HomeMy WebLinkAbout20150326Joint Reply.pdfPeter J. Richardson (ISB No. 3195)
Gregory M. Adams (ISB No. 7454)
Richardson Adams, PLLC
515 N.27th Street
P.O. Box 7218
Boise,Idaho 83702
Telephone: (208) 938-7901
Fax: (208) 938-7904
peter@richardsonadams. com
gres@richardsonadams.com
Attomeys for Clearwater Paper Corporation and
J.R. Simplot Company
,1" _, ;
CASE NO. IPC-E-I5-OI
CASE NO. AVU-E-I5-OI
CASE NO. PAC-E-I5-03
CLEARWATER PAPER
CORPORATION AND THE J. R.
SIMPLOT COMPANY' S JOINT
REPLY TO IDAHO POWER, ROCKY
MOUNTAIN POWER AND STAFF'S
ANSWER TO JOINT CROSS-
PETITION FOR CLARIFICATION OF
ORDER NO.33222
BEFORE THE
IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF TDAHO POWER
COMPANY'S PETITION TO MODIFY
TERMS AND CONDITIONS OF
PROSPECTIVE PURPA ENERGY SALES
AGREEMENTS
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IN THE MATTER OF AVTSTA
CORPORATION'S PETITION TO MODIFY
TERMS AND CONDITIONS OF PURPA
PURCHASE AGREEMENTS
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IN THE MATTER OF ROCKY MOUNTAIN
POWER COMPANY'S PETITION TO )MODIFY TERMS AND CONDITIONS OF
PURPA PURCHASE AGREEMENTS
COMES NOW, the CLEARWATER PAPER CORPORATION, hereinafter referred to as
"Clearwater" and the J. R. SIMPLOT COMPANY hereinafter referred to as "Simplot"
pursuant to this Commission's Order No. 33253 in the above captioned docket and hereby lodges
their Joint Reply to ldaho Power Company ("Idaho Power) Rocky Mountain Power ("RMP")
and the Commission Staffs ("Staff') Answers to Simplot and Clearwater's Joint Cross-Petition
for Clarification of Order No. 33222.
I
THE COMMISSION SHOULD CLARIFY THAT
EXISTING RESOURCES ARE EXEMPT FROM
THE INTERIM FIVE YEAR TERM AND OUTCOME OF THIS DOCKET
Both Simplot and Clearwater currently generate power at existing cogeneration facilities.
Simplot's facility is located in Pocatello and Clearwater's facility is located near Lewiston. Each
has been on line for many years and each resource is currently accounted for in their respective
host utility's integrated resource planning process. The Commission's orderl in response to the
Petition for Clarification2 and the Cross-Petition for Clarification3 in the above captioned matter
provides that the "interim relief granted to ldaho Power, Avista and Rocky Mountain applies to
new PURPA contracts in excess of the published rate eligibility cap."a
None of the utilities complained of existing resources with soon to expire (or expired)
PURPA contracts as being the cause of their alleged problems. The opening paragraph of Idaho
Power's Petition asks that, "energy sales agreements [be] limited to transactions with proposed
OF projects that exceed the published rate eligibility cap."s Avista has asked that it be provided
I Order No.33222.
2 Intermountain Energy Partners petitioned for clarification of Order No. 33222 on February 18,
2015.
3 The Renewable Energy Coalition cross-petitioned for clarification of Order No. 3222 on
February 25,2015.
o Order No.33222 atp.4.
s Idaho Power Petition atp.2.
CLEARWATER PAPER CORPORATION AND J.R. SIMPLOT COMPANY REPLY . 2
"the same relief granted to [daho Power."6 Rocky Mountain Power's application relies on the
assertion that "the Company IRMP] has no need for resources in the next decade."7 Thus,
although not clearly articulated, it is clear the utilities' Petitions in this matter are aimed solely at
new PURPA projects and not existing projects.
