HomeMy WebLinkAbout20230411CEO Comments.pdf
1 Clean Energy Opportunities for Idaho
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF ROCKY MOUNTAIN ) CASE NO. PAC-E-22-15
POWER’S APPLICATION FOR AUTHORITY )
TO IMPLEMENT THE RESIDENTIAL ) Comments of Clean Energy
RATE MODERNIZATION PLAN ) Opportunities for Idaho
Clean Energy Opportunities for Idaho (CEO) respectfully requests that the Commission deny Rocky
Mountain Power’s (RMP or the Company) proposed changes to fixed monthly fees and other
Schedule 1 rate design features and deny the Company’s request to increase fixed monthly fees
for Schedule 36 customers.
CEO supports Time of Use (TOU) rates when designed to achieve goals in the public interest. In a
future docket, CEO would support a thoughtful transition in which standard residential rates shift
from the current inclining block rate design to a default, Opt-Out rate design which includes on-
peak rates in summer.
CEO requests that the summer on-peak time window in Schedule 36 be narrowed to a period with
a 3 or 4-hour duration.
CEO comments are organized as described on the following page.
Kelsey Jae (ISB No. 7899)
Law for Conscious Leadership
920 N. Clover Dr.
Boise, ID 83703
Phone: (208) 391-2961
kelsey@kelseyjae.com
Attorney for the Clean Energy Opportunities of Idaho
RECEIVED
Tuesday, April 11, 2023 11:37:18 AM
IDAHO PUBLIC
UTILITIES COMMISSION
2 Clean Energy Opportunities for Idaho
Outline of Contents
1. RMP should not be allowed to use this procedure to raise residential monthly charges
a. The linkage between rate design and a fair return was addressed in RMP’s most recent
General Rate Case (GRC) - PAC-E-21-07.
• Financial stability, tariff design, and risk of revenue fluctuations impact the required
rate of return according to testimony in PAC-E-21-07.
• The Commission found that “the rate design agreed to in the Settlement provides
the Company a reasonable opportunity to earn a fair return” (Order 35277, p8)
b. Revenue neutral is not the same as risk neutral. Reducing volumetric risk implies the
need for a reduction in required rate of return.
c. Customers who prioritize bill stability would be better served by an optional billing
struture designed for that purpose.
d. The premise of a GRC should not be changed AFTER it is evaluated & negotiated.
e. If the GRC application had requested the rate design requested in this docket, different
parties may have engaged, and a different GRC Settlement may have resulted.
2. The justification RMP has proposed for raising monthly residential fees is severely flawed
a. A customer has no duty to be average. The modern approach is “Costs follow benefits”.
b. A subset of “Fixed” depreciation costs should not drive rate structure.
c. Municipal and cooperative utilities are not comparable to IOU’s in their ability to raise
capital or having a required ROE, and are not comparable in their monthly service
charges.
3. As long as rates afford an opportunity to recover revenue requirements, the goal of
“Modernization” should not be to align prices with legacy methodologies for characterizing
costs, but to design rates which can achieve other goals, such as:
a. To encourage more efficient and effective use of energy, as directed by the Idaho
Energy Plan.
b. To allow customers greater, not less, ability to control their bills.
c. To incent customer behaviors that defer or avoid future plant investment.
4. CEO supports TOU rates but recommends narrowing the summer on-peak window
a. Narrow the on-peak window from the proposed 8 hours to a 3 or 4-hour period
b. CEO would support a thoughtful transition in which residential rates shift from the
current inclining block rate design to a default, Opt-Out Time of Use rate design which
includes on-peak rates in summer
5. Summary
3 Clean Energy Opportunities for Idaho
1 RMP should not be allowed to use this procedure to raise Residential monthly charges
In RMP’s recent General Rate Case (PAC-E-21-07) interrelated matters such as Cost of Service, rate
of return, revenue requirements, and rate design were carefully considered. In PAC-E-22-15 RMP
proposes to substantially change the manner in which it collects revenue from residential
customers without allowing sufficient opportunity to review the interrelated matters such as Cost
of Service Study design and rate of return. Absent a review of Cost of Service Study design and
rate of return CEO believes a determination of whether the requested rate design changes are fair
and reasonable cannot be made. CEO believes the Commission should conclude that the scope of
review RMP proposed in this docket is inadequate and as a consequence should deny RMP’s
requested tariff changes.
