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HomeMy WebLinkAbout20231115Direct Jessica York in Support of Stipulation and Settlement.pdf BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION OF IDAHO POWER COMPANY FOR AUTHORITY TO INCREASE ITS RATES AND CHARGES FOR ELECTRIC SERVICE IN THE STATE OF IDAHO AND FOR ASSOCIATED REGULATORY ACCOUNT TREATMENT ) ) ) ) ) ) ) ) ) CASE NO. IPC-E-23-11 Testimony in Support of Settlement Stipulation Jessica A. York On behalf of Micron Technology, Inc. November 15, 2023 RECEIVED Wednesday, November 15, 2023 3:23:37 PM IDAHO PUBLIC UTILITIES COMMISSION York, Di 1 Micron Technology, Inc. Q PLEASE STATE YOUR NAME AND BUSINESS ADDRESS. 1 A Jessica A. York. My business address is 16690 Swingley Ridge Road, 2 Suite 140, Chesterfield, Missouri 63017. 3 Q WHAT IS YOUR OCCUPATION? 4 A I am a consultant in the field of public utility regulation and an Associate with the 5 firm of Brubaker & Associates, Inc. (“BAI”), energy, economic and regulatory 6 consultants. 7 Q PLEASE DESCRIBE YOUR EDUCATIONAL BACKGROUND AND 8 EXPERIENCE. 9 A This information is included in Appendix A to my testimony. 10 Q ON WHOSE BEHALF ARE YOU APPEARING IN THIS PROCEEDING? 11 A I am appearing on behalf of Micron Technology, Inc. (“Micron”). 12 Q WHAT IS THE PURPOSE OF YOUR TESTIMONY IN THIS PROCEEDING? 13 A The purpose of my testimony is to support the unanimous Stipulation and 14 Settlement (“Stipulation”) filed by Idaho Power Company (“IPC” or “Company”) 15 and the other parties to this proceeding on October 27, 2023. The Stipulation 16 resolves all revenue requirement, class cost of service, and rate design issues in 17 this proceeding. 18 Q DO YOU RECOMMEND APPROVAL OF THE STIPULATION? 19 A Yes. I recommend approval of the Stipulation. The Stipulation is a 20 comprehensive agreement that represents give and take among the parties and 21 York, Di 2 Micron Technology, Inc. resolves the revenue requirement, cost allocation, and rate design issues that 1 would have likely been raised by the parties in this proceeding. The Stipulation is 2 a result of extensive arms-length negotiations between the settling parties in 3 order to reach a comprehensive settlement. Notably, the Stipulation is within the 4 range of outcomes that would have resulted from a litigated case. 5 In sum, the Stipulation should be approved for the following reasons: 6 1. The stipulated overall revenue requirement will result in an overall level of 7 revenues for IPC that is just and reasonable and will allow the utility a 8 reasonable opportunity to earn a fair return on its investments. The revenue 9 requirement adjustments contained in the Stipulation represent a compromise 10 on the issues that would have been contested in this case. 11 2. The stipulated revenue allocation reflects a compromise between the parties 12 to resolve the issues that would have been contested in this case and is 13 reasonably based on cost of service principles. The compromise revenue 14 allocation in the Stipulation is within the range of what would have likely been 15 the parties’ litigated positions in this case. 16 3. The stipulated rate design for the various customer rates is fair, reasonable, 17 and in the public interest. 18 4. The Stipulation is likely to reduce the Commission’s administrative burden 19 and save rate case expenses for all parties. 20 Q PLEASE DESCRIBE THE STIPULATION’S RESOLUTION OF THE 21 COMPANY’S REVENUE REQUIREMENT IN THIS PROCEEDING. 22 A The Stipulation resolves the revenue requirement issues that would have been 23 raised by parties in this rate case. 24 The Company’s original filing in this docket proposed to increase base 25 rate revenues by $111 million, or a system average increase of 8.61 percent. 26 Under the Stipulation, the increase in total revenue was reduced to $54.7 million, 27 or a system average increase of 4.25 percent. 28 The Stipulation reflects several adjustments to the Company’s originally 29 filed revenue requirement, which are summarized in the table on page 4 of the 30 York, Di 3 Micron Technology, Inc. Stipulation. The Commission Staff (“Staff”) and intervenors, including Micron, 1 provided a thorough and detailed assessment of the Company’s cost of service 2 in these negotiations. Staff’s and the other intervenors’ review and input was 3 very useful in identifying and reaching an agreement on the revenue requirement 4 adjustments included in the Stipulation. 