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HomeMy WebLinkAbout20090529Ottens Direct.pdfBrad M. Purdy Attorney at Law 2019 N. 17th S1. Boise, Idaho 83702 (208) 384-1299 Cell: (208) 484-9980 Fax: (208) 384-8511 E~~, 2ßUQ ti~ '( 29 pt'1 2: 2 l May 29, 2009 Jean Jewell Commission Secreta Idaho Public Utilties Commission 472 W. Washington Boise,ID 83702 RE: Cas No. A VU-E-09-01: Direct testimony ofTeri Ottens Dear Ms. Jewell: Enclosed, please fid an original and 9 copies of the direct testiony ofTeri Otens on behalf of the Communty Action Parership Association of Idaho in the above-referenced docket. Also enclosed is a CD contaning the testimony. There are no exhbits. Please contact me should you have any questions. Sincerely,ß~BradM.~~ ... f_ .. 1 Brad M. Purdy 2 Attorney at Law BarNo. 3472 3 2019 N. 17th St. 4 Boise,ID. 83702 (208) 384-1299 (Land) 5 (208) 384-8511 (Fax) bmpurdy(áhotmail.com 6 Attorney for Petitioner Communty Action Parnership 7 Association of Idaho 8 (" t: !"i;/ ~""" \ 2: 21 BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION 9 IN THE MA TIER OF THE APPLICATION 10 OF AVISTA CORPORATION FOR THEAUTHORITY TO INCREASE ITS RATES 11 AND CHARGES FOR ELECTRIC AND NATURAL GAS SERVICE TO ELECTRIC 12 AND NATURAL GAS CUSTOMERS IN THE STATE OF IDAHO. 13 14 15 ) CASE NO. A VU-E-09-01 ) AVU-G-09-01 ) ) ) ) ) ) ) 16 COMMUNITY ACTION PARTNERSHIP ASSOCIATION OF IDAHO DIRECT TESTIMONY OF TERIOTTENS17 18 19 20 21 22 23 24 25 DIRECT TESTIMONY OF TERI OTTENS 1 1 2 Q: 3 A: 4 5 Q: 6 A: 7 8 9 Q: 10 11 A: 12 13 14 15 Q: 16 A: 17 18 19 20 21 22 23 24 25 Q: I. INTRODUCTION Please state your name and business address. My name is Teri Ottens. I am the Policy Director of the Community Action Parnership Association ofIdaho headquaered at 5400 W. Franlin, Suite G, Boise, Idaho, 8 705. On whose behalf are you testifying in this proceeding? The Communty Action Parnership Association of Idaho ("CAP AI") Board ofD rectors asked me to present the views of an expert on, and advocate for, low income cust mers 0 AVISTA. Please describe CAP AI's organization and the fuctions it performs, relevant to i s involvement in this case. CAP AI is an association of Idaho's six Community Action Parerships, the Co unty Council of Idaho and the Canyon County Organization on Aging, Weatherization and Human Services, all dedicated to promoting self-sufficiency through removing th and conditions of poverty in Idaho's communities. What are the Community Action Parnerships? Community Action Parnerships ("CAPs") are private, nonprofit organizations th t fight poverty. Each CAP has a designated service area. Combining all CAPS, every c unty in Idaho is served. CAPS design their varous programs to meet the unque needs 0 communities located within their respective service areas. Not every CAP provi es all of the following services, but all work with people to promote and support increase self- suffciency. Programs provided by CAPS include: employment preparation and ispatch, education assistance child care, emergency food, senior independence and suppo , clothing, home weatherization, energy assistance, affordable housing, health car and much more. Have you testified before this Commission in other proceedings? DIRECT TESTIMONY OF TERI OTTENS 2 1 A: 2 3 4 Q: 5 A: 6 7 8 9 10 Q. 11 A. 12 13 A. 14 15 Q: 16 17 18 19 Q. 20 21 A. 22 23 24 25 Yes, I have testified on behalf of CAP AI in numerous cases involving PacifiCorp, Idaho Power Company, A VISTA, and United Water. II. SUMMARY Please sumarze your testimony in this case? The purose of CAP AI's involvement in this case is to seek assurance from A VISTA that it will take measures to support legislative action in the 2010 legislative session that wil eliminate any potential prohibition against allowing public electric utilties to voluntarly propose and, if approved by the Commission, implement low-income bil payment assistance programs for the Company's low-income customers. Are there any exhibits to your testimony in this case? No. III. RECOMMENDATIONS Please briefly describe the history behind CAP AI's efforts to seek the necessar legislative enactments to allow low-income bil payment assistance. By way of background, CAPAI has pursued changes to Idaho's Public Utilities Law for several years that removes prohibitions that have long been perceived to prohibit public utilities from implementing programs that assist their low-income customers in paying their bils. What actions have CAPAI and other stakeholders taken to achieve CAP AI's objective in this regard? Most