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HomeMy WebLinkAbout20130225Lobb DI in Support.pdfBEFORE THE 23 F IDAHO PUBLIC UTILITIES COMMISStON IN THE MATTER OF THE APPLICATION OF AVISTA CORPORATION DBA AVISTA UTILITIES FOR AUTHORITY TO INCREASE ITS RATES AND CHARGES FOR ELECTRIC AND NATURAL GAS SERVICE IN IDAHO. CASE NO. AVU-E-1 2-08/ AVU-G-1 2-07 DIRECT TESTIMONY OF RANDY LOBB IN SUPPORT OF THE STIPULATION AND SETTLEMENT IDAHO PUBLIC UTILITIES COMMISSION FEBRUARY 25, 2013 1 Q. Please state your name and business address for the 2 record. 3 A. My name is Randy Lobb and my business address is 4 472 West Washington Street, Boise, Idaho. 5 Q. By whom are you employed? 6 A. I am employed by the Idaho Public Utilities 7 Commission as Utilities Division Administrator. 8 Q. What is your educational and professional 9 background? 10 A. I received a Bachelor of Science Degree in 11 Agricultural Engineering from the University of Idaho in 1980 12 and worked for the Idaho Department of Water Resources from 13 June of 1980 to November of 1987. I received my Idaho 14 license as a registered professional Civil Engineer in 1985 15 and began work at the Idaho Public Utilities Commission in 16 December of 1987. I have analyzed utility rate applications, 17 rate design, tariff analysis and customer petitions. I have 18 testified in numerous proceedings before the Commission 19 including cases dealing with rate structure, cost of service, 20 power supply, line extensions, regulatory policy and facility 21 acquisitions. My duties at the Commission include case 22 management and oversight of all technical Staff assigned to 23 Commission filings. 24 Q. What is the purpose of your testimony in this case? 25 A. The purpose of my testimony is to describe the CASE NOS. AVU-E--12--08/AVU-G-12-07 LOBE, R. (Stip) 1 02/25/13 STAFF 1 parties' comprehensive settlement in the case and explain 2 Staff's support. 3 Q. Please summarize your testimony. 4 A. After thorough review of the Company's application, 5 detailed identification of adjustments, two settlement 6 workshops and thoughtful assessment of settlement 7 alternatives, Staff believes that the proposed multi-phase, 8 two-year Settlement is in the public interest, is fair, just 9 and reasonable and should be approved by the Commission. 10 Q. How is your testimony organized? 11 A. My testimony is subdivided under the following 12 headings: 13 Stipulation Overview Page 2 14 Staff Investigation Page 4 The Settlement Process Page 8 15 Settlement Evaluation Page 9 16 Cost of Service/Rate Design Page 14 17 Stipulation Overview 18 Q. Please summarize the Stipulation and Settlement. 19 A. The Stipulation filed with the Commission provides 20 for a two-phase rate plan for both electric and natural gas 21 service, with a further base rate increase stay-out provision 22 through January 1, 2015. The first phase of the plan would 23 take effect on April 1, 2013 and provide for no increase in 24 electric base revenue and an annual increase in natural gas 25 revenue of $3.12 million or 4.92%. The second phase of the CASE NOS. AVU-E-12-08/AVU--G-12-07 LOBB, R. (Stip) 2 02/25/13 STAFF 1 plan, proposed to take effect on October 1, 2013, specifies 2 an annual electric base revenue increase of $7.825 million or 3 3.2%. Annual natural gas revenues would increase by $1.33 4 million or 2.0%. There would be no base rate increase in 5 2014. 6 When these proposed base rate increases are 7 combined with Bonneville Power Administration transmission 8 revenue credits and Purchased Gas Adjustment credits, the net 9 increase over two years is about $4.77 million (1.9%) for 10 electric and $3.31 million (5.2%) for natural gas service, 11 respectively. 12 The Stipulation specifies a 9.8% return on equity 13 and a 7.91% overall rate of return, annual power supply cost 14 levels, non executive salary levels, end of period rate base 15 levels and treatment of Palouse Wind expenses and benefits. 16 The Stipulation also specifies a cost of service based 17 revenue spread to the various customer classes with a uniform 18 increase in the energy portion of the rate. The Stipulation 19 was signed by all parties to the case expect the Consumer 20 Action Partnership of Idaho (CAPAI). The Settlement document 21 is attached as Staff Exhibit No. 101. 22 Q. How does the stipulated annual revenue requirement 23 increase for electric and natural gas service compare to the 24 increases originally requested by Avista? 25 A. Avista originally proposed to increase annual CASE NOS. AVU-E-12-08/AVU-G--12-07 LOBB, R. (Stip) 3 02/25/13 STAFF 1 electric revenue by $11.393 million (or 4.6%) and annual 2 natural gas revenue by $4.561 million (or 7.2%) effective 3 April 1, 2013. The Company requested a 10.9% return on 4 equity with an 8.46% overall rate of return. 5 The Stipulation provides for no increase in 6 electrical rates on April 1, 2013 and a $7.825 million, 3.2% 7 annual revenue increase October 1, 2013. Annual natural gas 8 revenues would increase by $3.12 million or 4.92% on April 1, 9 2013 and $1.33 million or 2.0% on October 1, 2013. A key 10 difference between the Company's original proposal in this 11 case and the Stipulation is the prohibition on any additional 12 base rate increases through January 1, 2015. 13 The stipulated electric increase is about 68% of 14 the Company's original proposal and delays implementation of 15 the rate increase for six months. The proposed increase in 16 natural gas revenue on April 1, 2013 is also about 68 9o- of the 17 Company's original proposal. However, combined with the 18 second phase of the natural gas increase on October 1, 2013, 19 the Settlement represents about 98% of the Company's original 20 application for natural gas. Under the Company's original 21 proposal, the rate increases would have all taken effect on 22 April 1, 2013 and the Company could have realistically filed 23 three more general rate cases before the January 1, 2015 24 stay-out date stipulated in the Settlement. 25 Staff Investigation CASE NOS. AVU-E-12-08/AVU-G-12-07 LOBB, R. (Stip) 4 02/25/13 STAFF 1 Q. What type of investigation did Staff conduct to 2 evaluate the Company's rate increase request? 3 A. Staff began analyzing the Company's filing on 4 August 29, 2012, with 21 Commission Staff members assigned to S the case. Staff submitted 199 formal production requests to 6 the Company and numerous formal and informal audit requests. 7 Staff also reviewed the latest Avista electric and natural 8 gas rate case filings in the State of Washington, including 9 over 300 data requests and responses. Three Staff 10 accountants each conducted a week long on-site audit of 11 Company books and reviewed external auditor workpapers. 12 Q. What areas and issues were specifically identified 13 and assigned for review? 14 A. Capital expenditures and plant investment in 15 generation, transmission, distribution and information 16 technology were specifically identified for both gas and 17 electric service and were separately evaluated. Return on 18 equity, capital structure and cost of debt were evaluated and 19 determined. Staff examined and verified operation and 20 maintenance expenses including electric power supply costs, 21 natural gas purchase costs, taxes, depreciation, salaries, 22 level of workforce, consultant costs, incentive pay and 23 vegetation management costs. 24 Staff also evaluated the Company's proposed Energy 25 Efficiency Load Growth Adjustment, Jurisdictional allocation CASE NOS. AVIJ-E-12-08/AvU-G-12-07 LOBB, R. (Stip) 5 02/25/13 STAFF 1 methodology, class cost of service methodology and rate 2 design options. 3 Q. What type of adjustments to the Company's proposed 4 electric revenue requirement did Staff identify? 5 A. Staff particularly focused on possible adjustments 6 in five primary areas: 1) rate of return, 2) power supply 7 expenses, 3) 2012/2013 capital investment and O&M expenses, 8 4) salaries, and 5) miscellaneous test year expenses. Staff 9 developed positions on individual adjustments in each of 10 these five categories then refined and quantified the revenue 11 requirement impact of each in preparation for pre-filed 12 direct testimony. 13 With respect to rate of return, Staff believed that 14 9.8% return on equity was reasonable, calculated a debt cost 15 of 5.98% and identified a capital structure of 53% debt and 16 47% equity. The resulting overall return of 7.84% reduced 17 the Company's proposed annual revenue requirement by an 18 estimated $6 million. 19 Power supply adjustments included removing expenses 20 and benefits associated with the Company's Palouse Wind power 21 purchase agreement, reducing forced outage rates for the 22 Company's coal fired power plants and modifying load 23 forecasts by improving weather normalization methodology and 24 removing the proposed Energy Efficiency Load Adjustment. 25 Eliminating the effect of Palouse Wind from power supply CASE NOS. AVU-E-12-08/AVU-G-12-07 LOBB, R. (Stip) 6 02/25/13 STAFF 1 reduced annual expenses by an estimated $2.9 million on a 2 normalized basis. 3 Staff proposed to remove 2013 Capital additions, 4 O&M expenses and Information Technology (IT) investments to 5 limit test year proforma through December 31, 2012. In 6 addition to adjustment for 2013 salary increases, Staff 7 identified adjustments for prior year salary increases for 8 nonexecutive labor starting in 2011. Staff also identified 9 adjustments for executive officer incentives and the effects 10 of the Company's announced workforce reduction. 11 Finally, Staff identified 10 other individual 12 miscellaneous annual adjustments ranging from $400,000 for 13 unspent vegetation management to $1,000 for transmission 14 training and travel. The combined impact of this category of 15 adjustments was estimated at approximately $1 million. 16 Q. What type of adjustments did Staff identify for 17 natural gas revenue requirement and what was the impact? 18 A. Most of the adjustments identified by Staff on the 19 electric side were applied to the natural gas revenue 20 requirement as well. These adjustments included rate of 21 return, 2013 capital additions and O&M, salary/workforce 22 expenses and many of the miscellaneous items. These 23 adjustments totaled approximately $1.6 million on an annual 24 basis. 