The Commission should clarify the target of the utilities' Petitions because of their
imprecise use of phrases like "new projects" and "new contracts." Simplot and Clearwater are
the only existing (on-line) projects in the State of Idaho that are affected by the Commission's
interim order. There is no reason to single out these two facilities for such unfair treatment.
They are not the cause of the alleged problem. They have been on line for many years and have
a history of providing reliable base-load power and therefore they should be exempt from the
reach ofthis docket.
II.
NEW BASE.LOAD GENERATION SHOULD
ALSO BE EXEMPT FROM THE REACH OF THIS DOCKET
As with existing base load generation projects, the utilities identified only two potential
non-intermittent projects that would be impacted by the Commission's decision, and there is no
reason to single them out for such unfair treatment. The two projects are the potential 25
megawatt ("MW') cogeneration facility at Simplot's new potato processing plant in Caldwell
and an unidentified possible hydroelectric project referenced in Idaho Power's Answer.8
Reducing the possible contract term from twenty years to five years or three years or two years
will certainly limit the financing potential for Simplot's cogeneration project (or any new
projects coming on line for that matter), even if only on an interim basis because Simplot cannot
6 Kalich, Di at p. 21.23.
' Rocky Mountain Petition at p. 3.t ldaho Power Answer atp.4; see also Petition to Intervene of J.R. Simplot Company
(describing plans to develop a25-W cogeneration facility at Simplot's new potato processing
facility in Caldwell).
CLEARWATER PAPER CORPORATION AND J.R. SIMPLOT COMPANY REPLY - 3
even now obtain indicative pricing from ldaho Power beyond five years. Without indicative
pricing for the proposed cogeneration facility, Simplot is severely hindered in evaluating and
planning the facility. The development effort will be stalled, despite that the record is currently
devoid of any evidence that cogeneration projects are causing problems on ldaho Power's
system. Cogeneration projects, unlike wind or solar projects, have the added benefit of making
the host factory a more stable and economically viable venture. That, of course, translates into a
more stable and economically viable electric service territory for the host utility. Discouraging
cogeneration is simply not in the public interest.
Cogeneration facilities (also referred to as combined heat and power or CHP) have net
energy efficiencies that far exceed those of the stand alone thermal units owned by Avista and
Idaho Power and RMP. According to the EPAe, a modem utility stand-alone power plant has a
total thermal effrciency around 51% vs. CHP which is around 7502. That is a47oh increase in
efficiency. Additionally, for the same power output, it is a 47o/o reduction in air pollutants and
greenhouse gas emissions when compared to utility natural gas fired generation. Projects like
Simplot's existing waste-heat generation have the ancillary benefit of zero additional emissions.
Lastly, generation at the load-center is not only important but prudent to managing growing
electric reliability concerns. One has only to look at Hurricane Sandy to see the importance of
distributed generation. It is unreasonable to discourage this efficient use ofour resources,
particularly in light of more stringent environmental requirements like the new EPA Rule 111(d).
As for the hydroelectric project mentioned by Idaho Power - it is impossible to speculate
as to its economics - but it is all but certain that no new hydroelectric project will be financeable
with a five year contract let alone a three yeirr or two year contract. Hydroelectric projects (if
built on an existing canal as are most of Idaho Power's PURPA hydroelectric projects) have the
same additional economic benefits as a cogeneration facility. They bring added value to their
host farms and canal companies, and that in turn makes for a more stable and economically
e Combined Heat and Power Patrtnership website, http://www.epa.gov/chp/basic/methods.html
CLEARWATER PAPER CORPORATION AND J.R. SIMPLOT COMPANY REPLY - 4
viable electric utility service territory. Discouraging such projects is also not in the public
If the Commission's goal is to solve the utilities' alleged problem with large amounts of
wind and solar it can simply and easily accomplish just that goal by granting Simplot and
Clearwater's Petition and Cross-Petition and limit the reach of this docket to intermittent projects
that are larger than those entitled to the published rates.
