HomeMy WebLinkAbout20030121_367.pdfDECISION MEMORANDUM
TO:COMMISSIONER KJELLANDER
CO MMISSI 0 NER SMITH
COMMISSIONER HANSEN
JEAN JEWELL
COMMISSION STAFF
LEGAL
FROM:LISA NORDSTROM
DATE:JANUARY 16 2003
RE:IN THE MATTER OF THE APPLICATION OF INTERMOUNTAIN GAS
COMPANY TO INCREASE ITS COMPOSITE DEPRECIATION RATE.
CASE NO. INT -02-
Intennountain Gas Company filed an Application on October 18, 2002, requesting
authority to increase its composite depreciation rate from 3.71% (3.93% when weighted by
9/30/01 assets) to 4.08%. The Company stated that this 0.15% increase is necessary in order to
accrue the proper dollars over the remaining service life of the Company s property.
approved, the higher rate would increase Intermountain s annual depreciation accrual and
decrease Intennountain s ratebase by $428 482 annually. Although the Company s depreciation
expense would increase under its proposal, the present Application does not request a related
increase in customer rates.
Based on an updated depreciation study by ADS Consultants, the Company
Application concluded that the current rate is under-depreciating its assets, the original cost of
which increased from $234 093 752 to $280 990 082 during the three-year period. Likewise, the
accumulated reserve increased from $116,479 251 to $143 992 182. The current study
advocated an annual depreciation and amortization expense accrual of $11,462 932 for the
remaining life of the Company s property. The study cited by the Application also discussed
Intermountain s planned deployment of electronic meter reading equipment and the recovery of
the associated investment, as well as the service life and estimated removal cost of the
Company s LNG facilities. The Company requested that the increase to the annual composite
depreciation rate and amortizations be made effective at the beginning of the Company s fiscal
year, October 1 2002.
DECISION MEMORANDUM
STAFF COMMENTS
Staff noted that the majority of Intennountain s requested increase in depreciation
rates consisted of three items. First, the Company sought to extend the service life of the
Liquefied Natural Gas (LNG) plant in Nampa. Second, the Company requested an increase in
the negative salvage cost accumulated to retire transmission and distribution mains due to
increased costs at retirement. Finally, the Company is implementing an electronic meter reading
system (ERT) that will require new accounts and new depreciation rates.
Staff conducted its review by analyzing the depreciation study and workpapers
prepared by ADS Consultants, the Company s depreciation consultant. During its review, Staff
encountered a problem with the Company s accounting data used to substantiate the study. The
Company upgraded its accounting software in 2000, which caused problems with the way some
asset retirements and salvage costs were recorded. The misallocated dollars associated with
problematic accounting data were significant and would have made a major impact on the results
of the study. The Company has indicated that it is working to improve the accounting system.
1. Account No. 363 - The LNG Plant
The LNG plant has been in service since 1976. The Company proposed to extend
the life of the facility by 5 years to approximately 35 years, making the remaining life of the
plant approximately 10 years. The Company based its support for a 35-year useful life on
infonnation obtained from a study conducted by the American Gas Association (AGA study)
not by any defect or limitation within the facility itself.
By contrast, Staff recommended a remaining life of 15 years instead of only 10 for
several reasons. First, the Company overhauled the primary compressor associated with the
liquefaction process in 2000 and intends to overhaul the gas turbine prime mover next year.
Second, the Company stated that the LNG facility s controls, which are electrical and pneumatic
would be replaced with electronic and hydraulic controls between 2004 and 2006. Third, the
Company had no plans to replace the LNG facility with any other type of equipment or contract.
In a discussion with Company officials, Staff learned that acquiring peaking services providing
benefits similar to those derived from the LNG facility would be significantly more expensive
than maintaining the current unit. Furthennore, the Company s 2002 IRP did not indicate a
A Survey of Depreciation Statistics, AGA Accounting Services Committee, EEl Property Accounting & Valuation
Committee, 1998-1999.