25 Staff's investigation of the Company's application CASE NOS. AVtJ-E-12-08/AVU-G-12-07 LOBB, R. (Stip) 7 02/25/13 STAFF 1 was essentially complete and all of the adjustments were 2 identified prior to settlement discussions. Staff was in the 3 process of refining its position on the various issues in 4 preparation for presentation at hearing. 5 The Settlement Process 6 Q. Would you please describe the process leading to 7 the Stipulated Settlement? 8 A. Yes. The Company filed its rate application with 9 the Commission on August 29, 2012 and Staff immediately began 10 its investigation. The first settlement conference was held 11 on January 17, 2012 in the Commission hearing room with all 12 parties of record in the case invited to participate. 13 Workshop participants included Commission Staff, Avista, 14 Clearwater Paper Company, Idaho Forest Group, the Community 15 Action Partnership of Idaho (CAPAI) and the Idaho 16 Conservation League. The Snake River Alliance (SPA) was a 17 party to the case but did not participate in the Conference. 18 Settlement discussions focused on revenue 19 requirement issues such as capital budget requirements, 20 appropriate return on equity, Capital Structure, Company 21 salaries, O&M expenses, load adjustments, acceptable test 22 period and the acquisition costs associated with the Palouse 23 Wind project. Given the wide disparity in the revenue 24 requirement position of the various parties, the possibility 25 of a multi-year rate agreement was also discussed as an CASE NOS. AVU-E-12-08/AVtJ--G-12-07 LOBB, R. (Stip) 8 02/25/13 STAFF 1 avenue to settlement. 2 Q. Was settlement reached at that time? 3 A. No. The parties could not reach agreement and 4 convened a second settlement conference on January 24, 2013. 5 Again, all parties participated except the SPA. The second 6 conference focused primarily on needed capital additions over 7 the next two years, the costs and benefits of the Palouse 8 Wind project and how a two-year rate plan might be 9 structured. After numerous proposals and counter proposals, 10 with give and take by all parties, a two-year rate agreement 11 was ultimately reached. The Stipulation and Settlement was 12 filed with the Commission on February 6, 2013. 13 Settlement Evaluation 14 Q. How did Commission Staff evaluate the Stipulated 15 Settlement to determine that it was reasonable? 16 A. Staff evaluated the merits of the Settlement in 17 this case for both electric and gas service by looking 18 closely at each of the Staff identified revenue requirement 19 adjustments to assess how they might hold up at hearing. 20 Staff also evaluated the potential for and the 21 likely impact of additional Avista general rate case filings 22 during the proposed Settlement stay-out period. The overall 23 objective of Staff's assessment was to achieve the best 24 outcome for customers with respect to base rates in this case 25 and with respect to base rate increases that might otherwise CASE NOS. AVU-E-12-08/AVU-G-12-07 LOBB, R. (Stip) 9 02/25/13 STAFF 1 occur due to additional general rate filings during the 2 Settlement stay-out period. 3 Q. Why did Staff conclude that the Settlement was 4 better than the alternative? 5 A. Although Staff identified significant adjustments 6 to propose at hearing it is unlikely Staff would have 7 prevailed on all or most of them. Many proposed adjustments 8 were to costs and expenses the Company already incurred or 9 will incur in 2013. For example, Staff proposed to eliminate 10 recovery of worker salary increases starting in 2011, but 11 Avista certainly could make a case at hearing that these wage 12 increases were fair and prudent, and they were actually paid 13 by the Company. Some of Staff's proposed adjustments were to 14 capital costs in 2012 and 2013. Staff did not conclude from 15 its investigation that these costs were imprudent, so even if 16 Staff had prevailed on these adjustments in this case, it 17 would only delay Avista's recovery until the next rate case. 18 This would likely make certain that Avista would immediately 19 file another case and perhaps another after that. 20 Q. Could you please describe Staff's position 21 regarding other issues specified in the Settlement? 22 A. Yes. The Settlement specifies a 9.8% return on 23 equity, a 6.1% cost of debt and a capital structure of 50% 24 equity and 50% debt for an overall 7.91% rate of return. 25 Staff believes the resulting overall rate of return is CASE NOS. AVU-E-12-08/AVU--G-12-07 LOBE, R. (Stip) 10 02/25/13 STAFF 1 justified and a reasonable compromise in this case. It 2 reflects the same return on equity recently approved for 3 Avista by the Washington Commission. It also reflects a 4 current actual cost of debt that is slightly higher than 5 previously calculated by Staff and an imputed rather than 6 actual capital structure. The imputed Capital Structure is 7 consistent with past cases and representative of the 8 estimated December 2013 Capital Structure. 9 The Settlement also specifies annual power supply 10 expenses for use in the Power Cost Adjustment mechanism. 11 Staff adjustments reflecting forced outage rates, weather 12 normalization and the energy efficiency load adjustment are 13 not captured in stipulated power supply expenses. Staff, 14 recognizes that actual expenses associated with these 15 adjustments will effectively flow through the Power Cost 16 Adjustment mechanism whether they are included in base rates 17 or not. 18 Staff will further evaluate the Company's weather 19 normalization methodology and the affects of energy 20 efficiency programs on load forecasts in subsequent rate 21 cases. 22 Q. How did Staff incorporate reduction in expenses 23 associated with the Company's announced voluntary reduction 24 in workforce? 25 A. Staff originally identified the test year costs and CASE NOS. AVU-E-12--08/AVtJ-G-12-07 LOBB, R. (Stip) 11 02/25/13 STAFF 1 benefits of the workforce reduction program to determine the 2 net effect on annual revenue requirement. The workforce 3 reduction benefits or costs were not included in the 4 Company's Application. Staff analysis showed that actual 5 test year expenses to implement the program exceeded test 6 year benefits (due to expensing in a single year). However, 7 in subsequent years, benefits of the program will continue 8 while program expense will not. Staff therefore, amortized 9 the expense over several years to assure a test year benefit. 10 Staff ultimately determined that if reasonable 11 settlement on revenue requirement is achieved in this case, 12 the full benefit of workforce reduction can still be captured 13 in future test years without any expense offset. Staff 14 therefore, conceded the issue as part of the Settlement. 15 Q. Could you please address Staff's position regarding 16 the Settlement's treatment of Palouse Wind project costs? 17 A. Yes. For purpose of settlement in this case, the 18 costs and benefits associated with the Palouse Wind power 19 purchase agreement are not included as normal power supply 20 expenses in base rates. Rather, the net costs/benefits are 21 tracked and recovered through the Power Cost Adjustment 22 mechanism at 90%. This represents a compromise from Staff's 23 original position that would have excluded Palouse project 24 costs from any rate recovery until it was shown to be needed 25 to serve Idaho load. CASE NOS. AVU-E-12-08/AVtJ-G-12-07 LOBB, R. (Stip) 12 02/25/13 STAFF 1 Staff objected to the project because the Company 2 acquired it to satisfy a Washington State Renewable Portfolio 3 Standard without any immediate need to serve load. Moreover, 4 Staff determined that the project power supply expenses would 5 exceed project benefits under near term normalized load and 6 power supply conditions. 7 However, Staff recognized that the project will 8 likely be economical for Idaho customers over the 20-year 9 contract life and could be economical over the next two years 10 under a variety of load and resource conditions. Staff also 11 recognized that the project could provide additional value 12 through the sale of renewable energy credits and could likely 13 be justified to meet load by 2015. Consequently, Staff 14 deemed that treatment through the Power Cost Adjustment 15 mechanism, with partial contribution of net project expense 16 by the Company, reasonably resolved this issue. 17 Q. What types of capital costs are included in this 18 case and how are they treated in the two-year Settlement? 19 A. Capital investment included in this case makes up 20 about 70 9. of the Company's electric revenue increase request 21 and 48% of the natural gas increase request. Staff's 22 investigation shows that 94% of the 2012 investments were to 23 replace aging infrastructure or upgrade existing plant. In 24 2013, over 96% of the capital investment was to replace or 25 upgrade existing plant. Staff identified reasonable CASE NOS. AVU-E-12-08/AVU-G-12-07 LOBE, R. (Stip) 13 02/25/13 STAFF 1 expenditures for distribution plant replacement on the gas 2 and electric side as well as radio and customer service 3 software used to serve all utility customers. 4 While Staff supports maintaining service quality 5 and assuring safety by replacing aging infrastructure such as 6 distribution poles and conductors and Adyl-A natural gas 7 pipeline, Staff questions the timing for inclusion in rates. 8 Staff limited proforma test year plant additions to December 9 31, 2012. Consequently, 2012 investment was included for 10 base rate recovery on April 1, 2013. But 2013 investment was 11 not allowed in base rates until October 1, 2013. The 12 attached Settlement shows how 2013 capital additions were 13 removed from the April increase and added back for the 14 October increase. 15 With respect to vegetative management expenses, 16 Staff originally proposed an adjustment to reduce the amount 17 requested in the Application to reflect expenses actually 18 incurred. As part of the Settlement, Staff agreed that 19 customers would be better served if the requested vegetative 20 management expenses were maintained and actually put toward 21 the intended purpose. 