HomeMy WebLinkAbout20171117Motion to File Reply.pdfPreston N. Carter (ISB No. 8462)
Deborah E. Nelson (lSB No. 57ll)
Givens Pursley LLP
601 W. Bannock St.
Boise, ID 83702
Telephone: (208) 388-1200
Facsimile: (208) 388- I 300
prestoncarter@ givenspursl ey. com
den@ sivenspursley. com
13980182_7 u3915-21
Attorneys for Auric Solar, LLC
IN THE MATTER OF IDAHO POWER
COMPANY'S APPLICATION FOR
AUTHORITY TO ESTABLISH NEW
SCHEDULES FOR RESIDENTIAL AND
SMALL GENERAL SERVICE
CUSTOMERS WITH ON-SITE
GENERATION
RECE IVED
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BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
Case No.IPC-E-17-13
AuRtc SoLRR, LLC's MouoN To FrLE
Rnprv ro IDAHo PowER CovtpeNy's
ANswrR ro ICEA's MorroN ro Drsurss
Pursuant to Commission Rules 255 and256.03, Auric Solar, LLC ("Auric Solar")
requests that the Commission accept this reply brief to Idaho Power Company's Answer to Idaho
Clean Energy Association's Motion to Dismiss (filed November 13, 2017) ("Answer").l In the
Answer, Idaho Power makes several inaccurate assertions against Auric Solar and others in the
industry. Providing Auric Solar the opportunity to respond before the Commission decides
ICEA's Motion to Dismiss serves the interest of the Commission, the parties, and the public.
I "In any proceeding, any party may move to file briefs, memoranda, proposed orders of the parties or statements of
position . . . ." IDAPA 31.01.01.255. Auric Solar requests action on this procedural motion within 14 days if the
Commission acts upon the underlying Motion to Dismiss within that period. A copy of the Motion was served on
Idaho Power by hand delivery on November 17 ,2017 . Counsel for Auric Solar has attempted to reach a
representative of each party by telephone and will continue to do so until contact is made. Auric Solar has also
provided electronic copies of this motion to all representatives at the email addresses indicated on the Certificate of
Service.
REPLY To IDAHo PowER,S ANSweR TO ICEA,S MOTION TO DISMISS - I ORIGINAL
1) The online content submitted by Idaho Power refers to fixed payments between
Auric Solar and the customer, not between the customer and Idaho Power.
In its Answer, Idaho Power argues that Auric Solar misleads customers by promising
fixed rates. Answer at 14-15 & Attachments I -4.2 A separate customer class is necessary, Idaho
Power argues, inpart to inform rooftop customers that Idaho Power's rates and rate structures are
subject to change. Answer at 14-15.
Idaho Power misunderstands the statements in the online content it submits. References
to fixed rates refer to the terms between a customer and Auric. In many instances, the customer
finances the rooftop solar installation by making a fixed, monthly payment to Auric's financing
partner for a particular term. When the term expires, the installation is owned free and clear and
will produce electricity for its remaining useful life. In this manner, the customer secures a
source of electricity for a fixed monthly paynent.
The customer still maintains a relationship with the utility, whose rates are subject to
changes. Customers specifically acknowledge the possibility of rate changing by signing the net
metering application. Idaho Power also informs customers through emails, brochures, and its
website. Answer at 16. Many or most customers also receive a monthly power bill (albeit a low
one), confirming the customer's ongoing relationship with the utility. Idaho Power's
misinterpretation of online content does not justify creating a new customer class.
2) Idaho Power proposes to grandfather existing customers.
Idaho Power also argues that Auric Solar "perpetuate[s]" the idea that existing systems
2 Idaho Power's attachments appear to be screenshots of websites or social media posts. Auric Solar will address
Idaho Power's arguments head-on without conceding the accuracy, genuineness, or admissibility of these materials.
Auric Solar reserves the right to do so as the proceeding continues.