III.
'9fl,,TJi'^?Ji'fr ffi ?'f,fi "-i't-,3$1HH[il8$,
In the generic docket in which the Commission raised the contract term from five years to
20 years and increased the size of projects eligible for published rates from five MW to 10 MW,
the Commission clearly stated that when faced with allegations of QF rates being unfair, the
solution is to change the rates and NOT to shorten the contract term:
The Commission also agrees with the argument of Simplot and Earth Power that the
reasonableness of the published rates should not be affected by the size of the QF. As the
companies urged, if the rates are no longer fair and accurate. the appropriate response is
to adjust the rates. not to limit the size of QFs elieible for the rates. The Commission also
agrees that economies of scale can be achieved by larger QF facilities and that a larger
eligibility size will encourage the development of altemative energy projects, such as
geothermal, wind and biomass. Accordingly, the petitions of Simplot and Earth Power
are granted for the purpose of increasing the size of the QFs eligible for published rates
from 5 MW to l0 MW.ro
Conditions may have changed considerably for wind and solar QF development in Idaho
since the Commission's clearly articulated precedent on the relation between the size of QFs and
the reasonableness of the avoided cost rates. The same, however, cannot be said of base-load
cogeneration QFs. It is significant that there have been no new cogeneration facilities
constructed in the State of Idaho in the l3 years since the Commission issued the above-quoted
order. Indeed, there is only one new cogeneration project even being discussed - let alone built.
'0 In ,, Investigation of the Continued Reasonableness of Current Size Limitations for PURPA
QF Published Rate Eligibility and Restrictions on Contract Length, GNR-E-02-1, Order No.
29029 at 4 (web site pagination). Emphasis provided.
CLEARWATER PAPER CORPORATION AND J.R. SIMPLOT COMPANY REPLY - 5
It is hard to imagine a rational reason to sweep the lone possible (remotely or not) cogeneration
project in with the alleged tidal wave of wind and solar of which the tlree utilities complain.
WHEREFORE, Simplot and Clearwater respectfully request the Commission issue its
order on Clarification granting their Joint Petition and Cross-Petition for Clarification.
DATED *r\Xrof March, zots.
RICHARDSON ADAMS, PLLC
Attorneys for Clearwater Paper Corporation,
and the J. R. Simplot Company
CLEARWATER PAPERCORPORATION AND J.R. SIMPLOT COMPANY REPLY - 6
CERTIFICATE OF SERVICE
I HEREBY CERTIFY that on theQ&'$Uay of March,2015, a true and correct copy of the
within and foregoing REPLY BY CLEARWATER PAPER CORPORATION and the J.R.
SIMPLOT COMPANY was served as shown to:
Jean D. Jewell, Secretary X Hand Delivery
Idaho Public Utilities Commission _U.S. Mail, postage pre-paid
4T2WestWashington _ Facsimile
Boise, Idaho 83702 - Electronic Mail
iean j ewell@puc.idaho. gov
Donald L. Howell,II X Hand Delivery
Daphne Huang
-U.S.