22 Cost of Service/Rate Design 23 Q. Please describe the Stipulated Settlement with 24 respect to customer class cost of service and rate design. 25 A. The Settlement spreads the Idaho jurisdictionally CASE NOS. AVU-E-12-08/AvU-G-1207 LOBE, R. (Stip) 14 02/25/13 STAFF 1 allocated revenue requirement to customer classes based on 2 the Company's proposed gas and electric cost of service 3 studies. The studies showed that residential customers were 4 paying a smaller than necessary part of the cost while larger 5 customers were paying more than necessary. 6 Staff evaluated the results of the cost of service 7 studies by first ensuring that the underlying jurisdictional 8 allocation methodology assigned a reasonable portion of 9 electric and natural gas system costs to Idaho. Staff then 10 evaluated various cost of service methodologies on the 11 electric side to determine how customer classes were affected 12 by the differences. While not adopting a specific 13 methodology, Staff agrees that the cost of service move for 14 the various gas and electric customer classes as proposed by 15 the Company is reasonable in this case (25 5.1, move toward cost 16 of service for gas customer classes and 15 move for electric 17 customer classes) . Consequently, Staff supports the prorated 18 application of the Company's cost of service studies based on 19 the stipulated gas and electric revenue requirement 20 increases. 21 Q. Does the Settlement provide for changes in rate 22 design? 23 A. No. Existing rate design will not change for 24 either electric or gas customers, and the monthly residential 25 customer charges will not increase. All of the proposed CASE NOS. AVtJ-E-12-08/AVtJ-G-12-07 LOBB, R. (Stip) 15 02/25/13 STAFF 1 revenue increase will be applied uniformly to the energy 2 component of rates. Staff maintains that these rate changes 3 are reasonable given the limited change in overall revenue 4 requirement. 5 Q. What rate offsets are available to mitigate the 6 base rate increases? 7 A. The parties have agreed to use $3.865 million in 8 Bonneville Power Administration Settlement Revenue beginning 9 October 1, 2013 to partially offset the electric base rate 10 increase. The revenue represents Idaho's share of money that 11 the Bonneville Power Administration must pay Avista for 12 having used Avista's transmission system. It will be used to 13 reduce the billed energy rate over the period of October 1, 14 2013 through December 31, 2014. 15 The natural gas base rate increase will be 16 partially offset by a $1.55 million un-refunded credit 17 balance held back by the Commission in the most recent 18 purchased gas adjustment case, Case No. AVU-G-12-05. The 19 Commission held the credit refund plus interest in 20 anticipation of Avista filing a natural gas general rate 21 case. The Parties agreed to refund the credit balance over 22 the period October 1, 2013 through December 31, 2014. Staff 23 believes returning the credit during the 15-month period 24 beginning in October provides the greatest benefit to 25 residential gas and electric customers. CASE NOS. AVU-E-12-08/AVU-G-12-07 LOBB, R. (Stip) 16 02/25/13 STAFF 1 Q. How does the proposed base rate Settlement impact residential customer bills? 3 A. The net effect of the electric base rate increase 4 and partially offsetting credit is about a $2.21 per month 5 increase for a residential customer using 1000 kWh. This 6 increase will not take effect until October 1, 2013 with the 7 credit lasting through December of 2014. 8 The net effect of the gas base rate increase 9 beginning April 1, 2013 will be $4.69 per month for a 10 residential customer using 100 therms. The net effect of the 11 gas base rate change and partially offsetting credit on 12 October 1, 2013 will be $0.51 per month increase for a 13 residential customer using 100 therms. 14 Q. Does this conclude your testimony in this case? 15 A. Yes, it does. 16 17 18 19 20 21 22 23 24 25 CASE NOS. AVU-E-12-08/AVU-G-12-07 LOBE, R. (Stip) 17 02/25/13 STAFF David J. Meyer, Esq. Vice President and Chief Counsel of Regulatory and Governmental Affairs Avista Corporation 1411 E. Mission Avenue P.O. Box 3727 Spokane, Washington 99220 Phone: (509) 495-4316, Fax: (509) 495-8851 REC El yE. 103FE87 P11 2::i IDAHO PiF3uc UT1LI1S COiM1SS1ON, Karl Klein Weldon Stutzman Deputy Attorneys General Idaho Public Utilities Commission Staff P.O. Box 83720 Boise, ID 83720-0074 Phone: (208) 334-0312, Fax: (208) 334-3762 BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION ) OF AVISTA CORPORATION DBA AVISTA ) CASE NOS. AVU-E-12-08 UTILITIES FOR AUTHORITY TO ) AVU-G-12-07 INCREASE ITS RATES AND CHARGES ) FOR ELECTRIC AND NATURAL GAS ) SERVICE IN IDAHO ) STIPULATION AND SETTLEMENT This Stipulation is entered into by and among Avista Corporation, doing business as Avista Utilities ("Avista" or "Company"), the Staff of the Idaho Public Utilities Commission ("Staff), Clearwater Paper Corporation ("Clearwater"), Idaho Forest Group, LLC ("Idaho Forest") and the Idaho Conservation League ("Conservation League")'. These entities are collectively referred to as the 'Parties," and represent several parties in the above-referenced cases that participated in settlement discussions. The Parties understand this Stipulation is subject to approval by the Idaho Public Utilities Commission ("IPUC" or the "Commission"). The Community Action Partnership Association of Idaho ("CAPAI") participated in settlement discussions and is continuing to review its position with regard to the Settlement, as proposed, and will be filing separate comments and/or testimony in that regard. The Snake River Alliance, as an intervenor, was provided notice of the settlement discussions, but did not participate. STIPULATION AND SETTLEMENT —AVU-E-12-08 & AVU-G-12-07 Page I Exhibit No. 101 Case Nos. AVU-E-12-08I AVU-G-12-07 R. Lobb, Staff 02/25L13 Page 1 of 39 I.INTRODUCTION I. The terms and conditions of this Stipulation are set forth herein. The Parties agree that this Stipulation represents a fair, just and reasonable compromise of all the issues raised in the proceeding and that this Stipulation and its acceptance by the Commission represents a reasonable resolution of the multiple issues identified in these cases. The Parties, therefore, recommend that the Commission, in accordance with RI 274, approve the Stipulation and all of its terms and conditions without material change or condition. II.BACKGROUND 2.On October 11, 2012, Avista filed an Application with the Commission for authority to increase revenue from electric and natural gas service in Idaho by 4.6% and 7.2%, respectively. If approved, the Company's revenues for electric base retail rates would have increased by $11.4 million annually; Company revenues for natural gas service would have increased by $4.6 million annually. The Company requested an effective date of April 1, 2013 for its proposed electric and natural gas rate increases. By Order No. 32689, dated December 4, 2012, the Commission suspended the proposed schedules of rates and charges for electric and natural gas service. 3.Petitions to intervene in this proceeding were filed by Clearwater, Idaho Forest, CAPAI, the Idaho Conservation League, and the Snake River Alliance. By various orders, the Commission granted these interventions. See, IPUC Order Nos. 32678, 32680 and 32687. 4.Settlement conferences were noticed and held in the Commission offices on January 17 and 24, 2013, and were attended by signatories to this Stipulation; further discussions ensued. Based upon the settlement discussions among the Parties, as a compromise of positions STIPULATION AND SETTLEMENT AVU-E-12-08 &AVU-G-12-07 Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 2of39 in this case, and for other consideration as set forth below, the Parties agree to the following terms: III. TERMS OF THE STIPULATION AND SETTLEMENT 5. Overview of Settlement and Revenue Requirement. The Parties agree that Avista should be allowed to implement revised tariff schedules designed to recover the following revenue requirement in two steps, as summarized in Attachment A, and below: Electric Step 1: April 1, 2013 a. No electric base rate change effective April 1, 2013, instead of the proposed 4.6%, or $11.393 million. Step 2: October 1, 2013 a.Overall electric base rate increase of 3.1% (3.2% in billed rates) or $7.825 million effective October 1, 2013. b.Offsets - Apply $3.865 million for rate mitigation purposes (the BPA Parallel Operation Settlement 2), and amortize that offset over 15 months, from October 1, 2013 to December 31, 2014. C. Net overall bill increase to customers of 1.9% effective October 1, 2013. Summary of Electric Rate Changes Billing Rate Net Billing Change Offset Rate Change April 1, 2013 0.0% 0.0% 0.0% October 1, 2013 3.2% -1.3% 1.9% 2 The BPA Settlement Revenue of $3.865 million represents the Idaho customers share of $12,224 million (system) for the past use of Avista's transmission system for the period January 2005 through February 2013. In December 2012, Avista and Bonneville reached a settlement that pertains to the use of Avista's transmission system by Bonneville. Avista and Bonneville each own and operate transmission systems that are interconnected at various points, Between June 1998 and December 2009, Bonneville integrated four generation projects onto its 115 kV transmission system in the Walla Walla, Washington area. Bonneville sold transmission capacity to wind projects totaling 336 MW. The transmission path for these four projects follows a single Bonneville line that has a rated capacity of only 203 MW. Upon Avista's discovery of this situation, Avista asserted that Bonneville requires the use of up to 133 MW of parallel capacity support through the Avista system in order to fulfill Bonneville's transmission service obligations for these wind projects. The Settlement Agreement was intended to resolve the issue of compensation to Avista for the prior use of its transmission system, as well as provide Bonneville with continuing cost-effective parallel capacity support in lieu of constructing additional transmission facilities at this point in time. Avista anticipates FERC approval of the Settlement in February 2013, after which Avista will bill Bonneville. STIPULATION AND SETTLEMENT—AVU-E-12-08 & AVU-G-12-07 Exhibit No. 10 1 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 3 of 39 Natural Gas Step 1: Apri 11, 2013 a. Overall natural gas base rate increase of 4.9% (5.0% in billed rates) or $3.115 million, instead of the proposed 7.2%, or $4.561 million, effective April 1, 2011 Step 2: October 1. 