5 Q DID MICRON HAVE CONCERNS ABOUT ANY SPECIFIC COMPONENTS OF 6 THE COMPANY’S PROPOSED REVENUE REQUIREMENT? 7 A Yes. Micron had several concerns with IPC’s originally proposed revenue 8 requirement, which are resolved by the compromise represented in the 9 Stipulation. First, Micron was concerned that the Company’s proposed Return 10 on Equity (“ROE”) of 10.4 percent was excessive based on current market 11 conditions. Micron conducted an independent analysis of IPC’s proposed ROE 12 and concluded that we would, in the context of a litigated case, advocate for an 13 ROE in the range of 9.0 percent. The Stipulation provides for a reasonable 14 compromise between these positions and recommends the Commission approve 15 a 9.6 percent ROE. 16 In addition, Micron had several other concerns with the Company’s 17 proposed revenue requirement including the use of end-of-period rate base 18 instead of average rate base; the inclusion of 2024 salary increases, which were 19 outside the test year; an excessive projection of uncollectibles’ expense relative 20 to the three-year average of 2019, 2021, and 2022;1 the inclusion of incentive 21 compensation tied to financial performance, which benefits shareholders rather 22 than ratepayers; and a potentially understated residential sales forecast. In total, 23 1 2020 was excluded due to the COVID-19 pandemic, which contributed to an abnormally high level of uncollectibles. York, Di 4 Micron Technology, Inc. Micron estimated that its adjustments related to these issues would have 1 reduced the Company’s claimed revenue deficiency by approximately 2 $45 million. The adjustments are, in many instances, incremental to other 3 adjustments that Micron understands that the Staff and other intervenors would 4 have raised. The Stipulation addresses several of Micron’s various revenue 5 requirement adjustments and reflects a reasonable compromise of the various 6 issues presented in this proceeding and the parties’ positions in those issues. 7 Q DID THE SETTLING PARTIES REACH AN AGREEMENT ON THE REVENUE 8 ALLOCATION? 9 A Yes. Stipulation Exhibit No. 1 provides the parties’ agreement regarding revenue 10 allocation. Stipulation Exhibit No. 2 identifies the settlement rates agreed to by 11 all settling parties. 12 As particularly applicable to Micron, the Stipulation provides for an 13 increase of approximately 3.65 percent for Micron’s Special Contract Rate 14 Schedule 26. This outcome is consistent with IPC’s cost of service study, which 15 concluded that Micron warranted a cost-based rate increase less than the system 16 average rate increase. In addition, Micron is satisfied with the rate design for 17 Rate Schedule 26, as it generally reflects cost-based rates based on its preferred 18 class cost of service study methodology. 19 With regard to the other customer classes, Micron analyzed IPC’s class 20 cost of service study and finds the revenue allocation reasonable based on the 21 class cost of service study proposed by IPC, including any adjustments to that 22 study that Micron would have proposed had this case been fully litigated. 23 York, Di 5 Micron Technology, Inc. Q DID THE SETTLING PARTIES AGREE UPON A PARTICULAR COST OF 1 SERVICE STUDY? 2 A No. The parties did not agree on any particular class cost of service 3 methodology. Instead, the settling parties negotiated a modified revenue 4 allocation to adjust rates and charges for each customer class. 5 Q IN YOUR OPINION, IS THE STIPULATION REASONABLE AND IN THE 6 PUBLIC INTEREST? 7 A Yes. The settling parties compromised on their various positions in order to 8 reach a Stipulation that economically and efficiently resolves what would have 9 been contested issues in this case. The Stipulation provides the Company with 10 updated rates to better reflect current costs and the ability to economically 11 finance new investments in infrastructure while maintaining just and reasonable 12 rates for its customers.2 Furthermore, approving the Stipulation will result in 13 efficiencies for the Commission, Staff, and parties, and reduced rate case 14 expenses to the benefit of all IPC customers. 