommend that the Commission deny the Company's request to reguire all new net metering installations to use smart inverters. O. Please summarize your recommendations regarding the Company's proposed modifications to Schedul-e 12. A. The Company's proposed modification to Schedule 72 includes a large number of revisions that were not described in the Company's Applicatj-on or testimony. Because Schedule 72 affects all generation facilities who connect to the Company's grid, and not just net metering customers, I recommend that these changes be submitted and considered as part of a separate case. O. Does this conclude your testimony in this proceeding? A. Yes, it does. CASE NO. IPC-E- L7 -1,3 1-2/22/17 MORRTSON, M. (Di) STAFF 25 23 REQUEST NO. 3: On page I of its Application, the Company states that "Establishing separate customer classes now will position the Company to study this segment of customers, providing the data necessary to understand how this customer segment utilizes this system." What information will the Company be able to gather that is not currently available for these customers? RESPONSE TO REQUEST NO. 3: To provide context, the full quote from page 19 of Mr. Timothy E. Tatum's testimony stated that: The establishment of sirnilarly situated cuslomers or customer classes has been a long-standing and important first step in the ratemaking process. Taking this important first ratemaking step now will position the Company to study this segment of customers, providing the data necessary to understand how this customer segment utilizes the Company's system. The data quantiffing the usage of the system will inform what costs (revenue requirement) are appropriately allocated to the newly established customer classes in a future rate proceeding (class cost-of-service process). Tatum Dl, p. 19, lines 14-24. The Company is currently able to gather the information that is necessary to study various segments of customers; however, should the Commission decline to authorize the establishment of the requested new customer classes, the Company would have no reason to modify its class cost-of-service study or ratemaking processes. lf the ldaho Public Utilities Commission ("Commission") determines there are differences that warrant the establishment of new customer classes, the Company will assign costs to the new customer classes in the class cost-of-service study and design rates specific to those classes as part of a future rate proceeding. lf the Commission detennines no differenoes exist that warrant the creation of a new customer class for IDAHO POWER COMPANY'S RESPONSE TO THE FIRST PRODUCTION REQUEST OF THE COMMISSION STAFF. S Exhibit No. l0l Case No. IPC-E-17-13 M. Morrison, Staff 12/22/17 Page I of 2 customers with on-site generation, the Company will continue to allocate costs to the residential and small general service customer classes that exist today. fhe response to this Request is sponsored by Tim Tatum, Vice President of Regulatory Affairs, ldaho Power Company. IDAHO POWER COMPANY'S RESPONSE TO THE FIRST PRODUCTION REOUEST OF THE COMMISSION STAFF - 6 ExhibitNo. 101 Case No. IPC-E-17-13 M. Morrison, Staff l2l22ll7 Page2 of 2 REQUEST NO. 4: On page$ I and 10 of its Application, the Company states that "The data quantifying the usage of the system will inform what costs and benefits (revenue requirement) are appropriately allocated to the newly established customer classes in a future rate making process (class cost-of-service process)". Given that the Company's proposed Schedules 6 and 8 would initially have zero customers, how many years will be required before there are sufficient customers in these new classes to d evelop a ccu rate cost-of-service a I locators? RESPONSE TO REQUEST NO. 4: The Company cannot determine how many years will be required before there are sufficient customers in Schedules 6 and 8 to perform a stand-alone cost-of-service study. However, all customers with on-site generation will be used to develop cost-of-service allocators for the new customer classes, those who remain on Schedule 84 and those taking service under Schedules 6 and 8. The Company has proposed that existing residential and small general service net metering customers remain on Schedule 84 for a period of time, where the term of the transition period be determined by the Commission as part of a future rate proceeding; however, they will transition to Schedules 6 and I at the end of the transition period. Their usage characteristics accurately represent the segment of customers with on-site