HomeMy WebLinkAbout20200716Comment.pdfJuly 16, 2020
To: Idaho Public Utilities Commission via email, secretary@puc.idaho.gov
From: Lisa Young, on behalf of the Idaho Chapter Sierra Club, 503 W. Franklin St., Boise, ID
83702
Re: PAC-E-19-08
As the Director of the Idaho Chapter Sierra Club, I respectfully submit these comments on behalf of
our chapter. Our chapter maintains contact with over 300 supporters in the RMP service territory as
we pursue our work to advance clean energy solutions. We also keep in mind that RMP customers
in the future will want to consider on-site generation, yet those future customer perspectives cannot
be time-traveled in to comment on this docket. Based on our interactions with customers and
knowledge of energy matters, we would like to highlight a few issues and recommendations
regarding PAC-E-19-08.
➢We oppose the proposed instantaneous billing as it would unduly harm customer ability to
independently and accurately evaluate investments in on-site generation.
The Company's original Application proposes that exported energy be measured instantaneously.
For the future customer who wants to evaluate investing in on-site generation, that would require
some very advanced spreadsheet and analytical skills.
There are often theoretical arguments to increase the complexity of a rate design, and regulators
must weigh, is it worth it? In this case, no. Future customers considering on-site generation should
not be unduly burdened by a billing policy for which the complexity itself creates an unnecessary
deterrent to on-site generation. This proposed burden is far out of proportion with scope of
potential in inequities if no changes to billing structure were implemented. Exports from net
metering customers account for roughly 0.035% of metered sales in Idaho. If those existing
customers are grandfathered, the exports affected by a new program would start at 0.00%. Expiring
tax credits and any de-valuing of exports will both dampen growth.
●We ask that neither instantaneous nor hourly billing be pursued.
●Any consideration of an instantaneous or hourly netting policy should first study: For a
customer to contemplate an investment in on-site generation, what is the average customer’s
ability to project their consumption, the contemplated system’s production, and the
applicable rates for every moment of every day for the life of the system? In addition to this
calculus, the customer would also need to accurately compare impacts of different design
choices and assumptions.
●Any consideration of instantaneous or hourly netting should also study the change in
workload for installers as well as the installers’ abilities to provide accurate projections.
For clarity, we do support time-differentiated rates. Unlike the billing proposal to instantaneously
measure energy exports, time-differentiated rates do not over-complicate the evaluation of an
on-site generation investment.
➢If a fair value for exports would motivate greater exporting, that raises bigger questions.
The Company proposes that export credits should expire annually. The logic defending this
proposal suggests that a fair value for exports would create a financial incentive for customers to
over-size systems. The proposal is that a financial disincentive is necessary so that customers do
not capture the full fair value of their exports over time.
●We do not believe an arbitrary financial disincentive is justified and oppose the expiration of
export credits.
●If a fair value for on-site generation exports results in an economically advantageous
resource, the key question is not how to de-value exports, the bigger question is how the
Company can better utilize this resource to serve its growing loads.
➢Additional categories should be studied to value exports.
Like other commenters, we are surprised at the Company’s narrow definition of value categories
given common practices. We ask that a study to value exports also consider:
●Avoided generation capacity
●Avoided transmission & distribution capacity
●Fuel price guarantee value
●Environmental benefits, such as reduced costs to RMP for complying with pollution controls
at Company-owned generation sources
●Local economic benefits.
➢Take a long-term view.
Many avoided costs are not experienced in the short-run but are experienced well within the lifetime
of installed solar systems.
●We ask that a long-term view of avoided costs be used to accurately value exports.
➢Idahoans are getting the short end of the stick
In the Company’s IRP, Idaho is not a priority for future investments – the Company plans to invest
in wind power in Wyoming and solar Power in Utah. Idaho is not a priority in the allocation of
clean energy - the Company is seeking to allocate more clean energy to its customers in Oregon and
Washington. Most concerning, the Company is on a path to disproportionately put the burden of
legacy coal costs on its Idaho customers.
●We ask that the Commission recognize that having choices is important to Idahoans, and to
impose a high bar for the size and validity of any theoretical inequities before diminishing
the choice Idahoans have to invest - in Idaho - to take control of their future energy costs.
Idahoans can’t choose their utility, but currently we can choose on-site generation to serve our own
energy needs. We entrust in our Commission to protect that right from disproportionate or onerous
changes to the net metering program.
Thank you for considering our comments,
Lisa Young
Director, Idaho Chapter Sierra Club
I acknowledge that submitting a comment in an open case constitutes a public record under Idaho Code
74-101(13) and that all information I provide in this comment is available for public and media inspection.
My comment may be reviewed by the utility. Our headquarters in Idaho are in the Idaho Power service area.
From:PUC Consumer Comments
To:Diane Hanian
Subject:Notice: A comment was submitted to PUCWeb
Date:Thursday, July 16, 2020 4:00:04 PM
The following comments were submitted via PUCWeb:
Name: Jason Raymond
Email: jason@8760solar.comTelephone: 801-710-4840
Address: 1837 E Patrick LnPhoenix, AZ 85024
Name of Utility Company: Rocky Mountain Power
Case ID: PAC-E-19-08
Comment: "Rocky Mountain Power (Utility), should be allowed to lower the Net Metering
credit amount to be closer in line with the Wholesale Rate, which in Idaho is around $.02-$.04per kWh. This would be fair to the Customer and Utility and allow Renewable Energy to be
generated onsite for customers. Rocky Mountain Power should allow this to be on allcustomers on all Rate Schedules and remove any calculation where it involves the Mid-
Columbia Intercontinental Exchange Electricity Price Index. Putting a cap on new generationcoming online will limit customers from choice which isn't the American way. Having choice
in the market place from the customer is what will give customers the benefits they need orwant. New customers could be allowed to be charged a reasonable application fee, but not at
the profit of the Utility but to cover their actual fixed costs as it pertains to such Application.The Utility should not be allowed to use it's "Blue Sky" renewable program as a sole viable
op"
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Name: Jason RaymondEmail: jason@8760solar.com
Telephone: 801-710-4840Address: 1837 E Patrick Ln
Phoenix, AZ 85024
Name of Utility Company: Rocky Mountain Power
Case ID: PAC-E-19-08
Comment: "Rocky Mountain Power (Utility), should be allowed to lower the Net Meteringcredit amount to be closer in line with the Wholesale Rate, which in Idaho is around $.02-$.04
per kWh. This would be fair to the Customer and Utility and allow Renewable Energy to begenerated onsite for customers. Rocky Mountain Power should allow this to be on all
customers on all Rate Schedules and remove any calculation where it involves the Mid-Columbia Intercontinental Exchange Electricity Price Index. Putting a cap on new generation
coming online will limit customers from choice which isn't the American way. Having choicein the market place from the customer is what will give customers the benefits they need or
want. New customers could be allowed to be charged a reasonable application fee, but not atthe profit of the Utility but to cover their actual fixed costs as it pertains to such Application.
The Utility should not be allowed to use it's "Blue Sky" renewable program as a sole viableop"
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