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HomeMy WebLinkAbout20200625Answer to Idaho Power Motion.pdfftilc Etvg& II}?ff JLii{ 25 PH 3: 26JOHN R. HAMMOND, JR. DEPUTY ATTORNEY GENERAL IDAHO PUBLIC UTILITIES COMMISSION PO BOX 83720 BOISE, IDAHO 83720-0074 (208)334-03s7 IDAHO BAR NO. 5470 Street Address for Express Mail: I 1331 W CHINDEN BLVD, BLDG 8, SUITE 201-4 BOISE,ID 83714 Attorney for the Commission Staff BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION ' :"'1{ lft. i.....: i UQLIL/r,; ' i',i:,:ii i,:li;ft{}$Sii$N IN TIIE MATTER OF THE APPLICATION OF IDAHO POWER COMPANY FOR APPROVAL OR REJECTION OF AI\ ENERGY SALES AGREEMENT WITH BIG WOOD CANAL COMPAIIY FOR THE SALE AND PI]RCHASE OF ELECTRIC ENERGY FROM THE SAGEBRUSII HYDRO PROJECT CASE NO.IPC.E-19.38 AI\SWER TO IDAIIO POWER COMPAI\IY'S MOTION FOR APPROVAL OF FIRST AMENDMENT TO ENERGY SALES AGREEMENT OR ALTERNATTVELY FOR CLARIFICATION AI\D/OR RECONSIDERATION ) ) ) ) ) ) ) ) ) ) The Commission Staff ("Staff') of the Idaho Public Utilities Commission, by and through its attorney, Deputy Attorney General John R. Hammond Jr. files this Answer to Idaho Power Company's ("Company") Motion for Approval of First Amendment to Energy Sales Agreement in Compliance with Order No. 34677 or Alternatively for Clarification and./or Reconsideration ("Motion") pursuant to ldaho Code $ 6l-626(l) and Commission Rules of Procedure 53,56,325 and 331. IDAPA 31.01.01.53, .56,.325 and .331. BACKGROUNI) On December 9,2019, the Company filed an Application seeking approval or rejection of an Energy Sales Agreement ('ESA") between the Company and Big Wood Canal Company ("Seller"), for the Sagebrush hydro project ("Facility") . See Application at l. The Facility is a 575- kilowatt ("kW") nameplate capacity qualiffing facility ("QF") near Gooding, Idaho under the 1ANSWER JUNE 25,2020 Public Utility Regulatory Policies Act of 1978 ("PURPA"). Id. at 2. The Facility previously delivered energy to the Company under a PURPA energy sales agreement executed on April 1, 1985. Id. at2. lnthat agreement the nameplate capacrty of the Facility was 430 kW. On January 10,2020, the Commission issued its Notice of Application and Notice of Modified Procedwe. Staff filed written comments on January 31,2020. Wood Hydro, LLC ("Wood Hydro") filed reply comments on February 5,2020.r The Company filed reply comments on February 21,2020. On March 17,2020, Wood Hydro filed supplemental reply comments. On May 28, 2020, the Commission issued Order No. 34677 approving the ESA contingent upon certain modifications to it being implernented. In Order 34677 the Commission found it reasonable for the Seller to continue to be paid for capacity up to only 430 kW for the full termoftherenewalESA. OrderNo.34677at5;seealsoOrderNo.32697at2l-22. However,the Commission also found that the 145-kW increase in nameplate capacity for the Facility would not receive capacity payments until the Company becomes capacity deficient. Order No. 34677 at 6. On June 18,2020,Idaho Power frled the Motion, proposing a method using hourly meter data to implement the Commission's modifications made to the ESA in Order No. 34677. STAFF'S ANSWER Staff recommends that the Commission grant the Company's Motion for Clarification and/or Reconsideration pursuantto ldaho Code $ 61-626 and Commission Rules of Procedure 325 and./or 332 md set a procedural schedule to allow for discovery and the filing of written comments to fully develop a record to evaluate the First Amendment to the ESA. According to the Company, the First Amendment is designed to allow the Seller to receive immediate capacity payments for the generation of the 430 kW only and to allow capacity payments for the incremental generation from the increased 145 kW of the Facility when the Company's system becomes capacity deficient in July of 2026. The First Amendment contains provisions that have not been used in any previous QF contracts and Staffasserts that an in depth review of them is necessary to ensure that it complies with OrderNo.34677, does not interfere with other required provisions included in the ESA, and complies with previous Commission orders. Staff also wishes to determine whether the rate structure proposed by the First Amendment will I Ted Sorenson represents that he is filing the Reply Comments on behalf of Wood Hydro. Sorenson is listed as a govemor of Wood Hydro according to records of the Idaho Secretary of State. He is also listed as an "Authorized Agent" of Big Wood as set forth in the ESA. .See ESA at p. l, paragraph 1.2, and p. 33, paragraph25-2. 2ANSWER JUNE 25,2020 make measuring compliance with 90/110 requirements difficult. Staff also desires to detennine whether the provisions of the First Amendment will prevent the Seller from receiving immediate capacity payments for generation from the incremental 145 kW of capacity. CONCLUSION Staffrecommends the Commissiongrantthe Company's Motion forClarifrcation and/or Reconsideration. Staffalso recommends that the Commission set a procedural schedule to consider the issues raised by Idaho Power's Motion and First Amendment. Staff recommends that this procedural schedule allow time for discovery and for the issues to be reviewed by the Commission through the filing of written comments of the parties. Respectfully submitted this 256day of June 2020. Hammond, Jr. Attorney General J 3ANSWER JUNE 25,2020 CERTIF'ICATE OF SERVICE I HEREBY CERTIFY THAT I HAVE THIS 25ft DAY OF JUNE 2020, SERVED THE FOREGOTNG ANSWE& IN CASE NO. IPC-E-19-38, By E-MAILING A COPY THEREOF, TO THE FOLLOWING: DONOVAN E WALKER REGULATORY DOCKETS IDAHO POWER COMPANY PO BOX 70 BOISE ID 83707-0070 E-MAIL: dwalker@idahopower.com dockets @ idahopower. com DAVID STEPHENSON BIG WOOD CANAL CO 4O9N APPLE ST SHOSHONE ID 83352 E-MAIL: davidstephenson@cableone.net C. TOM ARKOOSH ARKOOSH LAW OFFICES 802 W BANNOCK ST SUITE LP IO3 PO BOX 2900 BOISE ID 83701 E-MAIL: tom.arkoosh@arkoosh.com ENERGY CONTRACTS IDAHO POWER COMPANY PO BOX 70 BOISE ID 83707-0070 E-MAIL: enerevcontracts@idahopower.com TED SORENSON WOOD HYDRO LLC IO32 GRANDVIEW DR ryINS UT 84738 E-MAIL: ted@tsorenson.net Kd lY,ffiv{t<tN KERI J. HA!\,tlcR Assistant to John R. Hammond Jr 4ANSWER JUNE 25,2020