1a. The linkage between rate design and a fair return was addressed in PAC-E-21-07.
The Commission found that the rate design agreed to in the PAC-E-21-07 Settlement reflected a
reasonable opportunity to earn a fair return:
“We find the rate design agreed to in the Settlement provides the Company a
reasonable opportunity to earn a fair return.” (PAC-E-21-07, Order 35277 at 8)
PAC-E-22-15 does not afford the opportunity to determine whether a substantially different rate
design warrants an opportunity to earn that same level of return.
According to the Company’s expert witness in PAC-E-21-07, financial stability and tariff design
impact the required rate of return. Direct testimony by Ann Bulkley identified tariff designs as a
key factor in the determination of an appropriate ROE:1
S&P identifies four specific factors that it uses to assess the credit implications of
the regulatory jurisdictions of investor-owned regulated utilities: (1) regulatory
stability; (2) tariff-setting procedures and design; (3) financial stability; and (4)
regulatory independence and insulation.
The degree to which rate design mitigates revenue fluctuations impacts the determination of a fair
rate of return. In describing key variables impacting the determination of an appropriate ROE, the
Company’s expert witness identified:2
Volumetric Risk: RMP does not have protection against volumetric risk in Idaho. In
contrast, 49.43 percent of the operating companies held by the proxy group have
some form of protection against volumetric risk through either a partial or full
revenue decoupling mechanism that mitigates the effect of fluctuations in volume
on revenues.
1 Bulkley Direct, PAC-E-21-07 at 53, footnote reference to Standard & Poor's Global Ratings, Ratings Direct, U.S. and
Canadian Regulatory Jurisdictions Support Utilities Credit Quality-But Some More So Than Others, June 25, 2018, at 1. 2 Bulkley Direct, PAC-E-21-07 at 55
4 Clean Energy Opportunities for Idaho
1b Revenue neutral is not the same as risk neutral. Reducing volumetric risk implies the
need for a reduction in their required rate of return.
Implementing the rate design RMP proposes clearly would reduce the volumetric risk effects
within RMP’s Residential revenue streams. CEO believes the rate changes RMP proposes will
reduce the variability in their cash in-flow thereby lowering RMP’s exposure to volumetric risk.
Because the implications to RMP’s associated rate of return caused by that risk reduction are not
addressed in this docket, the Residential rate designs implemented in the most recent GRC should
be retained.
In response to a Production Request submitted by CEO in this docket, RMP provided data showing
what their actual monthly revenue from Schedule 1 residential customers has been in each month
over the past five years (2018-2022). For comparison purposes, CEO requested that RMP provide
an estimate of what those monthly revenue flows would have been if the “year 5” changes to rate
structure were applied to the actual number of Schedule 1 customers and their monthly
consumption during those same 60 months. The results are shown in Figure 1 below.
In Figure 1 monthly revenue from Schedule 1 customers is shown for each of the 60 months in the
period 2018 through 2022. The blue line shows the revenue in-flow to RMP as it actually
occurred. The bolder orange line shows what those monthly revenues would have been if RMP’s
proposed rate design changes (in their final, “Year 5” amounts) had been in effect during the 2018
through 2022 period.
Figure 1 – RMP’s proposed rate structure would reduce their Volumetric risk
Reducing revenue fluctuations impacts the Company’s required rate of return.1
Requested modifications to Schedule 1 rate design would reduce revenue fluctuations:
0.7
0.8
0.9
1
1.1
1.2
1.3
1.4
1.5
2018 2019 2020 2021 2022
1.Bulkley Direct, PAC-E-21-07 at 55
Data Source: Company response to CEO Production Request 3, PAC-E-22-15
Average Monthly Revenue
Indexed Such that 1= Historical Average, 2018-2022
Blue = Actual Schedule 1 monthly revenue
Orange = If requested changes to Schedule 1 had been in effect
5 Clean Energy Opportunities for Idaho
As one can see in Figure 1, shifting to RMP’s proposed rate structure would reduce the amount
the Company’s monthly revenue from Schedule 1 customers varies due to seasonal variations in
the volume of Residential power consumption – effectively producing a reduction in the amount
of volumetric risk the Company bears. In all months, the proposed rate design reduces volumetric
variability – in low consumption months the proposed monthly revenue streams are larger, in high
consumption months the proposed monthly revenue streams are smaller.