recently, on September 29,2008, the Commission implemented Case No. GNR-U- 08-01 to provide a foru for the exploration of issues related to the affordability of energy in Idaho. The Commission noted that a varety of factors were, and continue to, contribute to upward pressure on electric and natural gas rates in Idaho. Consequently, energy affordabilty has become a central issue for many Idaho households and DIRECT TESTIMONY OF TERI OTTENS 3 1 2 3 4 5 6 7 8 9 Q. 10 11 A. 12 13 14 15 16 Q. 17 A. 18 19 20 21 Q. 22 23 A. 24 25 businesses, paricularly for low-income customers. As a result of the Commission's initiation of Case No. GNR-U-08-01, workshops were conducted in which all ofIdao's largest public utilties and numerous other staeholders, including CAP AI, contributed their respective perspectives on the issue of energy affordability and how best to address the problems Idahoans face. Pursuant to Commission directive, the Commission Staf ultimately prepared and submitted a report to the Commission identifying the many issues raised by workshop paricipants, the position taken by the paricipants, and Staff s specific recommendations regarding those issues. Was the possibility of pursuing legislative change to allow bil payment assistace addressed during the workshops and included in Staffs report? Yes. It is fair to say that bil payment assistance was one of the more thoroughly discussed issues and potential means for addressing energy affordability. Though not every workshop paricipant supported permitting bil payment assistance programs, Staff ultimately supported the idea, noting that it would require legislative action to remove the existing barier to implementing such programs. What is the "barier" you refer to? Curently, Idaho law prohibits utilities from setting rates or charges, or taking any action, that is preferential to any paricular customer or class. Because bil payment assistance programs would provide assistance to utilities' low-income customers and, argubly, would be preferentiaL. Exactly what legislative changes do CAP AI propose be implemented in order to pave the way for bil payment assistance programs? CAP AI proposed legislation that would possess the following characteristics. First, the Idaho Public Utilties Law would be amended to allow utilities to voluntaly propose programs that would assist their low-income customers in paying their bils. Second, the DIRECT TESTIMONY OF TERI OTTENS 4 1 2 3 4 5 6 7 Q. 8 9 A. 10 11 12 13 14 15 16 17 18 19 Q. 20 21 A. 22 23 24 25 design of any such proposed program would be within the discretion of the utilties. There would be no universal format or design and each utility would be allowed to desig programs that would best suit the needs of their respective companies and customers. Finally, any program proposed by a utility would be subject to Commission approval following a proceeding that would permit all members of the public to comment on the proposed program. Would a program such as you have described provide system-wide benefits that would be reaped by all ofa utility's customers and not just those who are low-income? Yes. Over the course of the past few years, CAP AI has been a party to numerous cases before this Commission, including rate cases for A VISTA, Idaho Power, Rocky Mountain Power, and United Water. In the process of its involvement in these cases, CAPAI has demonstrated that Idaho's public utilties incur substantial expense when a customer is disconnected for inability to pay and/or is often delinquent in paying their bil. These costs are not always recovered from the customer who is disconnected or is delinquent and, thus, the costs are passed on to all ratepayers. These costs include, among others, the costs of disconnection and reconnection, costs incured in attempting to collect from customers who are delinquent, legal costs of pursuing collection and, ultimately, costs of writing off bad debt. What was the Commission's reaction to the idea of seeking legislative change that would permit such programs? The Commission supported the concept of bil payment assistance programs. In Order No. 30724, issued in Case No. GNR-U-08-01 the Commission stated that is "supports legislation that would allow utilities to propose for Commission consideration programs, policies, and rates for the benefit oflow-income residential customers. The legislation should allow the utilties flexibilty in the programs to be proposed, recognizing that each DIRECT TESTIMONY OF TERI OTIENS 5 1 2 3 4 5 6 Q. 7 8 A. 9 10 Q. 