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HomeMy WebLinkAbout20061024Comments.pdfCECELIA A. GASSNER DEPUTY ATTORNEY GENERAL IDAHO PUBLIC UTILITIES COMMISSION PO BOX 83720 BOISE, IDAHO 83720-0074 (208) 334-0314 BAR NO. 6977 RECEIVED 200G OCT 24 PH 3: 24 IDAHO FU:5L!C ' UTILITIES COMMISSIO!'J Street Address for Express Mail: 472 W. WASHINGTON BOISE, IDAHO 83702-5983 Attorney for the Commission Staff BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION OF A VISTA CORPORATION TO INCREASE THE COMPANY'S ENERGY EFFICIENCY TARIFFSCHEDULE 191. CASE NO. A VU-O6- COMMENTS OF THE COMMISSION STAFF The Staff of the Idaho Public Utilities Commission, by and through its Attorney of record Cecelia A. Gassner, Deputy Attorney General, in response to the Notice of Application and Notice of Modified Procedure in Order No. 30145 issued on October 4 2006, submits the following comments. BACKGROUND On September 14, 2006, Avista Corporation dba Avista Utilities filed its Application to increase the Company s Energy Efficiency Tariff Schedule 191. Schedule 191 (the Rider) is designed to recover the costs incurred by the Company associated with providing natural gas efficiency services to customers. The Company requested Modified Procedure and an effective date of the new tariff of October 13 , 2006. On October 4, 2006, the Commission suspended the effective rate of the tariff. Order No. 30145. According to A vista s Application, the proposed increase in the Rider rate is necessary to continue to fund ongoing natural gas-efficiency programs as set forth in A vista s more recent Integrated Resource Plan (IRP) for natural gas service and to amortize a deficiency balance within the natural gas Demand Side Management (DSM) tariff rider resulting from the Company STAFF COMMENTS OCTOBER 24, 2006 response to customer demand for the services that was higher than expected. The Company asserts that the proposed increase will not result in a change in profits for the Company. Avista states that the existing and planned expenses for the DSM programs are far exceeding revenues. The Rider for DSM programs has not changed since 2001. Avista states that, as of the close of August 2006, its natural gas DSM tariff rider balance for Idaho is negative $1.15 million. The proposed Rider increase is estimated to erase this liability balance by the end of the second quarter of2008. The Application states that the proposed increase is a 1.4% increase, as expressed as a percentage of present gas revenue, and that the proposed rates will result in a 1.75% total charge for DSM. A vista states that all funds from the Rider will remain within the natural gas efficiency rider programs. Avista will continually assess demand for the services and program financial balances and propose revisions to the Rider as needed. The Company states that the programs are cost-effective and that the additional funding will expand the availability ofthe programs. The Company provided a copy of its customer notice and press release announcing the proposed tariff change. STAFF ANALYSIS Accounting Issues Staff has reviewed the Company s Application, completed an audit of the accounting treatment of the DSM expenditures from 2001 to present, and has reviewed the Company s DSM budget for the coming years. The annual revenue received from Idaho customers under the present DSM tariff rider, currently set at 0.5% of retail rates, is approximately $296 268, while the Company has currently budgeted approximately $720 000 in Idaho for DSM expenditures in 2007. The proposed tariff rider will generate approximately $1,439 121 in additional Idaho revenue for the Company. The additional revenue will be used to recover a deferral balance estimated to reach approximately $1.25 million by end of 2006, at which time, the Company plans to further increase its DSM expenditures to the level provided by the Rider. STAFF COMMENTS OCTOBER 24, 2006 Demand Side Management Program Activities Expansion of Avista s DSM program as described in the 2006-2008 IRP will include all identified measures that are cost effective and those measures which