The benefits RMP would receive in the form of reduction in volumetric risk resulting from
increased monthly fees warrant a simultaneous review of RMP’s required rate of return on
investments. No such review is offered in this docket. Absent such a review of RMP’s required
rate of return on their Idaho investments, RMP’s request for changes to their Residential rate
designs should be denied.
1c Customers who prioritize bill stability would be better served by an optional billing
structure designed for that purpose
With regard to the separate matter of whether customers prefer stabilization of costs over control
of costs, CEO acknowledges there is no one-size-fits-all to serve the priorities of all residents.
Some customers may value bill stabilization and may be willing to forgo some control over their
bills. But providing a mechanism to serve the desire of some customers for bill stabilization
needn’t be implemented by raising monthly fees on all residential customers.
Reducing volumetric prices limits the financial impetus for customers to lower their energy costs
through efficiency investments or to shift their consumption patterns in ways that lower power
costs for all customers. Offering an average billing option for customers who value month-to-
month stability is a better way to meet the needs of customers who desire that bill stability than
by unnecessarily raising fixed monthly fees on all residential customers.
1d The premise of a GRC should not be changed AFTER it is evaluated & negotiated.
Evaluation of a different Residential monthly service charge in the GRC application could have
resulted in a different Settlement Agreement. The comprehensive evaluation and the settlement
discussions in PAC-E-21-07 were predicated on the fact the Company had proposed a $3 increase
in Schedule 1 monthly service charges.3 In that docket, Staff invested substantial resources to
evaluate the “cost of capital, capital structure, class cost of service, rate spread, and revenue
normalization”4 for, among other things, a residential rate design substantially different than that
requested in PAC-E-22-15.
3 “The Parties agreed to increase the monthly customer charges based on the proposal in the Company's original
filing. This includes, but is not limited to, raising the customer service charge from $5.00 to $8.00 for Schedule 1
residential customers, from $14.00 to $15.00 for Schedule 36 Time-of-Day residential customers, and from $16.00 to
$18.00 for Schedule 23 general service customers.” (PAC-E-21-07, Donn English Direct, summary at 12) 4 “Additionally, Staff evaluated the Company's cost of capital, capital structure, class cost of service, rate spread, and
revenue normalization. In total, Staff submitted 228 production requests and held several virtual meetings with
Company personnel as a part of its comprehensive investigation. Staff also reviewed the Company's responses to 365
production requests submitted by intervening parties.” (PAC-E-21-07, Donn English Direct, at 5).
6 Clean Energy Opportunities for Idaho
PAC-E-22-15 proposes to dramatically reduce the ability of residential customers to control their
costs; such a request changes the balance of interests which were evaluated and negotiated in the
GRC.
1e. If the GRC application had proposed a nearly 600%5 increase in the Schedule 1 monthly
service charge, the parties in the GRC docket could have been different.
Stakeholder engagement in any docket is prompted by the Company’s specific requests. Had the
Company’s request in PAC-E-21-07 to raise monthly charges by $3 been similar to the request in
this docket to raise monthly service charges to nearly $30, a different set of parties could have
been concerned. A different set of parties in the GRC could have resulted in different outcomes.
Because stakeholders cannot go back in time to engage in prior settlement negotiations, the
Company should not be allowed to ignore the premise of those negotiations in this docket.
The Company suggests in this docket that the Cost of Service Study (COSS) deliberated in PAC-E-
21-07 justifies a substantially different rate design than it requested in PAC-E-21-07. Absent the
presence of all parties who would participate in a General Rate Case in this docket, a review of
matters related to COSS or required rate of return cannot be performed in this docket.
2 The justification RMP has proposed for raising monthly residential fees is severely flawed
2a. A customer has no duty to be average. The modern approach is “Costs follow benefits”.