generation, regardless of which tariff schedule they take service under during the transition period. The response to this Request is sponsored by Tim Tatum, Vice President of Regulatory Affairs, ldaho Power Company. IDAHO POWER COMPANY'S RESPONSE TO THE FIRST PRODUCTION REQUEST OF THE COMMISSION STAFF. T Exhibit No. 102 Case No. IPC-E-17-13 M. Morrison, Staff t2/22/17 REQUEST NO.8: ln Exhibit 9, the Company states that, as of December 31, 2016, ldaho Power's net metering service consisted of 1,067 active systems. For each system that was connected to ldaho Power for the entire period between January 1, 2016 through December 31 ,2016, please provide the following information: a, The schedule under which the net metering customer takes power. b. The County in which the customer is located. c. Net hourly power consurnption/production data for the 2016 calendar year. RESPONSE TO REQUEST NO. 8: Please see the attached Excel file which includes the hourly net energy consumption for all net metered customers who had an AMI meter and who were taking net metering service for the entire period between January 1,2016, through December 31, 2016. The Company has provided the schedule under which the net metering customer was taking service and the county in which the customer was located. It is important to note that the attached data is net hourly energy consumption/production data by qustomer, not by system. A customer may have multiple systems, possibly with different generation sources, attached to a service point (meter). ln that case, each generation source is considered a different system; however, because the energy consumption is metered at a single point, a customer with multiple systems is one customer. Please reference footnote No. 3 in Exhibit 9. The response to this Request is sponsored by David Angell, Transmission and Distribution Planning Manager, ldaho Power Company. IDAHO POWER COMPANY'S RESPONSE TO THE FIRST PRODUCTION REQUEST OF THE COMMISS]ON STAFF. 15 Exhibit No. 104 Case No. IPC-E-17-13 M. Morrison, Staff 12122117 REQUEST NO. 7: On page 4 of its Application, the Company states that it has deployed Advanced Metering lnfrastructure (AMl) in its service area enabling the Company to achieve more precise usage measurement and facilitate more sophisticated, cost-based rate designs. Please explain how AMI might be used to achieve more sophisticated, cost-based rate designs for its net metering customers. Does the Company also propose updating rate designs for its non net metering classes? RESPONSE TO REQUEST NO. 7: Prior to the deployment of Advanced Metering lnfrastructure ("AMl"), ldaho Power used mechanical and solid-state meters to measure consumption for residential and small general service customers. These meters measured only the kilowatt-hour ("kWh") consumption, and the Company retrieved this data monthly according to the meter read date of the customer's billing cycle. ldaho Power's AMI system collects additional data from the AMI meters that enables the Company to better develop cost-based rate designs. The additional data provided by the AMI system is listed betow: o 1S-minute max demand - ldaho Power's AMI meters record the 1S-minute maximum demand. The 15-minute maximum demand enables the Company to implement demand rates for residential and small general service customers using a 15-minute maximum demand. . Hourly kwh - ldaho Power's AMI meters record the net hourly energy consumption and/or generation. The hourly energy data enables the Company to implement time-of-use rates for residential and small general service customers with on-site generation. IDAHO POWER COMPANY'S RESPONSE TO THE FIRST PRODUCTION REQUEST OF THE COMMISSION STAFF. 13 Exhibit No. 103 Case No. IPC-E-17-13 M. Morrison, Staff 12/22/17 Page I of 2 . Hourly kilowatt ("kW') - The hourly kWh can be used as a 60-minute maximum demand. The 60-minute maximum demand enables the Company to implement demand rates for residential and small general service customers using a 60-minute maximum demand. One of ldaho Power's objectives regarding rate design is to establish prices that primarily reflect the cost of the services provided. While the Company is not currently proposing pricing changes for net metering or standard service customers as part of its proposal, ldaho Power will continue to evaluate and propose modifications to the rate design of all customer classes in future rate case proceedings. The response to this Request is sponsored by Tim Tatum, Vice President of Regulatory Affairs, ldaho Power Company. IDAHO POWER COMPANY'S RESPONSE TO THE FIRST PRODUCTION REQUEST OF THE COMMISSION STAFF. 