15 Q DOES THIS CONCLUDE YOUR TESTIMONY IN SUPPORT OF THE 16 SETTLEMENT STIPULATION? 17 A Yes, it does. 18 2 Settlement Testimony of Timothy Tatum at page 2, ll. 7-17. Appendix A York, Di 6 Micron Technology, Inc. Appendix A - Qualifications of Jessica A. York Q PLEASE STATE YOUR NAME AND BUSINESS ADDRESS. 1 A Jessica York. My business address is 16690 Swingley Ridge Road, Suite 140, 2 Chesterfield, Missouri 63017. 3 Q PLEASE STATE YOUR OCCUPATION. 4 A I am a consultant in the field of public utility regulation and an Associate with the firm 5 of Brubaker & Associates, Inc. (“BAI”), energy, economic and regulatory consultants. 6 Q PLEASE IDENTIFY THE JURISDICTIONS IN WHICH YOU HAVE PREVIOUSLY 7 SPONSORED TESTIMONY. 8 A I have sponsored expert testimony in front of the Idaho Public Utilities Commission, 9 the Illinois Commerce Commission, Indiana Utility Regulatory Commission, the 10 Kansas Corporation Commission, the Michigan Public Service Commission, the 11 Minnesota Public Utilities Commission, the Missouri Public Service Commission, the 12 Public Utilities Commission of Nevada, the Oklahoma Corporation Commission, and 13 the Public Service Commission of Wisconsin. 14 Q PLEASE STATE YOUR EDUCATIONAL BACKGROUND AND PROFESSIONAL 15 EMPLOYMENT EXPERIENCE. 16 A I graduated from Truman State University in 2008 where I received my Bachelor of 17 Science Degree in Mathematics with minors in Statistics and Actuarial Science. I 18 earned my Master of Business Administration Degree with a concentration in Finance 19 from the University of Missouri-St. Louis in 2014. 20 Appendix A York, Di 7 Micron Technology, Inc. I joined BAI in 2011 as an analyst. Then, in March 2015, I joined the 1 consulting team of BAI. 2 I have worked in various electric, natural gas and water and wastewater 3 regulatory proceedings addressing cost of capital, sales revenue forecasts, revenue 4 requirement assessments, class cost of service studies, rate design, and various 5 policy issues. I have also conducted competitive power and natural gas solicitations 6 on behalf of large electric and natural gas users, have assisted those large power and 7 natural gas users in developing procurement plans and strategies, assisted in 8 competitive contract negotiations, and power and natural gas contract supply 9 administration. In the regulated arena, I have evaluated cost of service studies and 10 rate designs proffered by other parties in cases for various utilities, including in Idaho, 11 Illinois, Indiana, Kansas, Wisconsin, and others. I have conducted bill audits, rate 12 forecasts and tariff rate optimization studies. 13 I have also provided support to clients with facilities in deregulated markets, 14 including drafting supply requests for proposals, evaluating supply bids, and auditing 15 competitive supply bills. I have also prepared and presented to clients reports that 16 monitor the electric market and recommend strategic hedging transactions. 17 BAI was formed in April 1995. BAI and its predecessor firm have participated 18 in more than 700 regulatory proceedings in forty states and Canada. 19 BAI provides consulting services in the economic, technical, accounting, and 20 financial aspects of public utility rates and in the acquisition of utility and energy 21 services through RFPs and negotiations, in both regulated and unregulated markets. 22 Our clients include large industrial and institutional customers, some utilities and, on 23 occasion, state regulatory agencies. We also prepare special studies and reports, 24 forecasts, surveys and siting studies, and present seminars on utility-related issues. 25 Appendix A York, Di 8 Micron Technology, Inc. In general, we are engaged in energy and regulatory consulting, economic 1 analysis and contract negotiation. 2 In addition to our main office in St. Louis, the firm also has branch offices in 3 Corpus Christi, Texas; Detroit, Michigan; Louisville, Kentucky and Phoenix, Arizona 4 30881116_v3 DECLARATION OF JESSICA A. YORK 1 I, Jessica A. York, declare under penalty of perjury under the laws of the state of 2 Idaho: 3 1.My name is Jessica A. York. I am employed by Brubaker &4 Associates, Inc. (“BAI”) as an Associate and consultant in the field of public utility 5 regulation. 