DECISION MEMORANDUM
replacement of the facility. The Company continues to update the unit as needed, including
making significant overhauls of its major parts. Finally, while the AGA study lists equipment
similar to the equipment recently replaced or proposed to be updated (compressors, connections
gauges and instruments, etc.) with lives in the 25-30 year range, it also contains facilities with 40
and 50-year lives. Staff believes that a 40-year life is reasonable in this case, especially since the
Company will perfonn another depreciation study in 3 years.
For these reasons, Staff recommended that the Company depreciate the LNG plant
over another 15 years for an approximate average service life of37 years. This would require an
annual depreciation rate of 1.29% instead of the Company-proposed rate of 1.69%, and would
reduce the Company s proposed annual depreciation expense by $30 658.
2. Account No. 367 - Transmission Mains
Depreciation on the Company s transmission mains, which are used to transport the
gas between the Company s distribution system and the Northwest Pipeline interstate system, is
currently calculated based on a 44-year life and a 32% negative salvage cost. These mains
generally have long lives and are simply capped instead of being removed at retirement.
The Company sought to change the life of one particular transmission main running
through the Fort Hall Indian Reservation from 44 years to 20 years. Although this main has an
estimated useful life of 44 years, the easement across the reservation is limited to 20 years and
ends approximately in 2015. By that time, the Company will need to renegotiate the easement
and may not be able to secure future use of the transmission line. The Company recommended
that the useful life of the transmission main be reduced to only 20 years instead of 44.
Staff indicated that it was reasonable to base the life of an asset on its known useful
life. Although the Company currently believes there is a good chance it will not be able to renew
its easement, the Company did not provide evidence in support of that belief. The other party
has not indicated whether or not it will renew the easement. Since approximately 12 years
remain on the easement, the Commission will have time to adjust the account if necessary as
more infonnation becomes available. However, because there is some uncertainty, Staff believes
it is reasonable to depreciate this main faster than the rest of the account and monitor the
situation carefully. By reducing the life of the main that runs through the reservation to a point
2 The rate currently authorized for the LNG facility is 1.10%. Staff's proposal would allow the Company to accrue
an additional $14 563 each year.
DECISION MEMORANDUM
mid-way between the expected life of 44 years and the easement's life of 20 years , Staff believes
that additional depreciation can be taken until the uncertainty surrounding the life of the
easement can more fully be detennined. Staff recommended that a life of 32 years be used on
the line through the reservation such that the weighted average life of the total account is
approximately 40 years.
Overall, transmission mains have experienced a net negative salvage value of only
9%. However, during the last few years retirement costs have been higher, resulting in greater
negative net salvage. Since 1992, the account has experienced negative salvage costs of 185%.
Although it noted that the last few years have been even higher, Staff indicated that very little
plant has been retired in this account. During the last five years, only 0.000% to 0.056% of the
account has been retired annually because only a few projects were undertaken each year. Staff
believes it is not reasonable to extrapolate a significant increase in negative salvage costs based
on such a small number of retirements. Furthennore, some of the retirements were expensive
projects that were not typical. The AGA study provided no infonnation on transmission mains
so Staff could not use the AGA study for support. Finally, the Company s poor accounting
records cast a shadow over the integrity of the Company s study. Staff stated that the Company
needed to improve its accounting controls to make sure that retirements are perfonned correctly
and have additional transactions take place before Staff believes it is reasonable to change the
depreciation rates in this account. Thus, Staff recommended that the salvage costs remain at
negative 32% until the Company can correctly track retirement costs and show that an increase is
necessary.
By making these two changes, Staff recommended an annual rate of 2.96% instead of
the Company s proposed 4.26%, thus reducing Company s proposed depreciation expense in this
account by $394 040.
3. Account No. 376 - Distribution Mains
The Company s study recommended that the service life of its distribution mains be
increased slightly to 44 years from 42. Staff supports the extension of the service life because
the 44 years seems to better reflect the 40 to 65 year lives listed in the AGA study.
