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HomeMy WebLinkAbout20100805Norwood Direct in Support of Stipulation and Settlement.pdfAvista Corp. 1411 East Mission P.O. Box 3727 Spokane. Washington 99220-0500 Telephone 509-489-0500 Toll Free 800-727-9170 R'Ef~F l\jr.nf"c,'.: ..~_.l':" .,~...:",,:- ~~'V'STA' Corp. 2DlO AUG -5 AM 10: l 5 August 4,2010 lÐ'A.HO. P lJ t;3LtÇ_r~ I1~.~ l UTiliTiES COMMI::;:IVf.¡ Jean D. Jewell Commission Secretar Idaho Public Utilties Commission 472 W. Washington Street Boise, il 83702 Re: Case Nos. A VU-E-lO-Ol and A VU-G-I0-0l Testimony in Support of the Stipulation and Settlement Dear Ms. Jewell: Enclosed for filing with the Commission in the above-referenced docket are the original and nine (9) copies (one (1) copy designated as reporter's copy) plus a computer disk as required by Rule 231.05. of Kelly Norwood's Direct Testimony in Support of the Stipulation and Settlement. Sincerely, ~. ,J~.- Kelly O. Norwood Vice President Enclosures c: Service List CERTIFICATE OF SERVICE I HEREBY CERTIFY that I have this 4th day of August, 2010, served Avista's Testimony in Support of the Stipulation and Settlement in Docket No. AVU-E-10-01 and AVU-G-10-01 upon the following parties, by mailng a copy thereof, properly addressed with postage prepaid to: Jean D Jewell, Secretary Idaho Public Utilities Commission Statehouse Boise, ID 83720-5983 Jean. jewellaRpuc. idaho. gov Brad M. Purdy Attorney at Law 2019 N 1 ih Street Boise, ID 83720 bmpurdyaRhotmail. com Kristine Sasser Donald Howell Deputy Attorneys General Idaho Public Utilties Commission 472 W. Washington Boise, ID 83702-0659 kristine. sasseraRpuc. idaho.gov donald. howellaRpuc. idaho .gov Peter J. Richardson Greg M. Adams Richardson & O'Leary PLLC 515 N. 2ih Street PO Box 7218 Boise, ID 83702 peteraRrichardsonandolearv. com gregaRrichardsondoleary. com Howard Ray Clearwater Paper 803 Mil Road P.O. Box 1126 Lewiston, ID 83501-1126 howard. raylâclearwaterpaper. com Dean J. Miler McDevitt & Miler, LLP 420 W. Bannock St. PO Box 2564-83701 Boise,lD 83701-2564 joelâmcdevitt-miler. com Scott Atkison Idaho Forest Products 171 Highway 95 N. Grangevile, ID 83530 scottalâidahoforestg roup. com Larry Crowley Energy Strategies Institute 5549 South Cliffs Edge Avenue Boise, ID 83716 crowleylalâaol. com Rowena Pineda 3450 Hill Rd Boise, ID 83703-4715 Rowenalâidahocan.org Lee Ann Hall 3518 S. Edmunds St. Seattle, WA 98118 leannaRnwfco.org Ken Miler Snake River alliance Box 1731 Boise, ID 83701 kmilerlâsnakeriveralliance.org Rob Pluid, President Clark Fairchild, Vice President Tom Ozford, Secretary Treasurer North Idaho Energy Logs Inc. P.O. Box 571 Moyie Springs, ID 83845 robpluidaRgmail.com energylogslâgmail. com oxfordlâmeadowcrk. com Benjamin J. Otto Idaho Conservation league 710 N. 6th S1. PO Box 844 Boise,ID 83702 bottolâidahoconservation.org p~~~ Rates Coordinator DEr.c:,i\t¡:r;f' V'-;,,~~, DAVID J. MEYER VICE PRESIDENT i CHIEF COUNSEL GOVERNENTAL AFFAIRS AVISTA CORPORATION P.O. BOX 3727 1411 EAST MISSION AVENUE SPOKAE i WASHINGTON 99220 - 3 727 TELEPHONE: ( 509 ) 495 - 4 316FACSIMILE: (509) 495-8851 2110 AUG -5 AM 10: '5FOR REGULATORY & I UTiLI BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION OF AVISTA CORPORATION FOR THE AUTHORITY TO INCREASE ITS RATES AND CHARGES FOR ELECTRIC AND NATURAL GAS SERVICE TO ELECTRIC AND NATURAL GAS CUSTOMERS IN THE STATE OF IDAHO CASE NO. AVU-E-10-01 CASE NO. AVU-G-10-01 DIRECT TESTIMONY OF KELLY O. NORWOOD IN SUPPORT OF THE STIPULATION AND SETTLEMENT FOR AVISTA CORPORATION (ELECTRIC AN NATURAL GAS) 1 2 I. INTRODUCTION Q.Please state your name, employer and business 3 address. 4 A.My name is Kelly O. Norwood and I am employed as 5 the Vice-President of State and Federal Regulation for 6 Avista Utilities ("Company" or "Avista"), at 1411 East 7 Mission Avenue, Spokane, Washington. 8 Q.Would you briefly describe your educational 9 background and professional experience? 10 A.Yes.I am a graduate of Eastern washington 11 University with a Bachelor of Arts Degree in Business 12 13 Administration, majoring in Accounting.I joined the Company in June of 1981.Over the pas t 29 years, I have 14 spent approximately 18 years in the Rates Department with 15 involvement in cost of service, rate design, revenue 16 requirements and other aspects of ratemaking.I spent 17 approximately 11 years in the Energy Resources Department 18 (power supply and natural gas supply) in a variety of roles, 19 with involvement in resource planning, system operations, 20 resource analysis, negotiation of power contracts, and risk 21 managemen t .I was appointed Vice-President of State & 22 Federal Regulation in March 2002. 