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HomeMy WebLinkAbout20201224Answer to Gietzen Solar.pdfftmmr. lf{r?tr1\lS-l\ir''rL\#Ll I li-ii/ ?ij:il *[il ?l+ Pfi t: l+? :.:! !.rt;i,,,1.1. .. ., ;,ri_^i6,;t.!iiSiCft ^nDlBOnPCompfiY Julia Hilton Deputy General Counsel and Director of Legal ihilton@idahooower.com December 24,2020 ELEGTRONIC FILING Jan Noriyuki, Secretiary ldaho Public Utilities Commission 11331 W. Chinden Boulevard Building 8, Suite 201-A Boise, ldaho 83714 Re Case No. IPC-E-20-26 ln the Matter of ldaho Power Company's Application for Authority to Modify Schedule 84's Metering Requirement and to Grandfather Existing Customers with Two Meters Dear Ms. Noriyuki: Attached for electronic filing, pursuant to Order No. 34602, is ldaho Power Company's Answer to Gietzen Solar, LLC's Petition for Reconsideration. lf you have any questions about the attached document, please do not hesitate to contact me. Very truly yours, (J/- *-){( Julia Hilton JH:sdh Attachment JULIA HILTON (lSB No.7740) ldaho Power Company 1221West ldaho Street (83702) P.O. Box 70 Boise, ldaho 83707 Telephone: (208) 388-61 17 Facsimile: (208) 388-6936 jhilton@idahopower.com Attorney for ldaho Power Company BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF IDAHO POWER COMPANY'S APPLICATION FOR AUTHORITY TO MODIFY SCHEDULE 84's METERING REQUIREMENT AND TO G RANDFATHER EXISTING CUSTOMERS WITH TWO METERS. CASE NO. IPC-E-20-26 IDAHO POWER COMPANY'S ANSWER TO GIETZEN SOLAR, LLC'S PETITION FOR RECONSIDERATION ) ) ) ) ) ) ) On December 17,2020, Gietzen Solar, LLC ("Gietzen Solar), served a Petition for Reconsideration ("Petition") requesting that the ldaho Public Utilities Commission ("Commission") clarify and/or reconsider the portion of Order No. 34854 that sets forth eligibility criteria for legacy treatment for customers who have applied for interconnection under Schedule 84, Customer Energy Production Net Metering ("Schedule 84") by the service date of the order. Gietzen Solar's Petition also claims that ldaho Power Company's ("ldaho Powe/' or "Company") existing procedure for processing the applications that were received by the order date has exposed both Gietzen Solar and its customers to potential discrimination. ldaho Power, in accordance with ldaho Code S 61-626 and RP 331.02 and 331.05, files this Answer to Gietzen Solar's Petition. ldaho Power will (1) provide background on IDAHO POWER COMPANY'S ANSWER TO GIETZEN SOI.AR, LLC'S PETITION FOR RECONSIDERATION- 1 how it has applied the Commission's criteria for grandfathering in Order No. 34854 and the Company's procedures for identifying fully submitted applications, and (2) respond to statements made by Gietzen Solar regarding when potential Schedule 84 customers would have been made aware of the Company's proposa! in this case. I. APPLICANT CRITERIA FOR GRANDFATHERTNG Order No. 34854 defined existing customer-generators as those that interconnected a system by the service date of the order or who have aoplied for interconnection under Schedule 84 bv the service date of the order and interconnect their system within one year.1 The Commission's order addressed those customers and systems that had already "made a significant investment in an on-site system based on reasonable reliance of program stability," stating it would be "fair just, and reasonable, non-discriminatory, and in the public interest to allow those customer-generators to recoup the value of their investments over the anticipated life of their investment" and that "legacy treatment is only appropriate in limited circumstances."2 The Commission's focus appears to be intended to protect customers who made a financial investment, and the Company does not believe the Commission intended to create a situation that incentivized installers to submit applications after reading the Commission Order. The Company received several inquiries from installers on the afternoon of December 1, 2020, after Order No. 34584 was issued. For example, one installer submitted 49 applications and application fees on December 1, 2O2O on behalf of a potential customer. ln the days following, that customer contacted ldaho Power requesting to rescind the 49 applications because the solar installer provided the I Order No. 34854 at 12. 2 ld., at 11. IDAHO POWER COMPANY'S ANSWER TO GIETZEN SOLAR, LLC'S PETITION FOR RECONSIDERATION- 2 customer with misleading information. ldaho Power is concemed that instead of focusing on protecting customers who have already made or are on the cusp of making financial investments, Gietzen Solar is attempting to manipulate the Commission's grandfathering criteria for its own financia! gain. ldaho Power is focused on equitrable and consistent treatment in accepting customer applications, and there has been no discrimination in ldaho Powe/s procedures for processing applications as Gietzen Solar's Petition suggests. Schedule 72, lnterconnections to Non-Utility Generation ("schedule 72"), Section 2 (Application Process) states: 1. Customers must submit a completed application form and $100 application fee to the Company. Applications are available on the Company's website or will be provided to the Customer upon request. 