A customer has no duty to be “average”. CEO takes issue with the Company’s suggestion that,
because the Company recovers some required revenue via volumetric charges, therefore
customers who use more energy are subsidizing customers who use less energy.6 Customers who
use more electricity do benefit more from shared infrastructure, and a customer who uses
disproportionately more electricity during high cost to serve times benefits disproportionately
more from using distribution, transmission and generation capacity irrespective of their of their
total monthly consumption.
Pricing should not be viewed through the one-way lens of whether it aligns with the RMP’s
characterization of costs. If the Commission chooses to consider changes to residential rate design
in this docket, CEO suggests that the Commission evaluate changes in the context of how they
affect customer choices and future behaviors, as described further in section 3 of these
comments.
5 The “nearly 600%” increase is calculated on a rise from $5/month when PAC-E-21-07 was filed to nearly $30/month
as proposed in this docket. 6 Meredith Direct, at 7.
7 Clean Energy Opportunities for Idaho
Costs follow benefits. It is fair and reasonable that customers who benefit more pay more. If a
customer benefits from using power during higher cost to serve hours, higher prices for
consuming services during those times are appropriate. Similarly, during lower cost to serve
hours, lower prices would provide better price signals. This “Costs follow benefits” principle has
been discussed at NARUC7 and is commonly practiced in competitive markets.
All costs are not equally caused by each meter. Instead of RMP’s proposed “peanut-butter”
spread of distribution system costs across meters via a very large increase in the monthly service
fee, CEO believes that truly “modern” best practices (as described in Electric Cost Allocation for a
New Era, p18-19) suggest the following approach:
1. Treat as customer-related only those costs that actually vary with the number of
customers, generally known as the basic customer method.
2. Apportion all shared generation, transmission and distribution assets and the
associated operating expenses on measures of usage, both energy- and demand-
based.
In sum, CEO believes it is fair and reasonable that customers who benefit disproportionately by
when or how much they use the grid pay more. Increasing a fixed monthly fee does not provide a
pricing signal that reflects how customer consumption patterns cause costs and thus is not a
useful pricing signal for harnessing customer actions to control cost incurrence.
2b. “Fixed” depreciation costs should not drive rate structure.
Rate design needs to allow adequate revenue recovery, but the “Modernization” RMP proposes
should include less emphasis on legacy methodologies for characterizing costs and more focus on
controlling future costs.
The image at the right, presented at
the NARUC 2020 Winter policy
meeting in a discussion of modern
approaches to Electric Cost
Allocation, suggests that
“modernization” implies the
elimination of distinctions between
“fixed” and “variable costs.
Utilities have to invest in a large
range of assets to serve their load.
Investments in distribution system
assets should not be carved out for
special treatment for recovery via substantial increases in residential monthly fees.
7 NARUC 2020 Winter policy meeting, Electric Cost Allocation for a New Era (Regulatory Assistance Project)
8 Clean Energy Opportunities for Idaho
2c. Municipal and cooperative utilities are not comparable to IOU’s in their ability to raise
capital or having a required ROE, and are not comparable in their monthly service
charges
In Table 1 of the Application, the Company presents the Fixed Monthly Residential Charges for
nine municipal and cooperative utilities (Coops) and two Investor Owned Utilities (IOU’s), and then
presents a simple average of all eleven Fixed Monthly Residential charges as evidence supporting
its proposed substantial increases in fixed monthly charges. CEO believes this grouping of for-
profit with not-for-profit utilities is an inappropriate basis for comparison.
IOUs have access to credit/financial services that Coops don’t have. That access to financial
services allows IOUs to much more easily accommodate variations in monthly inflows compared
to Coops’ ability to do the same. IOUs have working capital requirements, such as the working
capital needed to cover variations in their monthly customer billings, already reflected in the
calculations for their ROI.