23 Q.What is the scope of your pre-filed testimony in 24 this proceeding? 25 A.The purpose of my testimony is to describe and 26 support the Stipulation and Settlement (" Stipulation") , Norwood, Di 1 Avista Corporation 1 filed on July 26, 2010 between the Staff of the Idaho Public 2 Utili ties Commission (" Staff" ), Clearwater Paper Corporation 3 ("Clearwater"), Idaho Forest Group, LLC (" Idaho Forest"), 4 the Community Action Partnership Association of Idaho 5 ( "CAPAI " ), the Snake Ri ver Alliance ( " Snake Ri ver" ), the 6 Idaho Conservation League ("Conservation League"), and the 7 Company, which, if approved by the Commission, would resolve 8 all of the issues in the Company's filing.These entities 9 are collectively referred to as the "Parties," and represent 10 all parties in the above-referenced cases that participated 11 in settlement discussions. 1 12 The Stipulation is the product of settlement 13 discussions held in the Commission offices on July 6 and 8, 14 2010, which were attended by signatories to the Stipulation. 15 The Stipulation between the Parties resolved all issues 16 associated with the calculation of the Company's requested 17 revenue requirement, all issues related to rate spread and 18 rate design, provides additional funding for low income 19 energy efficiency measures and education, and also provides 20 for future workshops to address certain customer service- 21 related issues. 22 The Stipulation represents a compromise among differing 23 points of view.Concessions were made by all Parties to 24 reach a balancing of interests. As will be explained in the i The Idao Community Action Network and Nort Idaho Energy Logs, Inc., as intervenors, were provided notice of the settlement discussions, but did not paricipate. Norwood, Di 2 Avista Corporation 1 following testimony, the Stipulation represents a fair, just 2 and reasonable compromise of the issues and is in the public 3 interest. 4 Q.Please explain how the Parties arri ved at the 5 Stipulation in this proceeding. 6 A.The Stipulation is the end result of extensive 7 audi t work conducted through the discovery process and hard 8 bargaining by all Parties in this proceeding. i would like 9 to express my appreciation to all Parties involved in this 10 proceeding for their efforts in arriving at this 11 Stipulation and to this Commission for your willingness to 12 hear this matter promptly, in light of the proposed OCtobe 1 13 effective date. 14 15 Q.Would you briefly sumrize the Stipulation? A.Yes. Under the terms of the settlement agreement, 16 Avista would be allowed to implement revised tariff 17 schedules designed to recover $21.25 million in additional 18 annual electric revenue, which represents a 9.25% increase 19 in electric annual base tariff revenues. Avista would also 20 be allowed to implement revised tariff schedules designed to 21 recover $1.85 million in additional annual natural gas 22 revenue, which represents a 2.6% increase in natural gas 23 annual base tariff revenues. Included in the Stipulation is 24 a rate impact mitigation plan wherein the increases are 25 partially offset by $17.5 million of Deferred State Income 26 Taxes (DSIT) that would be passed through to customers. Norwood, Di 3 Avista Corporation 1 This DSIT represents the balance of Idaho state deferred 2 income taxes from prior years, which is discussed below. 3 The Parties agree that this settlement is not 4 contingent upon any specific methodology for individual 5 components of the revenue requirement determination, but 6 all Parties support the overall increase to the Company's 7 revenue requirement, and agree that the overall increase 8 represents a fair, just and reasonable compromise of the 9 issues in this proceeding and that this Stipulation is in 10 the public interest. 11 As part of the Stipulation, the annual funding level 12 of the existing low-income Demand Side Management programs 13 would be increased to $700,000, up from the current 14 $465,000.The funding to assist low-income energy 15 efficiency outreach and education would be increased from 16 $25,000 to $40,000. 17 Q.Would you briefly sumrize the rate impact 18 mitigation plan? 19 A.Yes.The DSIT reflected on the Company's balance 20 sheet totals approximately $11.1 million, and when adjusted 21 for the effect of the revenue conversion factor of 0.63676, 22 totals approximately $17.5 million,repres en t ing 23 normalization of state income taxes for a period of years. 