may not have passed a cost effectiveness test, but which a customer or Avista engineer believe to have significant potential net value in energy savings. A total of 27 different measures were identified in the IRP as accepted for development in the Company s Washington/Idaho service territories, based on either a preliminary evaluation or as evaluated by the computer model used by the Company for selecting resources appropriate to meet the demand of its customers. (see Table 6.7 ofthe IRP excerpted below.) These measures total 1 062 000 first-year therms savings. This is more than a four-fold increase over the Company s prior DSM goal. Table 6.7 - WA/JD Programs Accepted within the tAP Analysis Residential pocl!spa measures Single-family home HV AC measures Residentiat thermostat measures Non-resJdeotlal clothes dryers Non-residential cooking measures Kiln Non-remdentiall:ow-ttow showerheads Non-reskkmUal pre-riosesprayers Non-residential pool measures Non-residential shell measures Non'f~jdential space heat meawres Non-residential site--spebific program Residential domestic hot water measures Resrd$ntf.at lo""'flowshowerhead measures Multifamily boiler measures Multifamf1y domestic how water measures Mu!tifami~y home duct measures Multifamily furnace measures MultUam'~ J-NAC measures Multjfami~ shell measures Multifamily window me-asures Single4amilY home duct program Single-family home shell program Sin,glG-tamily home- window measures Horizontal-axis washing machine proglraffl Non-"resldentJaii water ~\eat program Crematoria prograrn Totai tdentffied co$t-effeotive meaSUfftS (CQm~.:~ may I\Ol &elm dl)3 t,::, fOj!ndr.~ to. nel!riS11.JJ!XJI th"IW!'I$) 19,000 56,000 27.000 000 000 000 16,000 000 4,000 000 469.000 13,000 53,000 000 000 14.000 000 000 41.000 234 000 44,000 25,000 20,000 000 062.000 1st year therms 1,st year therms 1 st year therms 1st yeaftherms 1st year them'1S 1st yeartharms 1st year1lierms 151 year therrns 1$t year the~ 1 sf year therms 1 st yeaii' therms 1st yeat thalmS '1 st YOOJr' !harms 1st ye-ar therms '1 st year tharms 1st year themls 1st year thermos 1st year therms 1st year therms 151: year them,s 1 st year thatm$ 1st year lherms 1st y-ear therms '1 st year tnerms '1 st year therms 1 S1 year therms 1 st year therms 1 st year therms STAFF COMMENTS OCTOBER 24, 2006 Revenue Use In addition to direct design and installation of DSM measures with residential, commercial and industrial customers, the program includes significant incentives paid to customers. These incentives take the form of cash rebates for items such as weatherization, high efficiency hot water heaters, thermostats, and high efficiency furnaces. The use of Idaho-derived DSM rider revenues is split as follows (numbers are rounded): Incentives Labor Expenses 79% 15% Priorities While each measure pursued must be cost effective, Avista looks at individual categories within each measure to determine priorities. By working with customers and engineering, Avista determines which categories and sub-categories have the highest potential. For example maintenance of steam traps for customers who make steam from natural gas boilers has been determined to have potential as a highly cost effective program. Within this sub-category, customers with the largest combination of steam output and hours of operation have been determined to be priority targets. Results In 2001 Avista set a goal of annually achieving DSM results that save a minimum of 240 000 first-year therms within its combined Washington and Idaho service territory. The Company has met or exceeded that goal in each of the five years prior to 2006. A comparison of the goal and the actual results is shown in Attachment A, excerpted from the Company s IRP. These measures total 1 062 000 first-year therms savings. This is more than a four-fold increase over the Company s prior DSM goal. DSM Rider Tariff Determination The Company has proposed to change not only the rate of the Rider Adjustment, Schedule 191 , but to also change how that rate is defined. In 2001 , the Rider was set equivalent to 0.50% of the retail rates, but it is