The reference group of utilities shown in Table 1 are not appropriate. CEO maintains that
Municipal & Cooperative utilities should not be part of the proxy group RMP uses to characterize
their “comparable” Idaho load-serving entities. Further, the disproportionate weighting given to
the Municipal & Cooperative utilities in Table 1 produces a very misleading result. The Company
gives Municipal and Coop utilities a weighting of 82% in its calculation of “Average” Fixed Monthly
Residential Charges, yet those utilities serve only 16% of Idaho’s electricity customers.8
The only comparable operations in Table 1 with comparable corporate structures and for-profit
purpose are Avista and Idaho Power. Both of these IOU’s have a monthly residential charge
LOWER than Rocky Mountain Power’s current Schedule 1. If the Commission finds that
comparable utilities are relevant in the determination of monthly customer charges, then the
comparables suggest that RMP should reduce its $8 monthly charge.
CEO suggests that the Commission consider only IOU utilities and that such consideration be
weighted by number of residential customers. The average Fixed Monthly Residential Charges for
the two Idaho IOU’s in Table 1, weighted by total number of Idaho electricity customers, implies
RMP’s monthly fixed charge should be reduced to approximately $5.40.9
8 “The three IOUs serve approximately 84% of the state’s electricity needs, while the municipal and rural electric
cooperative utilities serve the remaining 16%”, 2023 Idaho Energy Landscape, Idaho Governor’s Office of Energy and
Mineral Resources, at 12. 9 2023 Idaho Energy Landscape, Idaho Governor’s Office of Energy and Mineral Resources, reports that Avista serves
141,000 Idaho electricity customers (p12) & that Idaho Power serves 610,000 customers (p13). This illustrative
calculation assumes 95% of Idaho Power customers are in Idaho.
9 Clean Energy Opportunities for Idaho
3. As long as rates afford an opportunity to recover revenue requirements, the goal of
“Modernization” should not be to align prices with legacy methodologies for
characterizing costs, but to design rates which can achieve other goals.
CEO supports PUC Staff’s statement made in a previous docket:
“So long as rates afford the Company an opportunity to recover its revenue requirement,
Staff believes that rates may be chosen to achieve other goals, such as energy efficiency,
incenting customer behaviors that defer or avoid future plant investment, or allowing
customers the ability to control their bills.”10
The Company’s requested changes to Schedule 1 rate design and the Company’s request to
increase fixed monthly fees for Schedule 36 customers are counter to each of those three goals
named by PUC Staff.
Goal 1: Encourage more efficient and effective use of energy (Idaho Energy Plan).
This guidance is explicitly stated in the most current Idaho Energy Plan: “The Idaho PUC and Idaho
utilities should continue to adopt rate designs that encourage more efficient and effective use of
energy.”11 Contrary to the Idaho Energy Plan, PAC-E-22-15 proposes changes that discourage more
efficient and effective use of energy when compared to the rate design ordered in PAC-E-21-07:
• From a customer perspective, the proposal to lower volumetric rates while increasing fixed
monthly fees reduces the customer’s economic incentive to conserve energy or to invest in
any technology which would reduce or change the timing of their electricity purchases from
the Company.
• Similarly, from a customer perspective, the proposal to remove inclining block rates lowers the
marginal cost of electricity to the customer, thus reducing the customer’s economic incentive
to conserve energy or to invest in any technology which would reduce their electricity
requirements from the Company.
While CEO does not believe that the Company’s current rate design is the optimal means of
encouraging efficient and effective use of energy, the changes RMP has proposed would take us
backwards rather than forwards.
One can perceive RMP’s proposal to dramatically raise Residential monthly fixed fees as a lightly
disguised attempt to introduce a BLC-type demand charge within the Residential customer class.
A Time of Use rate design is a more effective signal of cost causation.12 Any changes to rate
10 PUC Staff comments, IPC-E-18- 16, at 4.
https://puc.idaho.gov/Fileroom/PublicFiles/ELEC/IPC/IPCE1816/Staff/20200121Comments.pdf 11 Idaho Energy Plan (p12), adopted by the Idaho Legislature on March 6, 2012,
https://www.naseo.org/stateenergyplans-state?State=ID 12 “In short, Staff believes that a traditional Time of Use rate design is a more effective signal of cost causation than
the Company's proposed Demand and BLC charges.” (IPC-E-18-16 PUC Staff Comments, 2020, p20)
10 Clean Energy Opportunities for Idaho
structure should go in the direction of encouraging more efficient and effective use of energy as
guided by the Idaho Energy Plan.