2013 a.Overall natural gas base rate increase of 2.0% (2.0% in billed rates) or $1.330 million effective October 1, 2013. b.Offsets - Apply $ 1.550 million PGA deferral credit balance from 2012 PGA 3 to partially offset the base rate increase, amortized over 15 months, October 1, 2013 to December 31, 2014. C. Net overall kilt impact to customers of 0.3% effective October 1, 2013. Summary of Natural Gas Rate Changes Billing Rate Net Bililig Change Oflet Rate Change April 1, 2013 5.0% 0.0% 5.0% October 1, 2013 2.0% -1.7% 0.3% 6. Cost of Capital. The Settling Parties agree to a 9.8 percent return on equity, with a 50.0 percent common equity ratio, and adopt the capital structure and resulting rate of return as set forth below: Capital ProForma ProForma Component i Structure Cost Weighted Cost Total Debt i Common Equity 50.000/0 50.00% 6.01% j 9.80% 3.01% 4.90% 7.91% Total 100.00% In Docket AVU-G-12-05, the Commission approved Staff's proposal that approximately $1.55 million in un- refunded credit balances be held back due to the Company's filing of a "Notice of Intent to File a General Rate Case." The Commission stated in Order 32651, on page 6, that "the resulting $1.55 million un-refunded credit balance will help mitigate potential rate increases and provide rate stability for customers." STIPULATION AND SETTLEMENT - AVU-E-12-08 & AVU-G-12-07 pA.................. Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13Page 4 of 39 A. ELECTRIC 7. Overview of Electric Revenue Requirement (April 1. 2013). Below is a summary table and descriptions of the electric revenue requirement components agreed to by the Parties for April 1, 2013: SUMMARY TABLE OF ADJUSTMENTS TO ELECTRIC REVENUE REQUIREMENT EFFECTIVE APRIL 1, 2013 000s of Dollars Amount as Filed: Adjustments: a.) Cost of Capital b.) Remove 2013 Capital Additions (Delay to October 1, 2013) c.) Remove 2013 Expenses: Delay Recovery to October 1, 2013 Rate Change I. Major Generation O&M ii.Information Services & Technology iii.CS2 Levelized Return iv.Non-Exec Labor d.) Remove 2013 Property Tax Expense e.) Remove Officer Incentive and CPI escalation C) Two-Year Amortization of Reardan g.)Include Palouse Wind in PCA until in base rates in 2015 (900/o/100/o sharing) h.)Misceilaneouse Adjustments: Two-Year Amortization of Booz Consulting costs, Oasis Training, Abandoned Projects & Depreciation Study expense Adjusted Amounts Effective April 1, 2013 Revenue Requirement Rate Base $ 11,393 $ 639,030 $ (5,517) $ (1,117) $ ( $ (926) $ (318) $ (38) $ (426) $ (428) $ (187) $ 878 $ (3,139) $ (175) ______ $ - $637 a.Cost of CaDital. As previously described (see Paragraph 6 above). b.Remove 2013 Capital Additions. Reflects total depreciation expense and rate base, net of accumulated depreciation and accumulated deferred income tax, as of year-end December 31, 2012. Moves 2013 capital additions to October 1, 2013 rate change. c.Remove 2013 Expenses: Delay Recovery to October 1. 2013 Rate Change. i. Major Generation O&M. Removes the 2013 incremental non- labor generation plant operation and maintenance (O&M) expense related to the Company's thermal generation plant at Kettle Falls, STIPULATION AND SETTLEMENT —AVU-E-12-08 & AVU-G-12-07 PawS ---- - Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 5 of 39 and its hydro generation plants, to be included in the October 1, 2013 rate change. ii.Information Services & Technology. Removes the 2013 incremental information service and technology expenses, related mainly to the Company's replacement of the Company's Customer Service Information System, and increased costs to support various business processes, application support, additional security requirements, annual contractual agreements and maintenance and license fees, to be included in the October 1, 2013 rate change. iii.CS2 Levelized Return. Removes the 2013 incremental amortization of the deferred levelized return related to the 10-year deferral of return on the Coyote Springs 2 (CS2) investment, to be included in the October 1, 2013 rate change. iv.Non-Exec Labor. Removes the 2013 incremental non-executive labor increases, to be included in the October 1, 2013 rate change. d.2013 Property Tax. Removes the 2013 incremental property tax expense, adjusting property tax expense to December 31, 2012 levels. e.Remove Officer Incentive and CPI Escalation. Removes officer portion of incentives and removes the Consumer Price Index adjustment on incentives included in the Company's original filing. f.Two-Year Amortization of Reardan. See Paragraph 10 below for further information. g.Include Palouse Wind in PCA until Reflected in Base Rates in 2015. See Paragraph 9 below for further information. STIPULATION AND SETTLEMENT—AVU-E-12-08 & AVU-G-12-07 - Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 6 of 39 h. Miscellaneous Adjustments. Includes a two-year amortization of Booz & Co. consulting fees, thereby reducing test period expenses, and removes certain other amounts related to OASIS training, abandoned projects and depreciation study expenses. 8. Overview of Electric Revenue Requirement (October 1, 2013). Below is a summary table and descriptions of the Electric revenue requirement components agreed to by the Parties for October 1, 2013: SUMMARY TABLE OF ELECTRIC REVENUE REQUIREMENT EFFECTIVE OCTOBER 1, 2013 000s of Dollars Revenue Requirement Rate Base Amounts Effective April 1, 2013 Adjustments to October 1, 2013 Rate Change: a.)2013 Capital Additions b.)2014 Capital Additions c.)Add 203 Expenses L Major Generation O&M II. Information Services & Technology lii. CS2 Levehzed Return iv. Non-Exec Labor Adjusted Amounts Effective October 1, 2013 $ 5,488 $ 20,705 $ 629 $ 888 $ 926 $ 318 $ 38 $ 426 $ 7,825 a.2013 Capital Additions. Includes 2013 capital additions, reflecting total depreciation expense and rate base, net of accumulated depreciation and accumulated deferred income tax, as of year-end December 31, 2013. b.2014 Capital Additions. Includes certain 2014 capital additions, including depreciation expense and rate base, net of accumulated depreciation and accumulated deferred income tax, to represent an agreed-upon level of rate base. c.2013 Expenses: STIPULATION AND SETTLEMENT - AVU-E- 12-08 & AVU-G- 12-07 Page 7 Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 7 of 39 i.Major Generation O&M. Includes the 2013 incremental non-labor generation plant O&M expense discussed above in Paragraph 7(c)(i). ii.Information Services & Technology. Includes the 2013 incremental information service and technology expenses discussed above in Paragraph 7(c)(ii). iii.CS2 Levelized Return. Includes the 2013 incremental amortization of the deferred CS2 levelized return discussed above in Paragraph 7(c)(iii). iv.Non-Exec Labor. Includes the 2013 incremental non-executive labor increases discussed above in Paragraph 7(c)(iv). 9.Palouse Wind. The Parties agree that recovery of costs related to the Palouse Wind Power Purchase Agreement ("PPA") will be included in the PCA, subject to the current sharing (90% customer, 10% Company) until it is included in base rates as part of the implementation of new rates from the Company's next general rate case anticipated in 2015. 10.Reardan Wind Site Deferral. The Parties agree to amortize the Reardan Wind Project deferred balance of $1.747 million over a two-year period beginning April 1, 2013. 11.Amortization of 2013 Coyote Springs 2/Colstrip Maintenance Deferral. The Parties agree that the amount deferred in 2013 related to the Company's O&M costs of its Coyote Springs 2 (CS2) natural gas-fired generating plant and its fifteen (15) percent ownership In May 2008, Avista purchased the Reardan Wind Project Site from Energy Northwest, the then-current developer, after it was demonstrated as the Company's least-cost option for securing a renewable resource for its customers, consistent with its 2007 Integrated Resource Plan. Avista later chose to delay the construction of the Reardan project and take advantage of much-lower costs for wind projects that emerged in 2011 (Palouse Wind). Avista recorded $4.0 million of site acquisition and preparation costs, of which approximately $1.7 million is Idaho's share. This includes approx. $0.37 million in AFUDC in accordance with Order No. 30611 (Case No. AVU-E-08-04) STIPULATION AND SETTLEMENT - AVU-E-12-08 & AVU-0-12-07 Page 8 Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 8 of 39 share of the Colstrip 3 & 4 coal-fired generating plants will be amortized over three years, beginning with the implementation of new base rates resulting from the Company's next general rate case filing.5 B. NATURAL GAS 12. Overview of Natural Gas Revenue Requirement (April 1. 