REPLY To Ioeuo PowER'S ANSWER TO ICEA'S MOTION TO DISMISS - 2
will be grandfathered into existing rates. Answer at 17. Idaho Power contends this is
inappropriate, in part, because "grandfathering rates for net metering customers cannot lawfully
occur." Id. (citing ldaho State Homebuilders v. Wash. Water Power,l07 Idaho 415 (1985).
But Idaho Power's Application proposes to grandfather existing customers: "Closing
Schedule 84 to new participants will not impact existing R&SGS net metering customers; the
Company proposes that existing R&SGS net metering customers remain on Schedule 84 for a
period of time, under the same rate structure and compensation method, and transition over some
period of years to the proposed new schedules in the future." Application at 6-7 (emphasis
added). Idaho Power cites the Homebuilde,,s case to support distinguishing between customers.
Application at 7 . Idaho Power appears to argue that aspects of its own Application are not lawful.
Legality aside, Idaho Power cannot fault Auric Solar for pointing out what Idaho Power
itself has proposed.
3) Creating a separate customer class generates more uncertainty than the possibility
of rate changes across the entire R&SGS class.
Idaho Power contends that creating a new customer class will not create additional
uncertainty because rates are always subject to change. Answer at 16 ("[I]t is erroneous to
believe that Idaho Power's filing 'creates' or 'injects extreme uncertainty into the market.'
Customer uncertainty has ALWAYS existed because all customer utility rates are subject to
change.").
This argument conflates general rate uncertainty with creating a new, disfavored class of
customers. General rate uncertainty is a routine risk made manageable, in part, because changes
apply across the board to all R&SGS customers. There is safety in numbers.
Creating a separate customer class is different. The Application makes clear that Idaho
Power intends to treat this new class unfavorably. Yet the Application does not disclose the
REPLY To IDAHo PowER,S ANSWER TO ICEA,S MOTION TO DISUISS - 3
degree or type of unfavorable treatment Idaho Power will seek in the future. If the Application
succeeds as proposed, Auric Solar will not be able to offer the same terms to fufure customers.
Indeed, it likely will not be able to operate in the Idaho market at all. Creating a small,
disfavored class of customers without disclosing how that class will be treated creates
uncertainty above and beyond the possibility of rate changes to the entire R&SGS class.
4) Auric Solar does not seek to avoid addressing the costs and benefits of distributed
generation. It just wants the issue addressed in an appropriate proceeding.
To be clear, Auric Solar is not averse to considering the costs and benefits of distributed
energy generation. It just wants to do so in an appropriate proceeding. An appropriate proceeding
would, at least, l) comply with the Commission's orders, specifically Order No. 32846; 2) fully
evaluate both the benefits and detriments of distributed generation; and 3) lay out the
justifications and proposed treatment of any new customer class that would be created. Idaho
Power's current Application is unjustified and does not meet these requirements.
Dated: November 17,2017 .
GIVENS PURSLEY LLP
/
Preston N. Carter
Givens Pursley LLP
Attorneys for Auric Solar, LLC
Replv ro IDAHo PowER's ANSWERTo ICEA'S MorroN To DISMISS - 4
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CERTIFICATE OF SERVICE
I certify that on November 17,2017, a true and correct copy of AuRIC SoLAR, LLC's Rrquesr
To FILE Rppl-y To IDAHO POwEn COup,q.Ny,S ANSwER ro ICEA,S MorroN To DISMISS was
served upon all parties of record in this proceeding via the manner indicated below:
Commission Staff
Diane Hanian, Commission Secretary
Idaho Public Utilities Commission
472 W . Washington Street
Boise, ID 83702
Diane.holt@puc.idaho. gov
(Original and 7 copies provided)
Sean Costello, Deputy Attomey General
Idaho Public Utilities Commission
472W. Washington Street (83702)
