HomeMy WebLinkAbout20230629Comments_1.pdf
June 28, 2023
Ms. Jan Noriyuki
Commission Secretary
Idaho Public Utilities Commission
P.O. Box 83720
Boise, ID 83720-0074
RE: Notice of Intent to Promulgate Rules – Zero-Based Regulation Negotiated Rulemaking
RUL-U-23-02, Customer Relations Rules
RUL-U-23-04, Gas Service Rules
Dear Ms. Noriyuki:
Enclosed for filing with this Commission are Intermountain Gas Company’s (“Intermountain” or
“Company”) comments on the edits proposed for the zero-based regulation negotiated rulemaking for
the following sections of Idaho code:31.21.01 Customer Relations Rules For Gas, Electric, and Water
Public Utilities, and 31.31.01 Gas Service Rules.
The Company appreciates the work Staff has done to update and simplify these rules. If you have any
questions or require additional information regarding the attached, please contact me at (208) 377-6015.
Sincerely,
/s/ Lori A. Blattner
Lori A. Blattner
Director – Regulatory Affairs
Intermountain Gas Company
Enclosures
RECEIVED
2023 JUNE 28, 2023 12:16PM
IDAHO PUBLIC
UTILITIES COMMISSION
2023 IDAPA Rulemaking Page 1
INTERMOUNTAIN GAS COMPANY’S COMMENTS ON THE 2023
IDAPA 31 RULEMAKING
Below is a discussion of each rule being reviewed in this rulemaking. Intermountain Gas Company
(“Intermountain” or “Company”) provides general comments on a section of the rule or includes a cut
and paste of the rule as revised by the Idaho Public Utilities Commission (“IPUC” or “Commission”) and
explains its concerns with the proposed edits and/or offers alternative language in highlighted redlined
text.
IDAPA 31.21.01 Customer Relations Rules
005.01 Definitions
Intermountain believes the text deletions proposed for the definitions of “Applicant,”
“Customer,” and “Utility“ are confusing because deleting the modifying prepositional phrases,
“within a rule or group of rules to a particular class of service” makes the dependent clause,
“unless restricted by definition” apply to the very definition in which the dependent clause is
contained thus making it a circular definition. The Company recommends that these changes
not be made.
Alternatively, if the Customer Relation Rules contain no exceptions where the defined words
mean something other than the definition given in Section 005, it would make sense to remove
the whole introductory dependent clause, “unless restricted by definition.”
101.01 Deposit Requirements: Residential Customers
The proposed insertion of “utilities” before property should be both the singular and possessive
form of the word, “utility’s.” Also, the article ‘A’ is needed for the start of the following
sentence, so the Company recommends leaving that sentence as is.
01.Residential Customers. Utilities will not demand or hold a deposit from any current
residential customer or applicant for residential service without proof that the customer
or applicant is likely to be a credit risk or to damage the utilities utility’s property of the
utility. A A lack of previous history with the utility does not, in itself, constitute such proof.
Utilities will not demand or hold a deposit under this rule as a condition of service from a
residential customer or applicant unless one or more of the following criteria applies: (3-
31-22)
101.1(b)(ii) - In Section (b)(ii) of 101.1 , the word “utilities” should be the singular, possessive
form, “utility’s.”
ii. Obtaining, diverting or using service without the utilities utility’s authorization
or knowledge.
101.02(a) - In section 101.02(a), the proposed revision makes section (a) a fragment rather than
a sentence. For clarity and parallel structure with (b), it should remain a sentence. With the
proposed edits, the condition does not make sense. Intermountain recommends retaining the
verb and the predicate of the current language.
a. Any of the criteria listed in Rule Subsection 101.01 of this rule are present are
present.
2023 IDAPA Rulemaking Page 2
101.03 - In Section 101.03, the article “a” is needed before “deposit.”
03. Bankrupt Customers. If an applicant for service or a customer, either residential
or small commercial, has sought any form of relief under the Federal Bankruptcy Laws,
has been brought within the jurisdiction of the bankruptcy court for any reason in an
involuntary manner, or has had a receiver appointed in a state court proceeding, then a
deposit may be demanded as allowed by the Federal Bankruptcy Laws.
200 - In Section 200, the proposed deletions make the intent less clear. The Company
recommends the current language be retained.
200.01 (h) - In Section 201.01(h), the company suggests that the article, “the,” be retained in the
two instances where it is deleted for normal grammatical flow.
313.02 - In Section 313.02, the proposed revisions make the sentence grammatically incorrect,
and therefore, confusing. The Company recommends revising the proposed revision as shown
below.
02. Reasonableness. When deciding In deciding on the Tthe reasonableness of a
particular agreement, the utility will take into account the customer’s ability to pay, the
size of the unpaid balance, the customer’s payment history, and the amount of time and
reasons why the debt is outstanding
403.01 - In Section 403.01, the Company recommends that the proposal to remove “involving
the utility” not be adopted as the wording provides specificity for compliance. While utilities can
infer what is reasonable or intended, clarity and specificity within a rule aid the ability to
unquestionably comply.
600.03 - In Section 600.03, the proposed revisions muddle the original meaning of the sentence.
As proposed a utility may mail or deliver its intent; however, intent is intangible and cannot be
mailed. The Company proposes that the original language be retained.
603.02 - In Section 603.02, the proposed edits are confusing and suggest that the utility should
be contacting a customer non-stop for twenty-four hours prior to a disconnection. The Company
recommends retaining most of the original language as shown below.