3 The rate presently authorized for the transmission mains account is 3.57%. Staff's proposal would reduce the
amount the Company accrues by $184 896 each year.
DECISION MEMORANDUM
Staff explained that overall net salvage values from 1975 through 2001 have been a
negative 41 %. From 1992 through 2001 , negative salvage value was 56% and increased to 71
in the last five years. Currently the Company uses a negative salvage value of 40% and
recommends a change to 60%. Staff supported this change for three reasons. First, the
Company consistently had a significant number of retirements in this account that even out the
wide ranges of amounts seen in the transmission mains account. Second, data from the previous
Company study showed evidence that the negative salvage cost for this account was beginning to
increase. This current depreciation study substantiates the findings of the last study. Finally, the
data in the AGA study suggested that a 60% negative salvage cost was in line with other utilities.
Therefore, Staff recommended that the Commission adopt the Company s request to change the
depreciation rate from 3.60% to 4.02%.
4. Account No. 381.2 - Electronic Meter Reading Equipment and Account No. 382.2 -
Electronic Meter Reading Equipment Installation Labor
Intennountain Gas is currently implementing an automated/remote system that uses
electronic devices to record and transmit the customer s usage to a radio-receiving device. The
ER T device consists of a circuit board with a semiconductor chip radio transmitter and a lithium
battery. The electronics and battery are housed in a sealed plastic enclosure that is mounted on
the meter. Staff stated that this device has a battery life of approximately 15-19 years and has
little or no value once the battery has been depleted. Since the life of the device is approximately
15 years, the Company recommended that the life of the equipment be rated at 15 years. Staff
agreed that it is appropriate to set the depreciation rate based on the life of the equipment and
recommended that these new accounts be depreciated at a rate of 6.63% as requested by the
Company.
5. Staff Recommendations
In sum, Staff recommended that the Company s Application be approved with the
following changes:
1. The LNG plant be given a remaining life of 15 years instead of 10.
2. The negative salvage rate of 32% for account 367 should remain
unchanged instead of increased to 50% as proposed by the Company.
3. The life of the transmission line through the reservation should be reduced
to 32 years instead of the 20 years proposed by the Company.
DECISION MEMORANDUM
These changes would give an overall depreciation rate of 3.93% and a total annual
depreciation expense of $11 038 234. This would allow for an increase in depreciation expense
of $3 784 per year instead of the $428 482 requested by the Company. Staff also recommended
that the Commission adopt the Company s recommendation to implement the new depreciation
rates effective at the beginning of Intermountain s fiscal year, October 1 , 2002. Finally, Staffs
comments advocated that Intennountain Gas file another depreciation study for Commission and
Staff review in another three years.
INTERMOUNTAIN GAS REPLY COMMENTS
On January 15, 2003, Intennountain Gas Company filed reply comments explaining
that the purpose of the Company s Application was to update the depreciation parameters and
rates established in Case No. INT -99-2. Intennountain maintained that the depreciation rates
proposed in the Application were appropriate to recover its investment in plant in service
adjusted for net salvage, over its ' useful life.
While the Company believes that its proposed depreciation parameters were
supported by the depreciation study, the Company also acknowledged the concerns raised by the
Staff in their comments. Intennountain believes the next study to be filed in three years will
shore up many of the parameters filed with this case and provide Staff with an added measure of
confidence in the Company s recommendations. Therefore, Intennountain respectfully suggests
that the Commission adopt the changes as proposed by the Staff.
It should be noted that while Intennountain s reply comment deadline does not end
until January 22, 2003, Mike McGrath indicated orally that the Company promptly filed its
comments to allow the Commission to decide this case without further delay. Intennountain has
indicated that this would better facilitate the Company s financial reporting.
CO MMISSI 0 N D ECISI 0 N
Does the Commission wish to approve Intennountain s Application subject to the
changes recommended by the Commission Staff?
Lisa Nordstrom
M:INTGO204 In2
DECISION MEMORANDUM