CEO asks the Commission to deny the requests to increase the Customer Service Charge in
Schedules 1 & 36 and the request to eliminate inclining block tiered rates on the basis that such
changes do not encourage efficient and effective use of energy and therefore are counter to the
Idaho Energy Plan.
Goal 2: Allow customers greater, not less, ability to control their bills.
Rate design should allow customers, individually and collectively, the freedom to make choices
that lower their energy costs. Shifting a large portion of the Residential revenue streams from
volumetric to fixed monthly fees reduces a customer’s freedom to control their energy costs.
CEO advocates for increased customer agency. In that light, CEO asks the Commission to deny the
Company’s requests to increase the Customer Service Charge in Schedules 1 & 36 on the basis that
such changes unnecessarily diminish the ability of customers to control their energy costs.
Goal 3: Incent customer behaviors that defer or avoid future plant investment.
New plant investments can result in rate increases. As the Company justified in its recent request
to increase rates:
“At a total-Company level, the Test Period includes over $4 billion of new plant investment
partially offset by $120 million in decreased net power costs. This Application includes in
rates the investments, costs, and benefits of the Company's activities during the Test
Period.” (PAC-E-21-07 Application, ¶ 11, p4)
Rate design affects customer choices of when and how much electricity they use, which in turn
affects required future plant investments. Microeconomics is built on the correlations between
lower per unit prices and higher unit sales. For example, when do people eat more – when food is
priced a la cart, or at the all-you-can-eat buffet?
As an advocate for long-term affordability, CEO asks the Commission to deny the Company’s
requests to increase Customer Service Charges in Schedules 1 & 36 given that relatively lower
volumetric charges incent customers to consume more and thereby increases the probability that
new plant investments will be required.
4. CEO supports TOU rates but recommends narrowing the summer on-peak window
TOU rate structures can be a powerful tool. CEO advocates for TOU tariffs when they are designed
to achieve goals such as the following:
1. providing customer’s agency over their energy costs,
2. lowering net power costs, and
3. improving long-term affordability by better aligning price signals with marginal cost
causation.
11 Clean Energy Opportunities for Idaho
In that context, if the Commission chooses to implement Residential rate changes in this docket,
CEO requests the following:
4a Narrow the on-peak window from the proposed 8 hours to a 3 or 4-hour period.
As shown by the daily pattern of summer EIM prices displayed in Figure 2 below, the data suggest
that a shorter period focused on the hours ending 6 to 9pm in the summer have dramatically
higher market prices than the broader 8-hour range RMP has proposed.
Figure 2 – Summer power market prices13
The Company describes that, “A customer’s decision to opt into the voluntary Schedule 36 time of
use program should be motivated by a desire to shift load to lower cost times” (Application, p4).
Customers are less able to shift load when on-peak windows are too long. Rocky Mountain
Institute presents among its Key Takeaways in A Review of Alternative Rate Designs (at 50):
“To ensure customers can respond to the price signal, the peak period duration needs to
be kept as short as possible while still capturing the necessary peak hours.
• If the peak period is too long, customers are unable to reduce consumption during
the entire period.
13 Data source: RMP Response to CEO Data Request 2
Real-Time EIM Market Pricing for 4 ½ years ending June 2022 Weighted by
PacifiCorp Hourly Loads, Summer, $/MWh
-
10.00
20.00
30.00
40.00
50.00
60.00
70.00
1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24
Hourly price averages nearly double within the
proposed 8-hour on-peak window. The on-peak
window should be shortened to focus the price
signal on the highest cost to serve hours.
On-Peak Window proposed
in PAC-E-22-15
12 Clean Energy Opportunities for Idaho
• Customer surveys indicate a preference for a peak period duration not exceeding
4–5 hours, even if that means the peak price will increase.” 14
CEO requests that any TOU program be designed to better enable customers to shift load to lower
cost times, specifically in this docket that implies shortening the summer on-peak time window to
3 or 4 hours.
4b CEO would support a thoughtful transition in which residential rates shift from the
current inclining block rate design to a default, Opt-Out Time of Use rate design which
includes on-peak rates in summer.