2013). Below is a summary table and descriptions of the Natural Gas revenue requirement components agreed to by the Parties: SUMMARY TABLE OF ADJUSTMENTS TO NATURAL GAS REVENUE REQUIREMENT EFFECTIVE APRIL 1, 2013 000s of Dollars Revenue Requirement Rate Base Amount as Filed: $ 4,561 S 110,930 Adjustments: a.) Cost of Capital $ (957) b) Remove 2013 Capital Additions (Delay to October 1, 2013) $ (22) $ 1,309 c.) Remove 2013 Expenses: Delay Recovery to October 1, 2013 Rate Change I. Information Services & Technology $ (42) ii. Non-Exec Labor $ (215) d.) Remove 2013 Property Tax Expense $ (84) e.) Remove Officer Incentive and CPI escalation $ (50) E) MisceUaneouse Adjustments: Two-Year Amortization of Booz Consulting $ (76) costs, Injuries & Damages, Abandoned Projects & Depreciation Study expense Adjusted Amounts Effective April 1, 2013 $ 3,115 $ 112,239 a.Cost of Capital. As previously described (see Paragraph 6 above). b.Remove 2013 Capital Additions. Reflects total depreciation expense and rate base, net of accumulated depreciation and accumulated deferred income tax, Per Order No. 32371 in Case No. AVU-E- 11-01, in order to address the large variability in year-to-year O&M costs, beginning in 2011, the Company was allowed to defer changes in O&M costs related to its Coyote Springs 2 (CS2) natural gas-fired generating plant located near Boardman, Oregon, and its fifteen (15) percent ownership share of the Colstrip 3 & 4 coal-fired generating plants located in southeastern Montana. The Company compares actual, non-fuel, O&M expenses for the Coyote Springs 2 and Colstrip 3 & 4 plants with the amount of expenses authorized for recovery in base rates in the applicable deferral year, and defers the difference from that currently authorized. The deferral occurs annually, with no carrying charge, with deferred costs being amortized over a three- year period, beginning in January of the year following the period costs are deferred. STIPULATION AND SETTLEMENT —AVU-E-12-08 & AVU-G-12-07 Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 9of39 as of year-end December 31, 2012. Moves certain 2013 capital additions to the October 1, 2013 rate change.6 c. Remove 2013 Expenses: Delay Recovery to October 1. 2013 Rate Change. i.Information Services & Technology. Removes the 2013 incremental information service and technology expenses as discussed above, to be included in the October 1, 2013 rate change. ii.Non-Exec Labor. Removes the 2013 incremental non-executive labor increases as discussed above, to be included in the October 1, 2013 rate change. d. 2013 Property Tax. Removes the 2013 incremental property tax expense, adjusting property tax expense to December 31, 2012 levels. e. Remove Officer Incentive and CPI Escalation. Removes officer portion of incentives and removes the Consumer Price Index adjustment on incentives included in the Company's original tiling. f. Miscellaneous Adjustments. Includes a two-year amortization of Booz & Co. consulting fees, thereby reducing test period expenses, and removes certain other amounts related to injuries and damages, abandoned projects and depreciation study expenses. 6 In the Company's filed case, inclusion of total net plant, including accumulated depreciation and accumulated deferred income tax on an average-of-monthly-average basis for 2013, had the effect of reducing rate base by $1.309 million and increasing revenue requirement associated with a net increase in depreciation expense by $22,000. This is due to the original filed adjustment that depreciated all plant, including the plant in service balance at December 31, 2012, to the AMA balance at December 31, 2013. The additional accumulated depreciation on plant in service at December 31, 2012 was greater than the net plant additions in 2013 on an AMA basis, which had an overall impact of reducing net rate base. STIPULATION AND SETTLEMENT —AVU-E-12-08 & AVU-G-12-07 Pau i0 - Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 10 of 39 13. Overview of Natural Gas Revenue Requirement (October 1. 2013). Below is a summary table and descriptions of the Natural Gas revenue requirement components agreed to by the Parties: SUMMARY TABLE OF ADJUSTMENTS TO NATURAL GAS REVENUE REQUIREMENT EFFECTIVE OCTOBER 1, 2013 000s of Dollars Amounts Effective April 1, 2013 Adjustments to October 1, 2013 Rate Change: a.)2013 Capital Additions b.)Add 2013 Expenses i.Information Services & Technology ii.Non-Exec Labor Adjusted Amounts Effective October 1, 2013 Revenue Requirement Rate Base $ - $ 112,239 $ 1,073 $ 3,8311 $ 42 $ 215 $ 1,330 1 11 a.2013 Capital Additions. includes certain 2013 capital additions, including depreciation expense and rate base, net of accumulated depreciation and accumulated deferred income tax, to represent an agreed-upon level of rate base b.2013 Expenses: i.Information Services & Technology. Includes the 2013 incremental information service and technology expenses discussed above in Paragraph I 2(c)(i). ii.Non-Exec Labor. Includes the 2013 incremental non-executive labor increases discussed above in Paragraph 1 2(c)(ii). STIPULATION AND SETTLEMENT —AVU-E-12-08 & AVU-G-12-07 Exhibit No. 101 Case Nos, AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page ilof 39 C. OTHER SETTLEMENT COMPONENTS 14.PCA Authorized Level of Expense. The new level of power supply expense, retail load and Clearwater Paper generation, and the April 1, 2013 and October 1, 2013 Load Change Adjustment Rates resulting from the April 1, 2013 and October 1, 2013 settlement revenue requirements for purposes of the monthly PCA mechanism calculations, are detailed in Attachment B. The parties agree for the purpose of Settlement in this case to accept the Company's normalized load forecast without specifically accepting the weather normalization methodology or the proposed Energy Efficiency Load Adjustment. 15.Depreciation Rates. The Parties have agreed to the updated electric and natural gas depreciation rates as filed by the Company, with all common/allocated plant depreciation rates, including the new depreciation rates for transportation equipment, effective January 1, 2013 to coincide with the Company's Washington and Oregon jurisdictions, with the remaining direct Idaho plant depreciation rate changes effective April 1, 2013. 16.Earnings Test. The Company agrees to an after-the-fact earnings test, where it would refund to customers one-half of any earnings in excess of the 9.8% ROE for each of the years 2013 and 2014, to allay any concerns that the base rate relief in April 1, 2013 and October 1, 2013 may allow the Company to exceed its authorized return. The earnings test would be based on actual, consolidated results for Idaho electric and natural gas operations. 17.Rate Freeze/Stay Out. The Parties agree that, in recognition of the two-year rate plan covered by this Stipulation, Avista will not file another electric or natural gas general rate case before May 31, 2014, and while it may request an effective date earlier than January 1, 2015, final approved new rates will not go into effect prior to January 1, 2015. This does not apply to tariff filings authorized by or contemplated by the terms of the Power Cost Adjustment (PCA), or the Purchased Gas Adjustment tariff (PGA), or other miscellaneous filings. 12 Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 12 of 39 STIPULATION AND SETTLEMENT - AVU-E-12-08 & AVU-G-12-07 D. COST OF SERVICE/RATE SPREAD/RATE DESIGN 18. Cost of Service. For electric operations, the Company prepared an analysis using a peak credit method of classifying production costs, allocating 100% of transmission costs to demand, and allocating transmission costs on a twelve-month basis. For settlement purposes, the Parties agreed to use a pro-rata allocation based on the Company's proposed 15% move towards unity for purposes of spreading the revised electric revenue requirement, while not agreeing on any particular cost of service methodology. For natural gas operations, the Company proposed that all rate schedules be moved approximately 25% towards unity. For settlement purposes, the Parties agreed to use a pro-rata allocation of the Company's natural gas rate spread percentages from its original filing for purposes of spreading the revised revenue requirement. 19. Rate Spread/Rate Design (Base Rate Changes). (a)As indicated above, the Parties agreed that the increase in base revenues would be spread to all electric and natural gas rate schedules on a pro-rata allocation of the Company's rate spread percentages from its original filing. (b)The Parties agree that the revenue requirement for each electric and natural gas service schedule will be applied as a uniform percentage increase to each volumetric energy rate as shown in Attachment C. The Parties agree that there will be no change to Schedule 1 and Schedule 101 basic charges. (c)Attachment C provides a summary of the current and revised rates and charges (as per the Settlement) for electric and natural gas service. 20. Rate Spread/Rate Design (Offsets). STIPULATION AND SETTLEMENT - AVU-E- 12-08 & AVU-G-1 2-07 Page i3 -- Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 13 of 39 (a)The Parties have agreed that the electric base rate offset related to the BPA Settlement Revenues will be spread to electric rate schedules on a uniform cents per kWh basis. (b)The Parties have agreed that the natural gas base rate offset related to the 2012 PGA deferral credit balance of $1.55 million will be spread to natural gas rate schedules on a uniform cents per therm basis (c)Attachment D contains the form of tariff related to the electric and natural gas offsets agreed to by the Parties. A new electric rate schedule, Schedule 97, will be used for purposes of passing through to customers the electric offset. A new natural gas rate schedule, Schedule 197, will be used for purposes of passing through to customers the natural gas offset. Both tariffs would expire on December 31, 2014. (d)Any under- or over-refunded amounts relating to the Electric or Natural: Gas offsets will be trued up in the following year's Power Cost Adjustment (electric) or Purchased Gas Cost Adjustment (natural gas). 21. Resulting Percentage Increase by Electric Service Schedule. The following tables reflect the agreed-upon percentage increase by schedule for electric service 7: Electric Increase Percentage by Schedule - A pol 1, 2013 Rate Schedule Increase in Base Rates Net Increase in Billing Rates Residential Schedule 1 0.0% 0.0% General Service Schedule 11/12 0.0% 0.0% Large General Service Schedule 21/22 0.0% 0.0% Extra Large General Service Schedule 25 0.0% 0.0% Clearwater Paper Schedule 25P 0.0% 0.0% Pumping Service Schedule 31/32 0.0% 0.0% Street & Area Lights Schedules 0.0% 0.0% Overall 0.0% 0.0% ' Avista will file both electric and natural gas conforming tariffs related to the October 1, 2013 rate changes with the Commission on or before August 30, 2013 for the Commission's review and approval. STIPULATION AND SETTLEMENT— AVU-E-12-08 & AVU-G-12-07 PageJ& - Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 14 of 39 Electric Increase Percentage by Schedule - October 1, 2013 Rate Schedule Increase in Base Rates Net Increase in Billing Rates* Residential Schedule 1 3.5% 2.6% General Service Schedule 11/12 2.8% 1.90/0 Large General Service Schedule- 2lt22 3.3% 2.1% Extra Large General Service Schedule 25 2.7% 1.0% Clearwater Paper Schedule 25P 2.3% 0.4% Puning Service Schedule 31/32 3.9% 2.9% Street & Area Lights Schedules 3.1% 2.7% Overall 3.1% 1.9% * Net Increase includes the effects of the proposed changes in Schedule 97 (BPA Adjustment) and the General Rate Increase, all effective on October 1, 2013. 