14 Exhibit No. 103 Case No. IPC-E-17-13 M. Morrison, Staff l2l22ll7 Page2 of 2 REQUEST NO. 12: Please provide the following data for a stratified random sample of ldaho Power's residential non-net metering customers who were connected to ldaho Power for the entire period between January 1, 2016 through December 31, 2016'. a. The County in which each customer is located. b. Hourly power consumption data. Please explain how the Company accounted for changes from MST to MDT and vice versa. c. An explanation of the method used to determine sampling strata, sample sizes, and weighting factors. d. An explanation of any missing data. RESPONSE TO REQUEST NO. 12: a. The following table lists the county associated with each stratum. County Strata Ada 1,2,3, and 4 Blaine 5, 6, 7, and I Valley 9, 10, 11, and 12 Payette 13,14,15, and 16 Bannock 17,18,19, and 20 Twin Falls 21,22,23, and 24 b. Please see Attachment 2 to the Company's response to Vote Solar's Request No. 27 for the 2016 ldaho Residential Sample hourly data. To adjust for Daylight Savings Time ("DST"), the Company formatted the data so that there are 24 hours/per day in both the spring and the fall" For the spring DST shift, the hour ending 3 a.m. is left blank. For the fall DST shift, the hour ending 3 a.m. is repeated, and therefore, the Company calculates an average of the two hours, and reports the average in the hour ending 3:00 a.m. IDAHO POWER COMPANY'S RESPONSE TO THE SECOND PRODUCTION REOUEST OF THE COMMISSION STAFF.2 Exhibit No. 105 Case No. IPC-E-17-13 M. Morrison, Staff l2l22ll7 Page 1 of 3 c. Please see the Company's response to Vote Solar's Request No. 36(d) for a description of the sampling methodology used to determine sampling strata and sample sizes. The strata weights are provided with the hourly data. d. Missing data can be categorized in the following three scenarios: r The Company's Advanced Metering lnfrastructure ("AMl") system, which uses power line carrier technology, experiences occasional communication issues when trying to retrieve data over the power line. For example, if a feeder is taken out of service for maintenance or if a section of line goes down due to an unplanned outage, the AMI system may be temporarily unable to communicate with the meters on that line depending on if there is an alternate path to get the readings. The Company does attempt to go back and retrieve missing data but may not be able to retrieve all missing data given that the system has limited bandwidth. lt is important to note that the hourly data is not used for billing purposes for Schedule 1, Residential Service Standard Service, customers. The AMI system retrieves a different register, called the daily register read, that is used for billing. lt is for this reason that the Company over-samples when the samples are designed. As stated in the Company's response to Vote Solar's Request No. 36, the ldaho residential sample was designed to include 449 sample points; however, the Company has a target sample size of 498 to ensure that it has data for 449 sample points for each hour in the event that there is missing data for some sample points. IDAHO POWER COMPANY'S RESPONSE TO THE SECOND PRODUCTION REQUEST OF THE COMMISSION STAFF.3 Exhibit No. 105 Case No. IPC-E-17-13 M. Morrison, Staff 12/22/17 Page 2 of 3 . Demand response participants are removed from the sample in months that demand response events are called. ln the case of the residential customer class, demand response events were called in June and July of 2016. This methodology is consistent with the filed class cost-of-service study from the Company's last general rate case. . There is missing data on March 13,2017, due to spring DST. Please see part (b) of this response for an explanation of how the Company handles the changes from Mountain Standard Time to Mountain Daylight Time and vice versa. The response to this Request is sponsored by Dave M. Angell, Transmission and Distribution Planning Manager, ldaho Power Company. DATED at Boise, ldaho, this 20th day of November zAfi. SA D. NO OM Attorney for ldaho Power Company IDAHO POWER COMPANY'S RESPONSE TO THE SECOND PRODUCTION REOUEST OF THE COMMISSION STAFF - 4 Exhibit No. 105 Case No. IPC-E-17-13 M. Morrison, Staff 12/22117 Page 3 of 3 ,K;8. #,,,/-t,,*r*- Dates lAetivrtreq Status Tentative Timeline to Ballot for PL547.L P1547.1 WG meeting - Draft 1 initiated P1547.1 subgroups work and complete Draft 1 P1547.1 Draft 1 posted for WG consideration Comments posted