6 2.On behalf of Micron Technology, Inc., I present this pre-filed7 testimony in support of the settlement stipulation in this matter. 8 3.To the best of my knowledge, my pre-filed testimony in support of9 the settlement stipulation is true and accurate. 10 I hereby declare that the above statement is true to the best of my knowledge 11 and belief, and that I understand it is made for use as evidence before the Idaho 12 Public Utilities Commission and is subject to penalty for perjury. 13 SIGNED this 14th day of November 2023, at Chesterfield, Missouri. 14 Signed: 15 16 17 30897075_v1 Declaration York, Di 9 Micron Technology, Inc. CERTIFICATE OF SERVICE I hereby certify that on November 15, 2023, a true and correct copy of the within and foregoing TESTIMONY IN SUPPORT OF SETTLEMENT STIPULATION OF JESSICA A. YORK ON BEHALF OF MICRON TECHNOLOGY, INC. was served in the manner shown to: Electronic Mail Idaho Power Company Lisa D. Nordstrom Donovan E. Walker Megan Goicoechea Allen Idaho Power Company 1221 W. Idaho Street (83702) PO Box 70 Boise, ID 83707-0070 lnordstrom@idahopower.com dwalker@idahopower.com mgoicoecheaallen@idahopower.com dockets@idahopower.com Timothy E. Tatum Connie Aschenbrenner Matt Larkin Idaho Power Company 1221 West Idaho Street (83702) P.O. Box 70 Boise, Idaho 83707 Telephone: (208) 388-5515 Facsimile: (208) 388-6449 ttatum@idahopower.com caschenbrenner@idahopower.com mlarkin@idahopwer.com Commission Staff Dayn Hardie Chris Burdin Jan Noriyuki Commission Secretary Idaho Public Utilities Commission 11331 W. Chinden Blvd., Building 8, Suite 201-A Boise, ID 83714 Jan.noriyuki@puc.idaho.gov secretary@puc.idaho.gov dayn.hardie@puc.idaho.gov chris.burdin@puc.idaho.gov Idaho Conservation League Matthew Nykiel Brad Heusinkveld 710 N. 6th Street Boise, ID 83702 matthew.nykiel@gmail.com bheusinkveld@idahoconservation.org Clean Energy Opportunities Kelsey Jae Law for Conscious Leadership 920 N. Clover Drive Boise, ID 83703 kelsey@kelseyjae.com Courtney White Mike Heckler Clean Energy Opportunities for Idaho 3778 Plantation River Drive, Suite 102 Boise, ID 83703 courtney@cleanenergyopportunities.com mike@cleanenergyopportunities.com 2 Idaho Irrigation Pumpers Association, Inc. Eric L. Olsen Echo Hawk & Olsen, PLLC 505 Pershing Avenue, Suite 100 P.O. Box 6119 Pocatello, ID 83205 elo@echohawk.com Lance Kaufman, Ph.D. 2623 NW Bluebell Place Corvallis, OR 97330 lance@aegisinsight.com Industrial Customers of Idaho Power Peter J. Richardson Richardson Adams, PLLC 515 N. 27th Street P.O. Box 7218 Boise, ID 83702 peter@richardsonadams.com Dr. Don Reading 280 Silverwood Way Eagle, ID 83616 dreading@mindspring.com Micron Technology, Inc. Jim Swier Micron Technology, Inc. 8000 South Federal Way Boise, ID 83707 jswier@micron.com Austin Rueschhoff Thorvald A. Nelson Austin W. Jensen Holland & Hart, LLP 555 17th Street, Suite 3200 Denver, CO 80202 darueschhoff@hollandhart.com tnelson@hollandhart.com awjensen@hollandhart.com aclee@hollandhart.com clmoser@hollandhart.com City of Boise City Ed Jewell Darrell Early Wil Gehl 150 N. Capitol Blvd. P.O. Box 500 Boise, ID 83701-0500 boca@cityofboise.org dearly@cityofboise.org ejewell@cityofboise.org wgehl@cityofboise.org NW Energy Coalition F. Diego Rivas Benjamin J. Otto 1101 8th Avenue Helena, MT 59601 diego@nwenergy.org ben@nwenergy.org 3 Federal Executive Agencies Peter Meier Paige Anderson Tanner Crowther U.S. Department of Energy 1000 Independence Ave., S.W. Washington, D.C. 20585 peter.meier@hq.doe.gov paige.anderson@hq.doe.gov crowthtf@id.doe.gov Dwight Etheridge Exeter Associates 5565 Sterrett Place, Suite 310 Columbia, MD 21044 detheridge@exeterassociates.com Walmart Norman M. Semanko Justina A. Caviglia Parsons Behle & Latimer 800 West Mian Street, Suite 1300 Boise, ID 83702 nsemanko@parsonsbehle.com jcaviglia@parsonsbehle.com Steve W. Chriss Walmart Inc. 2608 Southeast J Street Bentonville, AR 72716 stephen.chriss@walmart.com IdaHydro Tom Arkoosh Arkoosh Law Offices 913 W. River Street, Suite 420 P.O. Box 83701 tom.arkoosh@arkoosh.com erin.cecil@arkoosh.com s/ Chelsey Moser 30042085_v1