22. Resulting Percentage Increase by Natural Gas Service Schedule. The following tables reflect the agreed-upon percentage increase by schedule for natural gas service: Natural Gas Increase Percentage by Schedule - April 1, 2013 Rate Schedule Increase in Base Rates Net Increase in Billing Rates General Service Schedule 101 5.3% 5.4% Large General Service Schedule 111/112 3.8% 3.9% Interruptible Sales Service Schedule 131/132 4.0% 4.0% Transportation Service Schedule 146 8.7% 8.7% Overall 4.9% 5.0% Natural Gas Increase Percentage by Schedule - October 1, 2013 Rate Schedule Increase in Base Rates Net Increase in Billing Rates ** General Service Schedule 101 2.1% 06% Large General Service Schedule 111/112 1.6% -0.5% Interruptible Sales Service Schedule 131/132 1.4% -1.4% Transportation Service Schedule 146 3.5% 3.5% Overall 2.0% 0.3% ** Net Increase includes the effects of the proposed changes in Schedule 197 (PGA) and the General Rate Increase, all effective on October 1, 2013. STIPULATION AND SETTLEMENT-AVU-E-12-08 & AVU-G-12-07 Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 15 of 39 IV. OTHER GENERAL PROVISIONS 23.The Parties agree that this Stipulation represents a compromise of the positions of the Parties in this case. As provided in RP 272, other than any testimony filed in support of the approval of this Stipulation, and except to the extent necessary for a Party to explain before the Commission its own statements and positions with respect to the Stipulation, all statements made and positions taken in negotiations relating to this Stipulation shall be confidential and will not be admissible in evidence in this or any other proceeding. 24.The Parties submit this Stipulation to the Commission and recommend approval in its entirety pursuant to RP 274. Parties shall support this Stipulation before the Commission, and no Party shall appeal a Commission Order approving the Stipulation or an issue resolved by the Stipulation. If this Stipulation is challenged by any person not a party to the Stipulation, the Parties to this Stipulation reserve the right to file testimony, cross-examine witnesses and put on such case as they deem appropriate to respond fully to the issues presented, including the right to raise issues that are incorporated in the settlement terms embodied in this Stipulation. Notwithstanding this reservation of rights, the Parties to this Stipulation agree that they will continue to support the Commission's adoption of the terms of this Stipulation. 25.If the Commission rejects any part or all of this Stipulation or imposes any additional material conditions on approval of this Stipulation, each Party reserves the right, upon written notice to the Commission and the other Parties to this proceeding, within 14 days of the date of such action by the Commission, to withdraw from this Stipulation. In such case, no Party shall be bound or prejudiced by the terms of this Stipulation, and each Party shall be entitled to seek reconsideration of the Commission's order, file testimony as it chooses, cross-examine witnesses, and do all other things necessary to put on such case as it deems appropriate. In such case, the Parties immediately will request the prompt reconvening of a prehearing conference for STIPULATION AND SETTLEMENT —AVU-E-12-08 & AVU-G-12-07 Pan i6 Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 16 of 39 purposes of establishing a procedural schedule for the completion of the case. The Parties agree to cooperate in development of a schedule that concludes the proceeding on the earliest possible date, taking into account the needs of the Parties in participating in hearings and preparing testimony and briefs. 26.The Parties agree that this Stipulation is in the public interest and that all of its terms and conditions are fair, just and reasonable. 27.No Party shall be bound, benefited or prejudiced by any position asserted in the negotiation of this Stipulation, except to the extent expressly stated herein, nor shall this Stipulation be construed as a waiver of the rights of any Party unless such rights are expressly waived herein. Execution of this Stipulation shall not be deemed to constitute an acknowledgment by any Party of the validity or invalidity of any particular method, theory or principle of regulation or cost recovery. No Party shall be deemed to have agreed that any method, theory or principle of regulation or cost recovery employed in arriving at this Stipulation is appropriate for resolving any issues in any other proceeding in the future. No findings of fact or conclusions of law other than those stated herein shalt be deemed to be implicit in this Stipulation. 28.The obligations of the Parties under this Stipulation are subject to the Commission's approval of this Stipulation in accordance with its terms and conditions and upon such approval being upheld on appeal, if any, by a court of competent jurisdiction. 29.This Stipulation may be executed in counterparts and each signed counterpart shall constitute an original document. STIPULATION AND SETTLEMENT - AVU-E-12-08 & AVU-G-12-07 Pam 17 Exhibit No. 101 Case Nos. AVU-E-1248/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 17 of 39 DATED this . day of February, 203. Av'staCorpo.tion. By: ,17 / ' David J. Weyer Attorney for Avista Co ration Idaho Public Utilities .Commission Staff By:. Karl Klein Weldon $.tut. man Deputy Attorneys General .iear...tec PCôipc.ration By:.... Peter Richardson Attorney for C:Iearwate.r Paper Idaho Forest-Group By: . . .. ... Dean J Miller AttOflIeY for idäho PorestGroup aC Idaho Conservation League By: Benjamin J. Otto Attorney for ICL Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 18 of 39 STIPULATION AND SE1TLEME4T - AVU-E-12-08 &..'v.0-12-07 . p - (r -p p DATED tius day of February, 2013 Avisti C on Idaho Pub1ic11lihi( By:_____ Corporation to Em Clearwater Paper Corporation Idaho Forest (I4I By: 'Peter Rtthardson Dean J. MI DATED this - day of February, 2013. Avista Corporation Idaho Public Utilities .Co ission Staff By: By: David J. Meyer Karl Klein Attorney for Avista corporation Weidon. Stutzman Deputy Attorneys General Clearwater Idaho Forest Group Peter Ri ardson By: Dean J. Millet Attorney for Clearwater Paper Attorney for Idaho Forest Group LLC Idaho Conservation League By: Benjamin J. Otto Attorney for ICL STIPULATION AND SETTLEMENT AVU-E-12-08 & AVU-042-07 'Page 18 Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 20 of 39 DATED this dayof February, 2013. Avista Corporation Idaho Public Utilities Commission Staff By: By: David L Meyer Karl Klein Attorney for Avista Corporation Weldon Stutznian Deputy Attorneys General Clearwater Paper Corporation By: Peter Richardson Attorney for Clearwater Paper ; 40eany pp By . Miller Attorney for Idaho Forest Group LLC Idaho Conservation League Benjamin J. Otto Attorney for ICL Exhibit No. 101 Case Nos. A\'U-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 21 of 39 STIPULATION AND SETTLEMENT —AVU-E-12-08 & AVU04207 DATED this7day of February, 2013. Avista Corporation Idaho Public Utilities Commission Stall By:__ By:_______________________________ David J. Meyer Karl Klein Attorney for Avista Corporation Weldon Stutzman Deputy Attorneys General :Clearwater Paper Corporation Idaho Forest Group By: Peter Richardson Dean 3. Miller Attorney for Clearwater Paper Attorney for Idaho Forest Group LW Idaho Conservation League By: 4 Benjamin J. Otto Attorney for ICL STIPULATION AND SETTLEMENT —AVEJ-E-12-08 &AVI$.G-12-07 is PM i&:± Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- I 2M7 R. Lobb, Staff 02/25/13 Page 22 of 39 STIPULATION AND SETTLEMENT Case Nos. AVU-E-12-08 & AVU-G-12-07 ATTACHMENT A Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 23of39 Avista Utilities: Idaho Rate Adjustments Electric RESIDENTIAL GENERAL SVC. 16. GEN. SVC. EX LG GEN SVC CLEAR WATER PUMPING ST & AREA 116 Effective April 1. 2013 TOTAL SCHEDULE 1 SCH. 11,12 SCH. 21,22 SCHEDULE 25 SCHEDULE 25P SCH. 31,32 SCH. 41-49 1 Total Billed Revenue $ 245,924,000 $ 96,390,000 $ 32,597,000 $ 51,597,000 $ 16,024,000 $ 41,005,000 $ 4,867,000 $ 3,444,000 2 Revenue Chanees 3GRCIncrease 1$ -1$ - $ - $ - $ - $ - $ - $ - 4 Total Revenue Change $ - $ - $ $ - $ - $ - $ - $ - 5 6 Percentaes Chanees 7 GRC Increase 0.0% 0.0% 0.0% 0.0% 0.0% 0.0% 0.0% 0.0% 8 Total Billed Percentage Change 0.0% 0.0% 0.0% 0.0% 0.0% 0.0% 0.0% 0.0% 9 10 11 12 13 14 15 16 Effective October 1. 2013 17 Total Billed Revenue $ 245,924.000 $ 96,390,000 $ 32,597,000 $ 51,597,000 $ 16,024,000 $ 41,005,000 $ 4,867,000 $ 3,444,000 18 Revenue aaes 19 GRC Increase * $ 7,825,0001 $ 3,532,000 $ 920,000 $ 1,714,000 $ 434,000 $ 928,000 $ 190,000 $ 107,000 20 SPA Reduction (15 Month Amortization) ** $ (3,058,000)1 $ (1,024,000) $ (301,000) $ (614,000) $ (273,000) $ (782,000) $ (51,000) $ (13,000) 21 Total Revenue Change $ 4,767,000 $ 2,508,000 $ 619,000 $ 11100,000 $ 161,000 $ 146,000 $ 139,000 $ 94,000 22 23 Percentaee Changes 24 GRC Increase 3.2% 3.7% 2.8% 3.3% 2.7% 2.3% 3.9% 3.1% 25 SPA Reduction -1.3% -1.1% -0.9% -1.2% -1.7% -1.9% -1.0% -0.4% 26 Total Billed Percentage Change 1.9% 2.6% 1.9% 2.1% 1.0% 0.4% 2.9% 2.7% 27 28 29 * Utilizes a pro-rata allocation of the Company's electric rate spread percentage from its original filing for purposes of spreading the revised revenue requirement. 30 ** The SPA settlement benefit of $3.865 million amortized over 15 months is equal to $3.058 million annually. It will expire @ 12/31/14. mg Cr o -- w 4 00 Stipulation and Settlement Case No. AVU-E-12-08 and AVU-G-12-07 Avista Attachment A Page 1 of 2 Avista Utilities Natural Gas Idaho Rate Adjustments GEN SERVICE LRG GEN SVC INTERRUPTIBLE TRANSPORT SPECIAL Effective April 1. 