As noted by the Company, public interest is served when customers shift load to lower cost times,
specifically by reducing net power costs (NPC).15 An Opt-Out Time of Use rate design would serve
the public interest in several ways.
For example, transport and some building electrification is leading to rapid growth of flexible
loads16 for which customers have additional control over the timing of their loads. Implementing
default time-varying price signals is important to ensure electrification improves asset utilization
rather than augments peak load challenges.17
The Company has propsed eliminating its inclining block rate design, yet that would be counter to
the Idaho Energy Plan guidance to encourage efficient and effective use of energy. In any effort to
eliminate inclining block rates, the Company should simultaneously propose a more effective
instrument for encouraging the efficient and effective use of energy.
5. Summary
CEO asks the Commission to deny the requests to increase the Customer Service Charge in
Schedules 1 & 36 and the request to eliminate inclining block tiered rates on the basis that:
• Such changes alter the balance of interrelated matters evaluated and negotiated in the most
recent GRC, including how a reduction in volumetric risk impacts a required rate of return.
Further, had RMP requested this substantially different rate design in its GRC, different parties
may have engaged, and a different GRC Settlement may have resulted.
• Such changes encourage customers to consume higher loads and thereby increase the
probability of new plant investments being required. This is counter to the public interest in
14 https://rmi.org/wp-content/uploads/2017/04/A-Review-of-Alternative-Rate-Designs-2016.pdf 15 “The potential benefits to the public interest from customers shifting load to lower cost times would be the
reductions in net power costs (NPC).” Response to CEO Date Request 1, PAC-E-22-15. 16 The National Potential for Load Flexibility (Brattle Group, June 2019) reports that the magnitude of cost-effective
load flexibility potential in U.S. would represent 20% of peak in 2030. 17 E.g., Residential Electric Vehicle Rates That Work, (Erika Myers, et al, Nov ‘19) and other publications note TOU
rates are an important first step in bringing customers on board with load management opportunities.
13 Clean Energy Opportunities for Idaho
maintaining affordability.
• Such changes do not encourage efficient and effective use of energy, which is counter to the
public interest and counter to guidance in the current Idaho Energy Plan.
• Such changes unnecessarily diminish the ability of customers to control their energy costs,
which is counter to the public interest.
• The justification RMP has proposed for raising monthly residential fees is severely flawed and
should not be relied upon.
CEO requests that any TOU program be designed to better enable customers to shift load to lower
cost times, specifically implying that within Schedule 36 the summer on-peak time window should
be reduced to a 3 or 4 hour period.
CEO would support a thoughtful transition in which residential rates shift from the current
inclining block rate design to a default, Opt-Out Time of Use rate design which includes on-peak
rates in summer.
Respectfully submitted on April 11, 2023,
__________________________________
Courtney White
Clean Energy Opportunities for Idaho
CERTIFICATE OF SERVICE
I hereby certify that on this 11th day of April, 2023, I delivered true and correct copies of
the foregoing COMMENTS to the following persons via the method of service noted:
Electronic Mail Delivery (See Order No. 34602)
Idaho Public Utilities Commission
Jan Noriyuki
Commission Secretary
secretary@puc.idaho.gov
Idaho PUC Staff
Claire Sharp
Deputy Attorney General
Idaho Public Utilities Commission
claire.sharp@puc.idaho.gov
Idaho Conservation League
Marie Callaway Kellner
mkellner@idahoconservation.org
Brad Heusinkveld
bheusinkveld@idahoconservation.org
Northwest Energy Coalition
F. Diego Rivas
diego@nwenergy.org
Pacificorp, dba Rocky Mountain Power
Mark Alder 1407 West North Temple, Suite
330 Salt Lake City, UT 84116
mark.alder@pacificorp.com
Joe Dallas 825 NE Multnomah Street, Suite
2000 Portland, OR 97232
joseph.dallas@pacificorp.com
Data Request Response Center
datarequest@pacificorp.com
_____________________________
Kelsey Jae
Attorney for CEO
CLEAN ENERGY OPPORTUNITIES FOR IDAHO - COMMENTS - PAC-E-22-15 - 2