24 As part of this mitigation plan, the Parties agree to credit 25 $17 million of the DSIT to electric customers over two years 26 to help offset the rate impact, and $0.5 million to natural Norwood, Di 4 Avista Corporation 1 gas customers for one year to help offset a portion of the 2 first year rate increase. 3 The $17 million DSIT credit would offset electric 4 prices for customers for two years, reducing the impact of 5 the electric rate increase effective Oct. 1, 2010, from an 6 overall 9.25 percent to 3.59 percent.With the offsetting 7 credi t, a residential customer using an average of 1,000 8 kilowatt-hours a month would see a $3.50 per month increase, 9 or 4.3 percent, for a revised monthly bill of $84.40. 10 As part of the phase-in of the DSIT, electric rates 11 would increase 3.92 percent Oct. 1, 2011, and 1.74 percent 12 Oct. 1, 2012, after which the temporary credit would expire. 13 This is shown in the following table: Year 1 Year 2 Year (October 1,(October 1, Total Increase 9.25% Less - DSIT Credit 0.00% Less - Pror Increa 17.25 7.51% Net Increase to 3.92%$4.00 millon 1.74%Customers $8.25 3.59%$9.00 14 15 16 The DSIT credit would reduce, for one year, the natural gas rate increase from 2.6 percent to 1.9 percent.The 17 revised monthly bill for a customer using an average of 65 18 therms a month would increase $1.71 from $57.69 to $59.40. 19 Q.Please elaborate on the DSIT funds that are being 20 used to mitigate the impact of the rate increase. Norwood, Di 5 Avista Corporation 1 A.Deferred SIT (DSIT) has been on the Company 's 2 books since the mid-1990s. Deferrals ceased when rates were 3 approved in Case Nos. AVU-E-09-01 and AVU-G-09-01 that 4 reflected the flow-through method for state income taxes. 5 The switch to the flow-through method provided the 6 opportuni ty to make the DSIT balances available to partially 7 offset the general rate case electric and natural gas rate 8 increases. 9 10 The DSIT balances were created by the differences between book and tax depreciation.The tax effect of the 11 difference between book and tax depreciation was deferred 12 and created the balance of deferred state income taxes. 13 The balance of deferred state income taxes is the 14 result of normalizing state income taxes for ratemaking 15 purposes.Case Nos. AVU-E-09-01 and AVU-G-09-01 reflected 16 the switch to the flow-through method for state income 17 taxes. 18 II. HISTORY OF FILING 19 Q.Please describe the Company's general rate case 20 request, as filed. 21 A.On March 23, 2010, Avista filed an Application 22 with the Commission for authority to increase revenue for 23 electric and natural gas service in Idaho by 14% and 3.6%, 24 respectively.If approved, the Company's revenues for 25 electric base retail rates would have increased by $32.1 Norwood, Di 6 Avista Corporation 1 million annually; Company revenues for natural gas service 2 would have increased by $2.6 million annually. 3 The Company proposed to spread the electric revenue 4 increase by rate schedule, utilizing the results of the cost 5 of service study, on a basis which: 1) moved the rates for 6 all the schedules closer to the cost of providing service, 7 and 2) resulted in a reasonable range in the proposed 8 percentage increase across the schedules.The Company also 9 proposed to raise the monthly electric residential basic 10 charge to $6.75 from the current $4.60 charge. 11 The Company proposed utilizing the results of the 12 natural gas cost of service study, as a guide in spreading 13 the overall revenue increase to its natural gas service 14 schedules and proposed to raise the natural gas residential 15 basic charge to $6.75 from the current $4.00. 16 Q.What are the primary factors causing the Company's 17 request for an electric rate increase in this filing? 18 A. The Company's electric request is driven primarily 19 by an increase in production and transmission expenses, due 20 to the addition of the Lancaster plant Power Purchase 21 Agreement (PPA) in base rates, the termination of some low- 22 23 24 cos t power purchases,reduced hydro generation,and increased fuel costs.These costs equate to approximately 80% of the Company's overall request.In addition, 12% of 25 the request is due to investing large amounts of capital in 26 the Company's hydro and thermal generation projects, and Norwood, Di 7 Avista Corporation 1 transmission and distribution upgrades.In addition, the 2 Company continues to experience increasing costs related to 3 meeting new reliability standards,from additional 4 compliance requirements, and the need to replace aging 5 infrastructure.It is simply not possible to cut other 6 costs enough to offset these cost increases, as explained in 7 the Company's original filing. 