11 12 A. 13 14 15 16 17 Q. 18 19 A. 20 21 22 23 24 Q. 25 utilty has differing circumstances and unique service areas. Details regarding the appropriate rate mechanism to support such programs can be discussed through future cases as they come before the Commission. The proposal of such programs should be voluntary on the par of the utility. The Commission urges all utilties to support such legislation, even if some do not intend to propose programs." Order No. 30724 at pp. 2-3. What action, if any, was ultimately taken to pursue change to the curent legislative regime to allow bil payment assistance? CAP AI drafted proposed legislation that contained the characteristics I have already described and that, CAPAI believes, conforms to the Commission's Order No. 30724.. Did A VISTA take a position on bil payment assistance and, if so, what was that position and did A VISTA take any action in support of that position? During the workshops conducted in Case No. GNR-U-08-01, AVISTA expressed support for the general concept of bil payment assistance programs noting that it already has such a program in place in the State of Washington which permits these programs. In fact, low-income assistance programs can be found in the States of Oregon, Utah, Montaa and Wyoming as well as many other States throughout the country. Did A VISTA offer a rationale other than solely assisting its low-income customers in support of bil payment assistance programs? Yes. A VISTA generally expressed its belief that such programs are beneficial from a purely business standpoint and, therefore, benefit all of the Company's customers. Ths rationale is based, in part, on avoiding the costs I referred to earlier regarding disconnections/reconnections of customers and having customers who are chronically delinquent in paying their bils. What action did AVISTA ultimately take in support of bil payment assistance? DIRECT TESTIMONY OF TERI OTTENS 6 1 A. 2 3 4 Q. 5 6 A. 7 8 9 10 11 12 13 14 15 Q. 16 A. 17 18 19 20 21 22 23 24 25 The Company lobbied in support of a low-income bil that was introduced in the Idaho Senate. Although the bil failed to pass on the Senate floor by a single vote, A VISTA made a genuine and commendable effort to seek its passage. If A VISTA supported bil payment assistance legislation in the most recent legislative session, what does CAP AI seek in this proceeding? CAP AI seeks a commitment from A VISTA that it wil continue to take all reasonable steps to seek the ultimate passage of bil payment assistance legislation. CAP AI urges A VISTA to commit not only to passively supporting legislation, but to assist in the education and awareness of all interested parties regarding how and why bil payment assistance programs offer more than assistance to exclusively low-income customers but also reduce system costs resulting in lower overall rates for all customers. CAP AI also seeks a commitment from AVISTA that if bil payment assistance legislation is introduced in the 2010 legislative session, A VISTA wil lobby in support of the legislation as it did in the 2009 session. Does this conclude your testimony? Yes, it does. DIRECT TESTIMONY OF TERI OTTENS 7 .i "i . ''" 1 2 CERTIFICATE OF SERVICE -I l, I HEREBY CERTIFY that on the J r day of May, 2009, I caused to be served on the individuals listed below, the foregoing document via electronic transmission and U.S. Postage.3 4 A VISTA Corporation Kelly Norwood PO Box 3727 Spokane, WA 99220-3727 Email: Kelly.norwoodrfavistacorp.com 5 6 7 8 David Meyer PO Box 3727 Spokane, WA 99220-3727 Email: david.meyerrfavistacorp.com9 10 Commission Staff: Don Howell Deputy Attorney General 472 W. Washington St. Boise,Id 83702 Don.howellrfpuc.idaho.gov 11 12 13 14 Idaho Forest Group, LLC: Dean J. Miler 420 W. Bannock St. Boise, ID 83702 joerfmcdevitt -miller .com 15 16 17 Scott Atkson 171 Highway 95 N. Grangevile, IDD 83530 scottarfidahoforestgroup.com 18 19 20 Clearater Paper Corporation: Conley E. Ward 601 W. Banock St. Boise,ID 83702 cewrfgivenspursley.com 21 22 23 Dennis E. Peseau, Ph.D. 1500 Liberty Street SE Suite 250 Salem, OR 97302 24 25 DIRECT TESTIMONY OF TERI OTTENS 8 :i.( l .- 1 dpeseaurfexcite.com 2 Idaho Conservation League: Betsy Bridge 710 N. Sixth Streeet Boise, ID 83702 bbridgerfwildidaho.org 3 4 5 Idaho Community Action Network: Roweena Pineda 3450 Hil Road Boise,ID 83703-4715 6 7 8 Carie Tracy 1265 S. Main St., #305 Seattle, W A 981449 10 l3OtS;~Brad M. Purdy ~ ·--11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 DIRECT TESTIMONY OF TERI OTTENS