2. Upon receipt of a completed application and $100 fee, the Company will provide the Customer with written or electronic mail notification that the application has been received and all necessary information has been provided. (Third Revised Sheet No. 72-7, emphasis added) As set forth in Schedule 72,lhe Company's business practice is to consider an application fully submitted as of the date a completed application form and $100 application fee is received; ldaho Power has consistently applied this standard to allapplications received. The Company believes it is both reasonable and necessary not to modify the business process that is used to identifyfully submitted applications. Further, to determine whether a customer is eligible for legacy treatment, the Company required a fully submitted application to be physically received by the Company on or before December 1,2020. II. CUSTOMER AND INSTALLER NOTICE ln order to proactively ensure that all customers were aware of potential changes to these rules, after filing the Application in this case, the Company sent a bill insert to IDAHO POWER COMPANY'S ANSWER TO GIETZEN SOLAR, LLC'S PETITION FOR RECONSIDERATION- 3 every Schedule 9, Large General Service, Schedule 19, Large Power Service, and Schedule 24, Agricultural lrrigation Service customer notifying them of the proposed filing (see Application, Attachment 3); the notices were provided in customer bills between July 6 and August 4, 2020. Additionally, installers received an emai! on June 25, 2020, notifying them of the case and the requested effective date of December 1, 2020 (see Application, Attachment 4). Gietzen Solar attempts to suggest that it was disadvantaged due to the timing and lack of appropriate notice for a customer to decide to proceed with an investment, but the Company took steps to ensure that customers and installers had ample notice of potential changes. The Company did not disadvantage any customer or installer by administering the provisions of Schedule 72when processing the applications. III. CONCLUSION ldaho Power respectfully requests the Commission issue an order denying Gietzen Solar's Petition for reconsideration and find that (1) the Company's procedure for identifying fully submifted applications (application form and fee) is fair, just, and reasonable, (2) a fully submitted application physically received by the Company on or before December 1, 2O2O, is considered eligible for legacy treatment, and (3) potential customers and installers received reasonable notice of the Company's Application and the potentialfor changes to the tariff. DATED at Boise, ldaho, this 24h day of December 2O2O. (l.:*-){(" Julia Hilton Attorney for ldaho Power Company IDAHO POWER COMPANY'S ANSWER TO GIETZEN SOLAR, LLC'S PETITION FOR RECONSIDERATION- 4 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on this 24th day of December,2020 I served a true and correct copy of the within and foregoing IDAHO POWER COMPANY'S ANSWER TO GIETZEN SOLAR, LLC'S PETITION FOR RECONSIDERATION upon the following named parties by the method indicated below, and addressed to the following: Commission Staff Edward Jewell Deputy Attomey General ldaho Public Utilities Commission 11331West Chinden Blvd., Bldg No. 8 Suite 201-A(83714) Boise, lD 83720-0074 ldaho lrrigation Pumpers Association, lnc Eric L. Olsen Echo Hawk & Olsen, PLLC 505 Pershing Ave., Suite 100 PO Box 6119 Pocatello, !D 83205 Anthony Yankel 12700 Lake Ave. Unit 2505 Lakewood, OH 44107 ldaho Gonservation League Benjamin J. Otto ldaho Conservation League 710 N.6fr Street Boise, lD 83702 City of Boise Gity Scott Muir Deputy City Attomey Boise City Attorney's Office 105 N. Capitol Blvd. PO Box 500 Boise, lD 83701-0500 Hand Delivered _U.S. Mail Overnight Mail _FAXX Email edward.iewell@puc.idaho.qov _Hand Delivered U.S. Mail _Overnight Mail _FAXX Emai! elo@echohawk.com _Hand Delivered U.S. Mail _Overnight Mail _FAXX Emai! tonv@vankel.net _Hand Delivered U.S. Mail _Overnight Mail _FAXX Email botto@idahoconservation.orq Hand Delivered U.S. Mail Overnight Mail _ FAXX Email BoiseCitvAttornev@citvofboise.orq IDAHO POWER COMPANY'S ANSWER TO GIETZEN SOLAR, LLC'S PETITION FOR RECONSIDERATION- 5 Micron Technology, Inc. Austin Rueschhoff Thorvald A. Nelson Holland & Hart, LLP 555 17h Street, Suite 3200 Denver, CO 80202 Hand Delivered U.S. Mail Overnight Mail FAX X Email darueschhoff@hollandhart.com tnelson(Ohol landhart.com aclee@ holland hart.com q lqa rqa noa m a ri@ hol la nd ha rt. co m Jim Swier Micron Technology, lnc. 8000 South FederalWay Boise, lD 83707 Hand Delivered U.S. Mail Overnight Mail FAX X Email iswier@micron.com ldaho Sierra Glub Kelsey Jae Law for Conscious Leadership 920 N. Clover Dr. Boise, lD 83703 _Hand Delivered U.S. Mail Overnight Mail _FAXX Emai! kelsey@kelseviaenunez.com Lisa Young Mike Heckler ldaho Sierra Club 503 W Franklin St. Boise, lD 83702 _Hand Delivered U.S. Mail _Overnight Mail _FAXX Email lisa.vouno@sierraclub.orq mich ael nh ail.com lndividual Russell Schiermeier 29393 Davis Road Bruneau, lD 83604 _Hand Delivered U.S. Mail _Overnight Mail FAX x Email buvhay@qmail.com Gietzen Solar Logan Gietzen 120 9th Ave. S. Buh!, ldaho 83316 _Hand Delivered U.S. Mail _Overnight Mail FAX x Email loqan@qietzensolar.com IDAHO POWER COMPANY'S ANSWER TO GIETZEN SOLAR, LLC'S PETITION FOR RECONSIDERATION- 6 Agripower Solar, LLC Preston N. Carter BIake W. Ringer Givens Pursley LLP 601 W. Bannock St. Boise, ldaho 83702 _Hand Delivered U.S. Mai! _Overnight Mail _FAXX Email prestoncarter@oivenspurslev.com blakerinqer@qivenspursley.com J**-z-z#,*-- Sandra D. Holmes Lega! Adm inistrative Assistant IDAHO POWER COMPANY'S ANS\A'ER TO GIETZEN SOLAR, LLC'S PETITION FOR RECONSIDERATION- 7