8 Q.What are the primary factors driving the Company's 9 request for a natural gas rate increase? 10 A.The Company's natural gas request is primarily 11 driven by the inclusion in this case of the increased plant 12 investment and inventory associated with the transfer of 13 additional capacity and deliverability in the Jackson 14 Prairie Storage facility from Avista Energy to Avista 15 Utilities, effective May 1, 2011. Other changes are due to 16 various operating cost components, mainly administrative and 17 general expenditures. 18 III. ELEMNTS OF THE STIPULATION 19 Q.Please describe the terms of the Stipulation 20 entered into by the Parties. 21 A.While the Parties to the stipulation agreed that 22 this would be a settlement with no party accepting a 23 specific methodology for certain elements of the revenue 24 requirement determination, the Stipulation does specify an 25 agreed-upon level of power supply costs upon which to set 26 the new base power supply costs for the monthly power cost Norwood, Di 8 Avista Corporation 1 adjustment (PCA) calculation purposes, and it identifies 2 other specific items that I will address in my testimony 3 below. 4 Q.Where is the new level of power supply costs for 5 the PCA calculation purposes found in the agreement? 6 A.The agreed-upon level of power supply costs for 7 the monthly PCA calculation purposes is provided in 8 Attachment A to the Stipulation. 9 Q.What is the proposed effective date of the 10 Stipulation? 11 12 A.The Parties have requested implementation of the Stipulation on October 1, 2010.This proposed effective 13 date is an integral part of the Stipulation that was part of 14 the negotiated resolution of all of the issues. 15 Q.Please explain the settlement terms relating to 16 the recovery of Lancaster costs. 17 A.The Lancaster power plant is a 275 MW gas-fired 18 combined-cycle combustion turbine located in Rathdrum, 19 Idaho. Avista Utilities will purchase all of the output of 20 the plant through 2026.In Case No. AVU-E-09-01, a 21 settlement was reached in which the purchase of the output 22 from the Lancaster generating plant was found to be 23 reasonable with the recovery of the fixed and variable costs 24 through the PCA.Those costs have now been incorporated 25 into the base revenue requirement in this case. Norwood, Di 9 Avista Corporation 1 Q.Please explain the settlement terms relating to 2 cost of service. 3 A.As part of this rate case, the Company prepared an 4 analysis of using a peak credit method of classifying 5 production costs, allocating 100% of transmission costs to 6 demand, and allocating transmission costs to reflect any 7 peak and off-peak seasonal cost differences over seven 8 months, rather than assuming an equal weighting over twelve 9 months. The Parties agree to take into account, for purposes 10 of rate spread in this proceeding, the allocation of 100% of 11 transmission costs to demand. The Parties have otherwise 12 agreed to exchange information and convene a public 13 workshop, prior to the Company's next general rate case, 14 wi th respect to the possible use of a revised peak credit 15 method for classifying production costs,as well as 16 consideration of the use of a 12 CP (whether "weighted" or 17 not)versus a 7 CP or other method for allocating 18 transmission costs. 19 The Parties have also agreed to move all electric rate 20 schedules approximately 25% toward unity (except for the 21 Street and Area Lighting Schedules, which will receive a 22 percentage increase equal to the overall increase in revenue 23 requirement) . 24 25 The Parties agreed to move all natural gas rate schedules approximately 60% toward unity (except for Norwood, Di 10 Avista Corporation 1 Transportation Service Schedule 146, which will receive a 2 full decrease to unity) . 3 Q.Please explain the settlement terms relating to 4 prudence of energy efficiency expenditures. 5 A.The Parties agree that Avista's expenditures for 6 electric and natural gas energy efficiency programs from 7 January 1, 2008 through November 30, 2008, and from December 8 1,2008 through December 31,2009 are pruden t and 9 recoverable. 