P.O. Box 83720
Boise, lD 83720-0074
S ean. costello@puc. idaho. eov
Lisa D. Nordstrom
Idaho Power Company
1221 West Idaho Street (83702)
P.O. Box 70
Boise, ID 83707
lnordstrom@idahopower. com
dockets@idahopower. com
Matthew A. Nykiel
Benjamin J. Otto
Idaho Conservation League
P.O. Box 2308
102 E. Euclid, #207
Sandpoint, ID 83864
mnyki el @idahoconservation. ore
botto@idahoconservation. org
Briana Kobor
Vote Solar
360 22"d Street, Suite 730
Oakland, CA946l2
briana@votesolar.org
Hand Delivery & Electronic Mail
Electronic Mail
Electronic MaiUHand Delivery
Timothy E. Tatum
Connie Aschenbrenner
Idaho Power Company
1221 West Idaho Street (83702)
P.O. Box 70
Boise, ID 83707
ttatum@ idahopower. com
caschenbrenner@ i dahopower. com
Electronic Mail
Abigail R. Germaine
Boise City Attorney's Office
150 N. Capitol Blvd.
P.O. Box 500
Boise, ID 83701-0500
aeermaine@cityofboise. org
Vote Solar
c/o David Bender
Earthjustice
3916 Nakoma Road
Madison, WI 53711
dbender@ earthj ustice. or g
REPLY To IDAHo PowER'S ANSWER TO ICEA'S MOTION TO DISMISS - 5
Electronic Mail (continued)
Idaho Irrigation Pumpers Association, Inc.
c/o Eric L. Olsen
Echo Hawk & Olsen, PLLC
505 Pershing Ave., Suite 100
P.O. Box 6119
Pocatello, ID 83205
elo@echohawk.com
Elias Bishop
Auric Solar, LLC
2310 S. 1300 W.
West Valley city, UT 841l9
Elias.bishop@auricsolar. com
Idaho Clean Energy Association
c/o David H. Arkoosh
Law Office of David Arkoosh
P.O. Box 2817
Boise, ID 83701
david@arkooshlaw.com
Zack Waterman
Idaho Sierra Club
503 W. Franklin Street
Boise, ID 83702
Zach. waterman@ si erraclub. ore
Snake River Alliance NW Energy Coalition
c/o John R. Hammond Jr.
Fisher Pusch LLP
101 South Capital Blvd., Suite 701
Boise, ID 83702
jrh@fisherpusch.com
Anthony Yankel
12700 Lake Avenue, Unit 2505
Lakewood, OH 44107
tony@yankel.net
Idahydro and Idaho Clean Energy Association
clo C. Tom Arkoosh
Arkoosh Law Offices
802 W. Bannock Street, Suite 900
P.O. Box 2900
Boise, ID 83701
Tqm. arkoo sh(@arkoo sh. com
Erin. cecil@arkoosh. com
Sierra Club
c/o Kelsey Jae Nunez
Kelsey Jae Nunez LLC
920 N. Clover Drive
Boise, ID 83703
kel sey@kel seyj aenunez. com
Michael Heckler
3606 N. Prospect Way
Garden City, ID 83714
Michael.p.heckler@ grnail. com
Snake River Alliance
wwilson@snakeriveralliance. org
NW Energy Coalition
diego@nwenerev.orq
REPLY To IDAHo PowER,s ANSWER To ICEA,S MoTIoN To DISMISS - 6
Electronic Mail (Continued)
Intermountain Wind and Solar, LLC
c/o Ryan B. Frazier
Brian W. Burnett
Kirton McConkie
50 East South Temple, Suite 400
P.O. Bo 45120
Salt Lake city, UT 841I I
rfrazier@kmclaw.com
bburnett@kmclaw.com
Intermountain Wind and Solar, LLC
c/o Doug Shipley
Dale Crawford
1952 West 2425 South
Woods Cross, UT 84087
doue@imwindandsolar. com
dale@imwindandsolar. com
Preston N. Carter
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REPLY To IDAHo PowER'S ANSWER TO ICEA,S MoTIoN To DISMISS - 7
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