Mail, postage pre-paid
Deputy Attorneys General _ Facsimile
Idaho Public Utilities Commission Electronic Mail
472West Washington
Boise, lD 83702
don.howell@fruc. idaho. gov
daphe.huane@puc. idaho. gov
C. Tom Arkoosh _ Hand Delivery
Twin Falls Canal Company X U.S. Mail, postage pre-paid
North Side Canal Company _ Facsimile
American Falls Reservoir District #2 X Electronic Mail
Arkoosh Law Offices
802 W Bannock Ste 900
Boise ID 83702
tom.arkoosh@arkoosh. com
Electronic Copies Onlv:
Erin Cecil
Arkoosh Law Offices
erin. cecil@arkoosh. com
Ben Otto _ Hand Delivery
Idaho Conservation League X U.S. Mail, postage pre-paid
710N6th - Facsimile
Boise ID 83702 X Electronic Mail
botto@idahoconservation. org
Leif Elgethun PE LEED AP _ Hand Delivery
lntermountain Energy Partners LLC X U.S. Mail, postage pre-paid
PO Box 7354 _ Facsimile
Boise ID 83707 X Electronic Mail
leif@ sitebasedener gy. com
CLEARWATER PAPER CORPORATION AND J.R. SIMPLOT COMPANY REPLY - 7
Dean J Miller
McDevitt & Miller LLP
PO Box 2564
Boise ID 83702
i oe@mcdevitt-miller. com
Daniel E Solander
Yvonne R. Hogel
PacifiCorp/dba Rocky Mountain Power
201 South Main Street Ste 2400
Salt Lake City UT 8411I
daniel. solander@Facificom.com
wonne.ho gel@ftacihcorp. com
datareq uest@pac i fi corp.com
Ted Weston
Rocky Mountain Power
201 South Main Ste 2300
Salt Lake city UT 841I I
ted.weston@fracifi com. com
Kelsey Jae Nunez
Snake River Alliance
PO Box l73l
Boise ID 83701
knunez@ snakeriveralliance.org
Donovan E. Walker
Lisa A. Grow
RandyAllphin
Idaho Power Company
1221 West tdaho Street
Boise,ID 83702
dwalker@ idahopower. com
lgrow@idahopower.com
rallphin@ idahopower. com
dockets@idahopower.com
Clint Kalich
Avista Corporation
1411 E Mission Ave MSC-7
Spokane WA99202
clint. kalich@avistacorp. com
_ Hand Delivery
X U.S. Mail, postage pre-paid
_ Facsimile
X Electronic Mail
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X U.S. Mail, postage pre-paid
Facsimile
Electronic MailT
CLEARWATER PAPER CORPORATION AND J.R. SIMPLOT COMPANY REPLY - 8
Michael Andrea
Avista Corporation
1411 E Mission Ave MSC-23
Spokane WA99202
michael. andrea@ avistacorp.com
Scott Dale Blickenstaff
The Amalgamated Sugar Company LLC
1951 S SaturnWay Ste 100
Boise ID 83702
sblickenstaff@amalsugar. com
Richard E. Malmgren
Micron Technology Inc
800 South Federal Way
Boise ID 83716
remalm gren@micron. com
Frederick J. Schmidt
Pamela S. Howland
Holland & Hafi LLP
377 South Nevada Street
Carson City NV 89701
fschmidt@ ho I I andhart. com
Matt Vespa
Sierra Club
85 Second St 2nd Floot
San Francisco CA 94105
matt.vespa@ sierraclub. org
Eric L. Olsen
Racine, Olson, Nye, Budge & Bailey, Chd.
PO Box 1391
Pocatello, ID 83204-1 39 I
elo@racinelaw.net
Anthony Yankel
29814 Lake Road
Bay Village, OH 44140
tony@yankel.net
_ Hand Delivery
X U.S. Mail, postage pre-paid
_ Facsimile
X Electronic Mail
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CLEARWATER PAPER CORPORATION AND J.R. SIMPLOT COMPANY REPLY . 9
Ronald L. Williams
Williams Bradbury, PC
l0l5 W. Hays St
Boise,ID 83702
ron@williamsbradbury. com
Irion Sanger
Sanger Law, PC
1117 SW 53'd Avenue
Portland, OR 97215
irion@sanger-law.com
Andrew Jackura
Camco Clean Energy
9360 Station Street, Suite 375
Lone Tree, CO 80124
andrew j ackura@camcocleanener gy. com
_ Hand Delivery
_X U.S. Mail, postage pre-paid
_ Facsimile
X Electronic Mail
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_ Facsimile
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,r**oWdrt
Nina M. Curtis
CLEARWATER PAPER CORPORATION AND J.R. SIMPLOT COMPANY REPLY . IO