10 Q.Please describe the customer service-related 11 portion of the Stipulation. 12 A.There are three areas that were addressed in the 13 Stipulation, as follows: 14 (a) Low-Income Weatherization Funding - The Parties 15 agree that the annual level of funding of $465,000 to the 16 Community Action Partnership (CAP) agencies for funding of 17 weatherization (which includes administrative overhead) 18 should be increased to $700,000. The continuation and level 19 of such funding will be revisited in the Company's next 20 general rate filing, or other appropriate proceeding . This 21 total amount will be funded through the Energy Efficiency 22 Tariff Rider (Schedules 91 and 191) . 23 (b) Funding for Outreach for Low-Income Conservation - 24 The Parties agree to annual funding of $40,000 to the Idaho 25 CAP for purposes of providing low-income outreach and 26 education concerning conservation. This amount will be Norwood, Di 11 Avista Corporation 1 funded through the Energy Efficiency Tariff Rider (Schedules 2 91 and 191), and will be in addition to the $700,000 of Low- 3 Income Weatherization Funding. The continuation and level of 4 such funding will be revisited in the Company's next general 5 rate filing or other appropriate proceedings. 6 (c) Other Service Commitments - The Parties agree to 7 several other service commitments as follows: 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 (i)The Company will review its policies and address in its next general rate case the appropriateness of charging for services it now provides without charge to customers or other parties, ~, establishing new accounts or managing tenant/landlord accounts. The Company will also reexamine its existing non-recurring charges to determine whether those amounts cover a reasonable portion of the Company's current cost to provide those services. (ii)The Company will use its best efforts to meet or exceed its current contact center service level standards. (iii)In coordination with Staff, the Company will develop and conduct a study on Avista'sdeposit policy and practices with respect to residential customers. Among the objectives of the study would be to determine if the current deposi t policy correctly identifies customers Norwood, Di 12 Avista Corporation 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 ( iv) (v) (vi) (vii) who pose a credit risk to the Company, whether it encourages customers who pose a credit risk to improve payment habi ts, and whether it reduces the amount of credit and collection activity as well as bad debt associated with those customer accounts. The Company will hold at least five Senior Energy Conservation workshops in different Idaho communities prior to December 31, 2011. The Company will begin tracking and reporting to the Commission monthly data regarding customer credit activity. The Company will actively monitor the Low Income Weatherization and Low Income Energy Conservation Education Programs to assure that the stated goals and objectives of these programs are achieved and that costs associated with these programs are prudently incurred. The Company will work with Commission Staff to address concerns about Avista'sStaff's policies and practices with respect to: (a) opening and closing customer accounts, and (b) offering payment arrangements toterm customers. Norwood, Di 13 Avista Corporation 1 Q.Does the Comany have other programs in place to 2 mitigate the impacts on customers of the proposed rate 3 increase? 4 A.Yes. We have a history of making it a priority 5 wi thin our Company to maintain meaningful programs to assist 6 our customers that are least able to pay their energy bills. 7 We also have programs to assist our entire customer base, 8 i. e., not just our low-income customers.Some of the key 9 programs that we offer or support are as follows: 10 Programs designed to assist customers include: 11 . Increased DSM Energy Efficiency Programs and Fuding. 12 In January 2009 Avista proposed, and the IPUC approved,13 modifications to the Company's energy efficiency14 program offerings. The modifications further broadened15 the technical and financial support Avista provides to 16 its customers, and provides customers with increased17 opportunity to manage their energy bills. In 200818 Avista also launched the award-winning "Every Little 19 Bi t" energy efficiency promotional campaign which 20 integrates all of the Company's energy efficiency21 programs into one location. 