tariffed and billed in cents per therm increments. The Company proposes to describe the Rider as only a fixed rate per therm that may change when an Application is filed by the Company and approved by the Commission. STAFF COMMENTS OCTOBER 24, 2006 Proposed DSM Rider Rates The Rider adjustment proposed by the Company is an increase from $0.00426 per therm to $0.02063 per therm for residential rates (Schedule No.1 0 1). Changes in other tariff Schedules are similar to the Schedule 101 change. All of the proposed Rider changes are presented below.Present Proposed $0.00426/therm $0.02063/therm $0.00373 $0.01827 $0.00354 $0.01739 $0.00294 $0.01523 Schedule No. 101 Schedule No. 111 & 112 Schedule No. 121 & 122 Schedule No. 131 & 132 The proposed tariff is calculated to pay for the increased costs associated with the increased scope and effort of the Energy Efficiency program going forward, and to recover the costs of recent past DSM efforts that have been insufficiently funded by the existing Rider. The proposed Idaho portion ofDSM expenditures, starting January 1 , 2007, is $720 095 annually and the amount for recovery of past Idaho expenses is $1 242 805, as estimated to exist by December , 2006. The Company expects the tariff to recover the accrued past costs by about July of 2008. By that time, Staff expects that the Company will have reevaluated the Rider amount vis-a-vis its DSM expenditure levels and will file to change the Rider rate as needed to accommodate and manage its customers' participation in its cost-effective DSM programs going forward. This large (400%) increase in the Rider will fund a 300% (and growing) increase in DSM activities. The direct and primary beneficiaries of these expenditures will be the DSM program participants whose natural gas bills will decrease soon after their participation. However, even non-participants will indirectly benefit from an increasing level ofDSM due to its effects on the infrastructure necessary to deliver natural gas and on the wholesale price of natural gas. The DSM rate increase is less than the decrease requested in the Company s PGA application, Case No. A VU-06-, which still results in a net overall decrease to customers of approximately two percent. STAFF RECOMMENDATIONS Staff recommends approval of the Energy Efficiency Tariff Rider rates and determination of those rates as requested in the Company s Application. Staff recommends that the Commission order contain language encouraging all customers to participate in A vista s DSM programs. STAFF COMMENTS OCTOBER 24, 2006 Staff also recommends that the Commission order explicitly state that approval of the tariff rider changes is not a determination of either the reasonableness or the prudence of A vista DSM program or expenditures. The Company did not request such determination in this Application and the Staff did not evaluate such. Respectfully submitted this ;:;f"'ctay of October 2006. Deputy Attorney General Technical Staff: Donn English Harry Hall Lynn Anderson i: umisc :comments/ a vugO6.4cgc gdeh h la STAFF COMMENTS OCTOBER 24, 2006 .. . . . ( j ) :J : : . o Or t P J r t -. . . . . . . P J r n r t NH 1 ( 1 ) P J ~H 1 -. . . . . . . Z : : J 00 0 0' \ 0 . (1 ) ::J :J : : . o (1 ) c : : : :: J c : : : J : : . o rt rn G ) 0'\ 16 0 0 0 0 0 14 0 0 0 0 0 12 0 0 0 0 0 00 0 0 0 0 .. . 80 0 0 0 0 .s : : : to - 60 0 0 0 0 40 0 0 0 0 20 0 0 0 0 At t a c h m e n t A Ga s D S M Ac q u i s i t i o n H i s t o r y 10 0 -A c t u a l th e r m s Re t a i l o n l y "" " " " " " " " " " " " T h e r m go a l ' Mo n t h s CERTIFICATE OF SERVICE I HEREBY CERTIFY THAT I HAVE THIS 24TH DAY OF OCTOBER 2006 SERVED THE FOREGOING COMMENTS OF THE COMMISSION STAFF, IN CASE NO. A VU-06-, BY E-MAILING A COpy THEREOF AND BY MAILING A COpy THEREOF, POSTAGE PREPAID, TO THE FOLLOWING: DAVID J. MEYER SR VP AND GENERAL COUNSEL A VISTA CORPORATION 1411 EMISSION AVE, MSC- SPOKANE W A 99220 E-mail dmever(Cl),avistacorQ.com KELLY NORWOOD VICE PRESIDENT - STATE & FED. REG. A VISTA UTILITIES 1411 EMISSION AVE, MSC- SPOKANE W A 99220 E-mail Kell v.norwood(Cl),avistacofP com CERTIFICATE OF SERVICE