to iMeet Centra! P1547.1 WG meeting - Draft 1 discussed P1547.1 Draft 2 posted for WG meeting P1547.1 WG meeting - Draft 2 discussed P1547.1 Draft 3 posted for WG meeting P1547.1 WG meeting - Draft 3 discussed P1547.1 Draft 4 posted for WG meeting P1547.1 WG meeting - Draft 4 discussed P1547.1 Draft 5 posted for WG meeting P1547.1 WG meeting - Draft 5 discussed P1547.1 Pre-ballot draft sent to WG P1547.1 WG meeting - Finalize Draft 6 for ballot P1547.1 lnitial IEEE ballot Resolve ballot comments P1547.1 Published Done Done Done Done Done Done Done Done Done Ongoing ercrrbfrrdng fo. Lffigl Hunpnitl Exhibit No. 106 Case No. IPC-E-17-13 M. Morrison, Staff t2/22/17 June 16,2016 Summer 2016 September 30, 2016 October 15,2016 October 27-28,2016 January 31,2017 March 2,2017 May 19,2017 June 20-21,2017 September 2017 November 2017 January 2018 March 2018 May,2018 June,2018 Aug-Sept 2018 Oct 2018 - Jan 2019 2019 157 IEEE 1547, IEEE Standard for lnterconnecting Distributed Energy Resources for IEEE's Renewable Energy Standards Tutorial at2017 IEEE EPEC Gharlie Vartanian, MEPPI, IEEE 1547 Working Group Secretary October 22,2017 Saskatoon, Saskatchewan OlreeMrryttugl,dtuNtiry Exhibit No. 107 Case No. IPC-E-17-13 M. Morrison, Staff 12/22/17 Page I of 2 OrcgEM9t@,dntut* Disclaimer This presentation and drscussion here on IEEE 1547 are individual's views and are not the formal position, explanation or position of the IEEE. Exhibit No. 107 Case No. IPC-E-17-13 M. Morrison, Staff 12/22117 Page2 of 2 7 Update on IEEE P1547.L Revision: Dr. Anderson Hoke, P.E., NREL, Chair P1547.1 Working Group(WG) October 30, 20L7 Olese MwNiq, fot ledlrrdggy Humonity Exhibit No. 108 Case No. IPC-E-17-13 M. Morrison, Staff l2l22ll7 Page I of 2 Stondord Conformance Test Procedures for Equipment lnterconnecting Distributed Energy Resources with Electric Power Systems ond Associoted lnteffoces DISCLAIMER This presentation and discussion here on IEEE P1547 and IEEE P7547.7 are individual's views and are not the formal position or explanation of the IEEE. e trrr tfur&rglu Tdnologl Exhibit No. 108 Case No. IPC-E-17-13 M. Morrison, Staff 12122117 Page I of 2 7 2 7 CERTIFICATE OF SBRVICE I HEREBY CERTIFY THAT I HAVE THIS 22ND DAY OF DECEMBER 2017, SERVED THE FOREGOING DIRECT TESTIMONY OF MICHAEL MORRISON, N CASE NO. IPC-E-17-13, BY MAILING A COPY THEREOF, POSTAGE PREPAID, TO THE FOLLOWING: LISA D NORDSTROM REGULATORY DOCKETS IDAHO POWER COMPANY PO BOX 70 BOISE ID 83707-0070 E-MAIL: lnordstrom@idahopower.com dockets@idahopower. com C TOM ARKOOSH ARKOOSH LAW OFFICES 802 W BANNOCK ST STE 9OO PO BOX 2900 BOISE ID 8370I E-MAIL: tom.arkoosh@arkoosh.com erin.ceci I@arkoosh.conT ELIAS BISHOP AURIC SOLAR LLC 2310 S 1300 W W VALLEY CITY UT 84119 E-MAIL: elias.bis@ ANTHONY YANKEL 12700 LAKE AVENUE UNIT 2505 LAKEWOOD OH 44107 E-MAIL: tony@yankel.net TOM BEACH CROSSBORDER ENERGY 2560 9TH STREET, SUITE 2I3A BERKELEY CA 94710 E-MAIL: tomb@,crossborderenergy.com TIMOTHY E TATUM CONNIE ASCHENBRENNER IDAHO POWER COMPANY PO BOX 70 BOISE rD 83707-0070 E-MAIL: ttatum@idahopower.com caschenbrenner@idahopower. com MATTHEW A NYKIEL ID CONSERVATION LEAGUE I02 S EUCLID #207 PO BOX 2308 SANDPOINT ID 83864 E-MAIL: mn),kiel@idahoconservation.orq ERIC L OLSEN ECHO HAWK & OLSEN PLLC PO BOX 6119 POCATELLO ID 83205 E-MAIL: elo@echohawk.corn KELSEY JAE NLINEZLLC 920 N CLOVER DR BOISE ID 83703 E-MAIL : kelsey@kelseyj aenunez.com ELECTRONIC ONLY MICHAEL HECKLER michael.p.heckler@ gmail.com ZACK WATERMAN z,ack b.orq CERTIFICATE OF SERVICE ABIGAIL R GERMAINE DEPUTY CITY ATTORNEY BOISE CITY ATTORNEY'S PO BOX 500 BOrSE rD 83701-0s00 E-MAIL : aeermaine@cityofboise.org DAVID H ARKOOSH LAW OFFICE OF DAVID ARKOOSH PO BOX 2817 BOISE ID 8370I E-MAIL: david@arkooshlaw.com DAVID BENDER EARTHJUSTICE 3916 NAKOMA ROAD MADISON WI 53711 E-MAIL : dbender(@earthj ustice.orq BRIANA KOBOR VOTE SOLAR 986 PRINCETON AVENUE S SALT LAKE CITY UT 84105 E-MAIL: briana@votesolar.org JOHN R HAMMOND JR FISHER PUSCH LLP PO BOX 1308 BOISE ID 83701 E-MAIL : jrh@fi sherpusch.com ELECTRONIC ONLY SNAKE RIVER ALLIANCE wwil son@snakeri veral li ance.orq NW ENERGY COALITION diego@nwenerey.org RYAN B FRAZIER BRIAN W BURNETT KIRTON McCONKIE PO BOX 45t20 SALT LAKE CITY UT 841I I E-MAIL : rfrazier(@kmclaw.com bbumett@kmclaw.com DOUG SHIPLEY INTERMOUNTAIN WIND AND SOLAR LLC 1953 WEST 2425 SOUTH WOODS CROSS UT 84087 E-MAIL: doug@imwindandsolar.com PRESTON N CARTER DEBORAH E NELSON GIVENS PURSLEY LLP 601 W BANNOCK ST BOISE ID 83702 E-MAIL: prestoncarter@givenspursley.com den@ givenspursley. com SECRETAR CERTIFICATE OF SERVICE