22 23 . Project Share. Project Share is a voluntary program24 allowing customers to donate funds that are distributed 25 through community action agencies to customers in need.26 In addition to the customer and employee contributions 27 in 2009 of $81,700 in Idaho, the Company contributed28 $111,800, Idaho's share, to the program in 2009. 29 30 . Comfort Level Billing. The Company offers the option 31 for all customers to pay the same bill amount each32 month of the year by averaging their annual usage. 33 Under this program, customers can avoid unpredictable34 winter heating bills. 35 36 . Payment Arrangements. The Company's Contact Center 37 Representatives work with customers to set up payment38 arrangements to pay energy bills. 39 Norwood, Di 14 Avista Corporation 1 . CARS program. Customer Assistance Referral and 2 Evaluation Services provides assistance to special- 3 needs customers through access to specially trained 4 (CARES) representatives who provide referrals to area 5 agencies and churches for help with housing, utilities, 6 medical assistance, etc. 7 8 · Gatekeepers Program. Avista has implemented the 9 Gatekeepers Program, a program that trains field10 personnel to be aware of signs that a customer may be11 having difficulty with daily living tasks (e.g., paper12 or mail not collected, disheveled appearance, etc).13 The CARES representatives conducted training of 14 company-wide field personnel who come into contact15 with residential customers on a regular basis. In the16 event employees identify a customer having difficulty,17 the employee is asked to notify the CARES18 representatives who would contact appropriate19 community resources for assistance. 20 21 · Senior Energy OUtreach. Avista has developed specific22 strategic outreach efforts to reach our more23 vulnerable customers (seniors and disabled customers)24 wi th energy efficiency information that emphasizes25 comfort and safety. 2627 · Senior Publications. Avista has created a one-page28 advertisement that has been placed in senior resource29 directories and targeted senior publications to reach30 seniors with information about energy efficiency, 31 Comfort Level Billing, Avista CARES and energy32 assistance. A brochure with the same information has33 also been created for distribution through senior meal 34 delivery programs and other senior home-care programs. 35 36 · Power to Conserve. In partnership wi th KREM37 television, a half-hour television program is annually38 developed that covers low-cost and no-cost ways to39 save energy at home. The goal of the program is to40 help limited income seniors and other vulnerable41 populations with their energy bills by providing home 42 energy conservation education. The program provides43 helpful energy conservation tips, information on 44 communi ty resources and ways for customers to manage 45 their energy bills. A DVD of the program has also46 been produced which is included as part of energy47 conservation kits provided in senior conservation48 workshops. 49 Norwood, Di 15 Avista Corporation 1 · Every Little Bit House. In partnership with KREM 2 television, the long-running II Power to Conserve II 3 program was updated to profile energy efficiency work 4 done on an actual Avista customer's home utilizing the 5 low income weatherization program provided by SNAP. 6 The program utilizes a series of commercial vignettes7 that are specifically targeted to provide helpful 8 energy conservation tips, information on community 9 resources and ways for customers to manage their10 energy bills. Its primary target audience is limited11 income, senior and vulnerable customers. 12 13 Q.Please describe the accounting treatment agreed to 14 by the Parties for three specific issues. 15 A.The Parties agree to the accounting treatment for 16 the following items: 17 18 (a) Coeur d' Alene Tribe Settlement and Spokane River Relicensing Deferrals The Parties agree to a ten-year 19 amortization of the remaining balances beginning October 1, 20 2010 of the CDA Settlement Deferral, the Spokane River 21 Deferral, and the Spokane River PM&E Deferral. 