02.Final Notice. The utility may mail a final written notice to customers at least three (3)
calendar days, excluding weekends and holidays, before the proposed date of
termination. Regardless of whether the utility elects to mail a written notice, at least
twenty-four (24) hours prior to actual termination, the At least twenty-four (24) hours
prior to actual termination, tThe utility will diligently attempt to contact the customer
affected at least twenty-four (24) hours, either in person or by telephoneeither in person
or by telephone, to apprise the customer of the proposed action. This final notice will
contain the same information required above for written notice. Each utility will maintain
clear, written records of oral notices, showing dates and the utility employee giving the
notices. (3-31-22)
2023 IDAPA Rulemaking Page 3
605 - In Section 605, the proposed deletions reduce the clarity of the section. The Company
recommends retaining the original language.
IDAPA 31.31.01, Gas Service Rules:
102. Inspection of Customer’s Facilities.
Intermountain recommends that this section be removed in its entirety as it was suspended by
Commission Order No. 30625 on August 19, 2008.
152. Periodic Tests of Customer Meters
Intermountain recommends changing the definition of smaller capacity meters to meters with
capacities of 1000 cfh to 3000 cfh. The Company also recommends retaining cfh rather than
using ft3/h as cfh is the industry standard for cubic feet per hour. This revision creates a more
reasonable inspection schedule, allowing the utility to test the majority of its meters through a
sampling program.
01. Testing of Smaller Capacity Meters All mMeters with capacities up to and
including four hundreds (400)up to and including one thousand (1000) cubic feet per
hour (cfh) (ft3/h) that have been in service ten (10) or more years as established by last
set date shall be tested within a prescribed sample size as determined in accordance
with ANSI/ASQ Z1.4 and Z1.9 2003 (R2018), which are incorporated by reference into
these rules, which can be found at
https://webstore.ansi.org/Standards/ASQ/ANSIASQZ1SamplingProcedures .
152.02
Consistent with the recommended revision in 152.01, Intermountain recommends that larger
capacity meters be defined as 1001 cfh to 3000 cfh. Again, Intermountain recommends retaining
the acronym cfh as it is the industry standard for cubic feet per hour.
02.Testing of Larger Capacity Meters. All Mmeters from four hundred (400) one thousand
one (1001)cubic feet per hour (cfh)(ft3h) (cfh) and largerto 3000 cfh cubic feet per hours
(cfh) that have been in service ten (10) years as established by last set date shall be
replaced or field tested.
154. Customer Meter Accuracy Requirements
Intermountain recommends the accuracy standard be a bandwidth of 2% for all meters as this
aligns better with ANSI B109 standards.
01.Accuracy of Meters. A new gas meter installed for the use of any customer shall not
be more than two percent (2%) slow and not more than one percent (1%) or fast. Every
meter removed from service when opened for repairs shall be adjusted within tolerance
to be not more than two percent (2%) slow and not more than one percent (1%) fast
before being reset; and if not opened for repairs may be reset without adjustment if found
to be not more than two percent (2%) in error fast or slow, when passing as in both
instances at the test rates provided for in Rule 155 (Customer Meter Test Loads).
155.01 Customer meter test loads: Testing of Meters
2023 IDAPA Rulemaking Page 4
Intermountain recommends that the accuracy standard be revised from one-half percent to one
percent. This change aligns with ANSI B109.1 and ANSI B109.2, which allow a 1% spread.
Also, Intermountain proposes the phrasing “the results of which shall agree” be retained for
clarity.
01.Testing of Meters. All tests to determine the accuracy of registrations of gas service
meters shall be made with a suitable meter prover or testing equipment. Unless
exempted by order of the Commission, at least two (2) test runs shall be made on each
bellows type displacement meter, the results of which shall agree with each other within
the results of which shall agree with each other within one percent (1%).and shall be
withinone-half of one percent (.5%) (3-31-22)
155.02 Customer Meter Test Loads: Gas Flows During Testing
Intermountain proposes using 80% for the Open test because that would test the meter at a
volume similar to what is experienced while in service. A meter rarely, if ever, runs at 100%. The
Company also proposes to allow meters to be tested at the maximum capacity of the prover,
even if that is less than 80%.
02. Gas Flows During Testing. The rate of flow to be used in testing all capacity
meters having capacities up to and including three thousand (3,000) cubic feet per hour
ft3/h shall be twenty percent (20%) (Check) and eighty percent (80%) to one hundred
percent (100%) (Open) of the rated capacity. The one hundred percent (100%) capacity
or open run test shall not be taken into consideration in arriving at the accuracy of these
meters. Meters having capacities of above three thousand (3,000) cubic feet per hou
ft3/h except orifice meters, shall be tested both at twenty percent (20%) and one
hundred percent (100%) of their capacity. For the purpose of determining the accuracy
of these meters, the average of twenty percent (20%) and one hundred percent (100%)
tests shall be used.For the purpose of determining accuracy of these meters, the
average of the Check and Open tests shall be used. When meter capacity is greater than
the testing equipment, the maximum capacity of the testing equipment shall be used for
the Open test.
156.01 Customer Meter Test Records: Records of Meter Tests
The edits to section (e) inadvertently muddle the clarity of this requirement and should not be
adopted as proposed. Intermountain proposes retaining the words highlighted below. A limiting
modifier is useful before the word “data” to clearly define the bounds of compliance and the
article “the” is needed before calculations.
e. The accuracy as found and as left, together with enough of the with enough
data taken at the time of the test to permit the convenient checking of the methods
employed and the the calculations.