2013 TOTAL SCHEDULE 101 SCH. 111&112 SCH. 131&132 SCHEDULE 146 CONTRACTS 1 Total Billed Revenue $ 62,090,000 $46,896,000 $14,607,000 $201,000 $289,000 $97,000 2 Revenue Chanees 3 GRC Increase * 1$ 3,114,7ZI $ 2,512,740 $ 569,000 $ 81000 $ 25,000 $ - 4 Total Revenue Change $ 3,114,740 $ 2,512,740 $ 569,000 $ 81000 $ 25,000 $ - 5 6 Percentage Changes 7 GRC Increase 5.0% 5.4% 3.9% 4.0% 8.7% 0.0% 8 Total Billed Percentage Change 5.0% 5.4% 3.9% 4.0% 8.7% 0.0% 9 10 11 12 13 14 Effective October 1, 2013 15 Total Billed Revenue $ 65,204,740 $ 49,408,740 $ 15,176,000 $ 209,000 $ 314,000 $ 97,000 16 Revenue Changes 17 GRC Increase * $ 1,330,000 $ 1,073,000 $ 243,000 $ 3,000 $ 11,000 $ - 18 PGA Reduction (15 Month Amortization) ** $ (1,131,000 ) $ (799,000) $ (326,000) $ (61000) $ - $ - 19 Total Revenue Change $ 1991000 $ 274,000 $ (83,000) $ (3,000) $ 11,000 $ - 20 21 Percentage Changes 22 GRC Increase 2.0% 2.2% 1.6% 1.4% 3.5% 0.0% 23 PGA Reduction -1.7% -1.6% -2.1% -2.9% 0.0% 0.0% 24 Total Billed Percentage Change 0.3% 0.6% -0.5% -1.4% 3.5% 0.0% 25 26 * Utilizes a pro-rata allocation of the Company's natural gas rate spread percentages from its original filing for purposes of spreading the revised 27 revenue requirement. 28 ** The PGA deferral of $1.55 million amortized over 15 months is equal to $131 million annually. It will expire @ 12/31/14. (D J,o -, rJ) t .00 Stipulation and Settlement Case No. AVU-E-12-08 and AVU-G-12-07 Avista AttachmentA.- Page 2 o 2 n STIPULATION AND SETTLEMENT Case Nos. AVU-E-12-08 & AVU-G-12-07 ATTACHMENT B REVISED - March 1, 2013 Exhibit No. 101 Case Nos. AVU-E-12-08/AVU-C}-12-07 R. Lobb, Staff 03/01/13 Page 26 of 39 Avista Corp Pro forma January - December PCA Authorized Expense and Retail Sales PCA Authorized Power Supply Expense - System Numbers (ii Iia! Januan February March Agril Mav June JUN Auoust Seotember Q(QL November December Account 555- Purchased Power (2) $88,182,972 $10,717,432 $9,359,487 $8,546,885 $6,841,564 $5,337,699 $5,287,042 $5,648,618 $7,939,502 $5,551,282 $5,789,904 $8,437,276 $8,726,282 Account 501 -Thermal Fuel $30,916,732 $2,789,917 $2,632,215 $2,785,057 $2,031,330 $1,718,372 $1,405,767 $2,715,972 $2,948,383 $2,925,528 $3,051,784 $2,909,636 $3,002,771 Account 547-Natural Gas Fuel $88,631,151 $8,264,229 $7,537,533 $7,376,233 $4,927,841 $2,851,219 $2,201,285 $8,893,937 $8,303,984 $8,561,441 $9,099,171 $9,713,701 $10,900,577 Account 447- Sale for Resale $57,620,639 $4,641,568 $4,386,361 $4,792,538 $5,372,207 $5,022,215 $3,271,701 $6,033,100 $3,115,032 $4,649,875 $4,672,288 $5,573,841 $6,089,913 Power Supply Expense $148,110,215 $17,130,010 $15,142,875 $13,915,637 $8,428,528 $4,885,076 $5,622,392 $9,225,427 $16,076,838 $12,388,375 $13,288,571 $15,486,772 $16,539,716 Transmission Expense $17,970,479 $1,495,284 $1,530,877 $1,480,538 $1,427,248 $1,371,518 $1,420,882 $1,432,251 $1,480,124 $1,483,239 $1,547,809 $1,665,262 $1635447 Transmission Revenue $15,910,828 $1,324,260 $1,118,308 $1,231,356 $1,159,556 $1,231,179 $1,409,821 $1,563,830 $1,439,516 $1,361,638 $1,498,288 $1,294,553 $1,278,524 PCA Authorized Idaho Retail Sales 13) 19181 Janua Febnjaiv March 6pfd &A. June JUIV Auou Seotember Octob November December Total Retail Sales, MWtI 2,920,315 288,554 259,942 251.709 220,890 215,126 211,354 242,247 239,641 218,705 210,034 262,809 299,304 Clearwater Paper Retail Load = Generation, MWh 444,563 39,257 35,848 26,604 38.658 38.512 33,557 38,814 38,992 35,735 38,447 38,899 41,240 April 1, 2013 Approved Rates Load Change Adjustment Rate $26.63 /MWh October 1, 2013 Approved Rates Load Change Adjustment Rate $26.97 iMVVti PCA Authorized Clearwater Paper Directly Assianed Values Total Janua Februa March Agril P 0 ru May June JUIV Aucu ( September QçjgDI November December Purchased Power $19,080,644 $1,684,910 $1,538,596 $1,141,844 $1,659,201 $1,652,935 $1,440,266 $1,665,897 $1,673,537 $1,533,746 $1,650,145 $1,669,545 $1,770,021 April 1, 2013 Approved Rates Z Retail Revenue from Load = Generation (4) $21,043,428 $1,854,485 $1,707,734 $1,256,966 $1,833,636 $1,819,288 $1,591,683 $1,833,565 $1,841,967 $1,694,991 $1,816,219 $1,844,742 $1,948,159 r.. ' October 1, 2013 Approved Rates 9 Retail Revenue from Load = Generation (4) $21,523,556 $1,896,882 $1,746,450 $1,285,700 $1,875,387 $1,860,881 $1,627,925 $1,875,474 $1,884,078 $1,733,585 $1,857,742 $1,886,753 $1,992,699 61 1)Multiply system numbers by 34.76% to determine Idaho share. 2)Purchased Power Expense includes reduction for Pro Forma Billing Determinants at system cost. '0 , 3)12 months ended June 2012 weather normalized Idaho retail sales (utilizes Company's Pm Forma Billing Determinants). 4) Calculated at approved marginal Schedule 25P rates assuming 100% load factor for demand charge. te Stipulation and Settlement Case No. AVU-E-12-08 and AVU-G-12-07 Avista Revised Attachment B March 1 2013 Page 1 of I STIPULATION AND SETTLEMENT Case Nos. AVU-E-12-08 & AVU-G-12-07 ATTACHMENT C Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 28of39 AVISTA UTILITIES IDAHO ELECTRIC, CASE NO. AVU-E-12-08 PROPOSED INCREASE BY SERVICE SCHEDULE 12 MONTHS ENDED JUNE 30, 2012 (000s of Dollars) lEffective October 1st, 2013 I Base Tariff Base Tariff Base Total Billed Total Billed Gen. Incr. Revenue Proposed Revenue Tariff Revenue Total Total Revenue as a % Line Type of Schedule Under Present General Under Proposed Percent at Present General Sch. 97- BPA at Proposed of Billed No. Service Number Rates(1) Increase Rates (1) Increase Rates(2) Increase Decrease Rates(2) Revenue (a) (b) (c) (d) (e) (U (g) (h) (I) 0) (k) I Residential 1 $99,497 $3,532 $103,029 3.59/9 $96,390 $3,532 ($1,024) $98,898 2.6% 2 General Service 11,12 $32,432 $920 $33,352 2.8% $32,597 $920 ($301) $33,218 1.9% 3 Large General Service 21,22 $51,400 $1,714 $53,114 3.3% $51,597 $1714 ($614) $52,698 2.1% 4 Extra Large General Service 25 $16,036 $434 $16,470 2.7% $16,024 $434 ($273) $16,185 1.0% 5 Clearwater 25P $41,091 $928 $42,019 2.3% $41,005 $928 ($782) $41,151 0.4% 6 Pumping Service 31,32 $4,859 $190 $5,049 3.9% $4,867 $190 ($51) $5,006 2.9% 7 Street & Area Lights 41-49 $3,405 $3512 3.1% $3,444 $3,539 2.7% 8 Total $248,720 $7,825 $256,545 3.1% $245,924 $7,825 ($3,058) $250,691 1.90/4 (1)Excludes all present rate adjustments (see below). (2)Includes all present rate adjustments: Schedule 59- Residential & Farm Energy Rate Adjustment. Schedule 66-Temporary Power Cost Adjustment, Schedule 91 - Energy Efficiency Rider Adjustment, and Schedule 97- BPA Rate Adjustment. 9' 0 En Z r!ri Attachment C •.LL Stipulation and Settlement Case No. AVU-E-12-08 and AVU-G-12-07 AVISta Page lof6 AVISTA UTILITIES IDAHO ELECTRIC, CASE NO. AVU-E-12-08 PRESENT AND PROPOSED RATE COMPONENTS BY SCHEDULE lEffective October 1st, 2013 I General Proposed Base Tariff Present Present Rate Sch. 97-BPA Billing Scti. Rate Other Adi.0 Billing Rate lncliDecr) Decrease E91s (a) Residential Service Schedule (b) I (C) (d) (e) (f) (9) - Basic Charge $5.25 $5.25 $0.00 $5.25 Energy Charge: First 800 lcWhs 80.07848 (80.00276) 80.07572 80.00298 ($0.00091) $007779 All over 600 kWhs $008764 (80.00276) 80.08488 80.00332 (80.00091) 80.08729 General Services -Schedule 11 Basic Charge $10.00 $10.00 $0.00 $10.00 Energy Charge: First 3,650 kWhs 80.09338 80.00072 80.09410 80.00296 (80.00091) 80.09615 All over 3,650 kWhs 80.06958 80.00072 $007030 $0.00220 ($0.00091) 80.07159 Demand Charge: 20 kW or less no charge no charge no charge Over 20 kW $5.25/kW $5.25/kW $5.25/kW Proposed BaseTariff (h) $5.25 80.08146 80.09096 $10.00 80.09634 $0.07178 no charge $5.25/kW Large General Service - Schedule Energy Chargé: 21 First 250,000 kWhs $006039 $000035 $0.06074 All over 2(2) includes all preser 80.05154 80.00035 $0.05189 Demand Charge: 50 kW or less $350.00 $350.00 Over 50 kW 84.75/kW 84.75/kW Primary Voltage Discount $0.20/kW $0.20/kW Extra Lame General Service - Schedule 25 Energy Charge: First 500,000 kWhs 80.05047 ($0.00004) 80.05043 All over 500,000 kWhs $0.04275 (80.00004) $004271 Demand Charge: 3,000 kva or less $12500 $12,500 Over 3,000 kva $4.50/kva $4.50Ikva Primary Volt. Discount $0.20/kW $0.201kW Annual Minimum Present: $666,570 Clearwater - Schedule 25P Energy Charge: all kWhs $004146 ($0.00010) $004136 Demand Charge: 3,000 kva or less $12,500 $12,500 Over 3,000 kva $4.50/kva $4.50/kva Primary Volt. Discount $0.20/kW $0.20IkW Annual Minimum Present: $606,060 $0.00258 (80.00091) $006241 80.00219 (80.00091) 80.05317 $0.00 $350.00 $4.75/kW 80.201kW 80.06297 80.06373 $350.00 $4.75/kW $0.20/kW 80.00165 (80.00091) 80.05117 80.05212 $0.00139 (80.00091) 80.04319 80.04414 $12,500 $12,500 $4.50Ikva $4.50/kva $0.20/kW $0.20/kW Proposed: $683,420 80.00108 (80.00091) 80.04153 $12,500 $4.5OIkva 80.20/kW Proposed: $617,940 $0.04254 $12,500 $4.S0lkva $0.20/kW PumDlna Service - Schedule 31 Basic Charge $8.00 $8.00 $0.00 $8.00 Energy Charge: First 165 kW/kWh 80.08939 80.00052 $0.08991 80.00360 ($0.00091) $0.09260 All additional kWhs 80.07620 $0.00052 $007672 $0.00307 (80.00091) 80.01888 $8.00 $0.09299 $0.07927 (1) Includes all present rate adjustments: Schedule 59- Residential & Farm Energy Rate Adjustment, Schedule 66-Temporary Power Cost Adjustment, and Schedule 91 - Energy Efficiency Rider Adjustment. Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 30 0139 Stipulation and Settlement Case No. AVU-E-12-08 and AVU-G-12-07 Avista Attachment C Page 2 of 6 AVISTA UTILITIES IDAHO GAS, CASE NO. AVU-G-12-07 PROPOSED INCREASE BY SERVICE SCHEDULE 12 MONTHS ENDED JUNE 30, 2012 (000$ of Dollars) lEffectiveApril 1st, 2013 Base Tariff Base Tariff Base Total Billed Total Billed Percent Revenue Proposed Revenue Tariff Revenue Total Revenue Increase Line Type of Schedule Under Present General Under Proposed Percent at Present General at Proposed on Billed Service Number Rates (1) Increase Rates (1) Increase Rates (2) Increase Rates (2) Revenue (a) (b) (C) (d) (e) (0 (g) (h) (i) U) 1 General Service 101 $47,852 $2,513 $50,365 5.3% $46,896 $2,513 $49,409 5.4% 2 Large General Service 111/112 $14,997 $569 $15,566 3.8% $14,607 $569 $15,175 3.9% 3 Interruptible Service 131/132 $201 $8 $209 4.09A $201 $8 $209 4.0% 4 Transportation Service 146 $289 $25 $314 8.7% $289 $25 $315 8.7% 5 Special Contracts 148 0.0% 0.0% 6 Total $63,436 $3,115 $66,551 4.9% $62,090 $3,115 $65,205 5.00/0 (1)Includes Schedule 150- Purchased Gas Cost Adjustment (2)Includes Schedule 155- Gas Rate Adjustment CD C tt) a 00 Stipulation and Settlement Case No. AW-E-1208 and AVU-G-12-07 Avista Attachment C Page 3 of 6 $0.02074 $0.52985 $0.52985 $0.00 $225.00 $226.00 $0.00978 $011649 $0.11649 AVISTA UTILITIES IDAHO GAS, CASE NO. AVU-G-12-07 PRESENT AND PROPOSED RATE COMPONENTS BY SCHEDULE lEffective April 1st, 2013 1 Base Present Present Rate (1) Rate Adi.