22 (b) Colstrip Lawsuit Settlement -The Parties agree to 23 eliminate the amortization of the deferred costs, due to 24 insurance proceeds recei ved subsequent to the original 25 filing of the case. 26 (c) Jackson Prairie (JP) Storage - The parties agree 27 to the revised accounting treatment proposed by the Company 28 for its existing cushion gas using the net book value of the 29 utility assets at February 2010 to record the transfer of 30 the cushion gas from non-recoverable (FERC Account No. 31 352.3), which is a depreciable asset, to recoverable (FERC Norwood, Di 16 Avista Corporation 1 Account No. 117.1), which is a non-depreciable asset.The 2 JP assets that will transfer from Avista Energy on May 1, 3 2011, will include plant assets, operations and maintenance 4 expenses, as well as cushion gas that will be recorded in 5 both recoverable and non-recoverable FERC accounts using a 6 similar allocation method. 7 iv. RATE SPREAD & RATE DESIGN 8 9 Q.How did the Stipulation address rate spread? A.The table on Page 3 of Attachment B of the 10 Stipulation shows the impact on the energy rates under each 11 service schedule of the agreed-upon electric increase. The 12 proposed electric revenue increase of $21,250,000 13 represents an overall increase of 9.25% in base rates and 14 is spread based on the Company's proposed methodology of 15 moving all electric rate schedules approximately 25% toward 16 unity (except for the Street and Area Lighting Schedules, 17 which will receive a percentage increase equal to the 18 overall increase in revenue requirement).The application 19 of the DSIT credit to electric customers is spread based on 20 each schedule's contribution to the general increase in 21 this case, which represents a first year reduction in 22 revenue of 5.66%.The first year net increase to electric 23 revenue as a result of the general increase and the DSIT 24 credit is 3.59% of base rates. Norwood, Di 1 7 Avista Corporation 1 Page 8 of the Stipulation shows the impact on each 2 service schedule of the agreed-upon natural gas increases. 3 The increased natural gas revenue requirement of $1,850,000 4 represents an overall increase of 2.6% in base rates.The 5 natural gas increase is spread based on the Company's 6 proposed methodology of moving all natural gas rate 7 schedules approximately 60% towards unity (except for the 8 Transportation Service Schedule 146, which will receive a 9 full movement to unity).The application of the DSIT 10 credit to natural gas customers is spread based on each 11 schedule's contribution to base revenues including the 12 general increase in this case. The net increase to natural 13 gas revenue as a result of the general increase and the 14 DSIT credit is 1.9% of base rates. 15 Q.What is the basis of the Stipulation relating to 16 the rate design? 17 A.The Stipulation outlined increases in the basic 18 charges, monthly minimum charges, and demand charges in 19 Schedules 11, 21, 25, and 31, as shown in Attachment B, 20 page 3 of the Stipulation. Otherwise, a uniform percentage 21 increase is applied to each energy rate within each 22 electric service schedule excluding Schedule 1, residential 23 service where block differentials remain constant. 24 The Parties also agreed that the current residential 25 electric basic charge of $4.60 would be increased to $5.00 Norwood, Di 18 Avista Corporation 1 per month and the residential natural gas basic charge of 2 $4.00 per month would remain unchanged. 3 V. CONCLUSION 4 5 Q.What is the effect of the Stipulation? A.The Stipulation represents a negotiated 6 compromise on a variety of issues among the Parties. Thus, 7 the. Parties have agreed that no particular party shall be 8 deemed to have approved the facts, principles, methods, or 9 theories employed by any other in arriving at these 10 stipulated provisions, and that the terms incorporated 11 should not be viewed as precedent setting in subsequent 12 proceedings except as expressly provided. 13 Q.In conclusion, why is this Stipulation in the 14 public interest? 15 A.This Stipulation strikes a reasonable balance 16 between the interests of the Company and its customers, 17 including its low-income customers. As such, it represents 18 a reasonable compromise among differing interests and 19 points of view. 20 The Parties have agreed tha t the Company has 21 demonstrated need for a revenue requirement increase for 22 23 24 25 both its electric and natural gas customers.The Stipulation provides for recovery of these costs.In the final analysis,however,any settlement reflects a compromise in the give-and-take of negotiations.The 26 Commission, therefore, has before it a Stipulation that is Norwood, Di 19 Avista Corporation 1 supported by sound analysis and supporting evidence, the 2 approval of which is in the public interest. 3 Q.Does this conclude your pre-filed direct 4 testimony? 5 A.Yes, it does. Norwood, Di 20 Avista Corporation