(2) Billing Rate (a) (b) (c) (d) General Service - Schedule 101 Basic Charge $4.25 $4.25 Usage Charge: All therms $0.62291 ($0.01785) $0.80506 Large General Service - Schedule 111 Usage Charge: First 200 therms $0.84418 ($0.01785) $082633 200- 1,000 therms $0.71203 ($0.01785) $0.69418 1,000- 10,000 therms $0.63624 ($0.01785) $061839 All over 10,000 therms $0.58630 ($0.01785) $0.56845 Minimum Charge: per month $81.61 $81.61 per therm $0.43612 ($0.01785) $0.41827 interruptible Service - Schedule 132 Usage Charge: All Therms $0.50911 $0.50911 Transportation Service - Schedule 146 Basic Charge $225.00 $225.00 Usage Charge: All Therms $0.10671 $0.10671 General Proposed Proposed Rate Billing Base Increase Rate Rate (1) (e) (f) (g) $0.00 $4.25 $4.25 $0.04690 $0.85196 $0.86981 $0.04689 $0.87322 $0.89107 $0.02413 $031831 $0.73616 $0.02156 $0.63995 $0.65780 $0.01987 $0.58832 $0.60617 $9.38 $90.99 $90.99 $0.41827 $0.43612 (1)Includes Schedule 150 - Purchased Gas Cost Adjustment (2)Includes Schedule 155 - Gas Rate Adjustment Attachment C Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 32 of 39 Stipulation and Settlement Case No. AVU-E-12-08 and AVU-G-12-07 Avista Page 4 of 6 AVISTA UTiLITIES IDAHO GAS, CASE NO. AVU-G-1 2.07 PROPOSED INCREASE BY SERVICE SCHEDULE 12 MONTHS ENDED JUNE 30, 2012 (000$ of Dollars) JEffective October 1st, 2013 Base Tariff Base Tariff Base Total Billed Total Billed Percent Revenue Proposed Revenue Tariff Revenue Total Total Revenue Increase Line Type of Schedule Under Present General Under Proposed Percent at Present General Sch 197 - PGA at Proposed on Billed Service Number Rates (1) Increase Rates (1) Increase Rates (2) Increase Increase Rates (3) Revenue (a) (b) (c) (d) (e) (f) (g) (h) (I) (j) (k) I General Service 101 $50,365 $1,073 $51,438 2.1% $49,408 $1,073 -$799 $49,682 0.6% 2 Large General Service 111/112 $15,566 $243 $15,809 1.6% $15,175 $243 -$326 $15,092 -0.5% 3 Interruptible Service 131/132 $209 $3 $212 1.4% $209 $3 46 $206 -1.4% 4 Transportation Service 146 $314 $11 $325 3.5% $315 $11 $0 $326 3.5% 5 Special Contracts 148 0.06/0 0.0% 6 Total $66,551 $1,330 $67,881 2.0% $65,204 $1,330 -$1,131 $65,403 0.3% (1)Includes Schedule 150- Purchased Gas Cost Adjustment (2)Includes Schedule 155- Gas Rate Adjustment (3)Includes Schedule 155- Gas Rate Adjustment and Schedule 197- PGA Rate Adjustment uo iir Stipulation and Settlement Case No. AVU-E-12-08 and AVIJ-G-12-07 Avista Attachment C Page 501 6 AVISTA UTILITIES IDAHO GAS, CASE NO. AVU-G-1 207 PRESENT AND PROPOSED RATE COMPONENTS BY SCHEDULE lEffective October 1st, 2013 I Base Present Present Rate (1) Rate Ad112) Billing Rate (a) (b) (c) (d) General Service - Schedule 101 Basic Charge $4.25 $425 Usage Charge: All therms $0.86981 ($001785) $0.85196 Lame General Service - Schedule Ill Usage Charge: First 200 therms $0.89107 ($0,01785) $0.87322 200-1,000 therms $0.73616 ($0.01785) $0.71831 1,000- 10,000 therms $0.65780 ($0.01785) $0.63995 All over 10,000 therms $0.60617 ($0.01785) $0.58832 Minimum Charge: per month $90.99 $90.99 per therm $043612 ($001785) $0.41827 Interruotible Service - Schedule 132 Usage Charge: All Therms $0.52985 $052985 Transoortation Service - Schedule 146 Basic Charge $225.00 $225.00 Usage Charge: All Therms $011649 $0.11649 (1)Includes Schedule 150- Purchased Gas Cost Adjustment (2)Includes Schedule 155- Gas Rate Adjustment General Proposed Proposed Proposed Rate Sch. 197 PGA Billing Base Increase Adl. Rate Rate (1 (e) (f) (g) (h) $0.00 $4.25 $4.25 $0.02003 ($0.01489), $0.85710 $0.88984 $0.02005 ($0.01489) $0.87838 $0.91112 $0.01026 ($0.01489) $0.71368 $0.74642 $0.00927 ($0.01489) $0.63433 $0.66707 $0.00845 ($0.01489) $0.58188 $0.61462 $4.01 $95.00 $95;00 ($001489) $0.40338 $0.43612 $0.00759 ($0.01489) $0.52255 $0.53744 $0.00 $225.00 $225.00 $0.00428 $012075 $0.12075 Attachment C Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 34of39 Stipulation and Settlement Case No. AW-E-12-08 and AVU-G-1 2-07 Avista Page 6 of 6 STIPULATION AND SETTLEMENT Case Nos. AVU-E42-08 & AVU-G-12-07 ATTACHMENT D Exhibit No. 101 Case Nos. AVU-E-12-08! AVUG- 12M7 R. Lobb, Staff 02/25/13 Page 35 of 39 Avista Corporation State of Idaho BPA Rate Adjustment Offset • ID portion of BPA Settlement -$3,846,000 Conversion Factor 0.995010 Revenue Requirement -$3,865,288 15 Month Amortization Rate Pro Forma BPA kWh Reduction 1 1,454,376,696 ($1,320,981) 11&12 418,029,209 ($379,688) 21&22 847,204,858 ($769,499) 25 373,474,024 ($339,219) 25P 1,079,930,838 ($980,879) 31&32 65,224,871 ($58,242). 41-49 17,372,742 ($15,779) Total 4,255,613,238 ($3,865,288) Uniform cents reduction ($0.00091) * Effective October 1st, 2013 through December 31st, 2014 Any residual balance will be trued up in a future PCA filed by the Company. Exhibit No. 101 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 36of39 Stipulation and Settlement Case No. AVU-E-12-08 and AVU-G-12-07 Avista Page lof4 Attachment D I.P.U.C. No.28 Original Sheet 97 97 AVISTA CORPORATION dlbla Avista Utilities SCHEDULE 97 • BONNEVILLE POWER ADMINISTRATION SETTLEMENT - IDAHO AVAILABLE: To Customers in the State of Idaho where Company has electric service available. PURPOSE: To adjust electric rates for revenues related to the Bonneville Power Administration settlement. MONTHLY RATE: The energy charges of electric Schedules 1, 11, 12, 21, 22, 25, 25P, 31, 32 and 41.49 are to be decreased by 0.0910 per kilowatt-hour in all blocks of these rate schedules. TERM: • The energy charges will be reduced for a fifteen month period, from October 1, 2013 through December 31, 2014. Any residual balance will be trued up in a future PCA filed by the Company. SPECIAL TERMS AND CONDITIONS: Service under this schedule is subject to the Rules and Regulations • contained in this tariff. The above Rate is subject to increases as set forth In Tax Adjustment Schedule 56. By Kelly Norwood, Vice President, State S Federal Regulation Attachment 0 StIpulation and Settlement Case 'No. AVU-E-t2-O8 and AVU12O7 Avista Exhibit No. 101 Pa9e2 of Case Nos. AVUE12M8/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 37 of 39 Avista Corporation State of Idaho PGA Rate Adjustment C Refund of Deferred Gas Costs -$1,542,264 Conversion Factor 0.995009 Revenue Requirement -$1,550,000 • 15 Month Amortization Rate Pro Forma PGA 8th Therms Reduction 101 74,508,535 ($1,109,559) 111&112 29,081,957 ($433,080) 131&132 494,346 ($7,382) Total 104,084,838 ($1,550,000) Uniform cents reduction ($0.01489) Effective October 1st, 2013 through December 31st, 2014 Any residual balance will be trued up in a future PGA filed by the Company. Exhibit No. 101 -- Case Nos. AVU-E-12-08/ AVU-G- 12-07 R. Lobb, Staff 02/25/13 Page 38of39 Stipulation and Settlement Case No. AVU.-E-12-08 and AVUG-12-07 Avista Attachment 0 Page 3 of 4 LP.U.C. N0.27 Original Sheet 197 197 AVISTA CORPORATION cl/b/a Avista Utilities SCHEDULE 197 REFUND OF DEFERRED GAS COSTS - IDAHO AVAILABLE: To Customers in the State of Idaho where Company has natural gas service available. PURPOSE: To adjust natural gas rates for the refund of prior deferred gas costs MONTHLY RATE: The energy charges of natural gas Schedules 101,111, 112,131, and 132 are to be decreased by 1.4890 per therm in all blocks of these rate schedules. TERM: The energy charges will be reduced for a fifteen month period, from October 1, 2013 through December 31, 2014. Any residual balance will be trued up in a future PGA filed by the Company. SPECIAL TERMS AND CONDITIONS: • Service under this schedule is subject to the Rules and Regulations contained in this tariff. The above Rate is subject to Increases as set forth in Tax Adjustment Schedule 158, By Kelly Norwood, Vice President, State & Federal Regulation Attachment 0 Sttpulation #M Setflernent Case No AW E-12-08.ndAVU-G-12-O7 Aista Exhibit No. 101 Page 4 of 4 Case Nos. AVU-E-12-08/ AVU-G-12-07 R. Lobb, Staff 02/25/13 Page 39 of 39 CERTIFICATE OF SERVICE I HEREBY CERTIFY THAT I HAVE THIS 25TH DAY OF FEBRUARY 2013, SERVED THE FOREGOING DIRECT TESTIMONY OF RANDY LOBB IN SUPPORT OF THE STIPULATION AND SETTLEMENT, IN CASE NOS. AVU-E-12-08 & AVU-G-12-07, BY B-MAILING, MAILING VIA FED EX OR HAND CARRY A COPY THEREOF, POSTAGE PREPAID, TO THE FOLLOWING: DAVID J MEYER VP & CHIEF COUNSEL AVISTA CORPORATION P0 BOX 3727 SPOKANE WA 99220-3727 E-MAIL: david.meyer@avistacorp.com KELLY 0 NOR WOOD VP STATE & FED REG AVISTA CORPORATION P0 BOX 3727 SPOKANE WA 99220-3727 E-MAIL: ke11y.norwood@avistacorp.com ELECTRONIC SERVICE ONLY: DEAN J MILLER PAUL KIMBALL McDEVITT & MILLER LLP AVISTA CORPORATION P0 BOX 2564 E-MAIL: Paul.Kimball@avistacorp.com BOISE ID 83702 E-MAIL: j oe@mcdevitt-miller.com LARRY A CR0 WLEY THE ENERGY STRATEGIES INSTITUTE INC 5549 S CLIFFSEDGE AVE BOISE ID 83716 E-MAIL: crowleyla@aol.com PETER J RICHARDSON GREGORY M ADAMS RICHARDSON & O'LEARY 515 N 27TH STREET BOISE ID 83702 E-MAIL: Deter(richardsonando1earv.com gregrichardsonando1eary.com DR DON READING 6070 HILL ROAD BOISE ID 83703 E-MAIL: dreading(Zimindspring.com BENJAMIN J OTTO IDAHO CONSERVATION LEAGUE 710 N. 6TH ST BOISE ID 83702 E-MAIL: botto@idahoconservation.org KEN MILLER SNAKE RIVER ALLIANCE BOX 1731 BOISE ID 83701 E-MAIL: kmiller@snakeriveralliance.org ELECTRONIC SERVICE ONLY: HOWARD RAY CLEAR WATER PAPER CORPORATION E-MAIL: Howard.Ray@clearwaterpaper.com BRAD M PURDY ATTORNEY AT LAW 2019N 17TH ST. BOISE ID 83702 E-MAIL: bmpurdy@hotmail.com SECRETAR7 CERTIFICATE OF SERVICE