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HomeMy WebLinkAbout20100805Teri Ottens Direct Testimony.pdf.. Brad M. Purdy 1 Attorney at Law BarNo. 3472 2 2019 N. 17th St. 3 Boise,ID. 83702 (208) 384-1299 (Laid) 4 (208) 384-8511 (Fax) bmpurdy(áhotmaìl.com 5 Attorney for Petitioner Community Action Partnership 6 Association of Idaho 7 RECE LDIO AUG -5 PM 3= 12 tDß~iriC) UTILITIES 8 BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION IN THE MATTER OF THE APPLICATION 9 OF AVISTACORPORATIONDBAAVISTAUTILITIES FOR AUTHORITY TO 10 INCREASE ITS RATES AND CHARGES FOR ELECTRIC AND NATURAL GAS SERVICE 11 IN IDAHO. 12 13 ) ) CASE NO. AVU-E-1O-01 ) CASE NO. AVU-G..10-01 ) ) ) ) 14 COMMUNITY ACTION PARTNERSHIP ASSOCIATION OF IDAHO DIRECT TESTIMONY OF TERIOTTENS15 16 17 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 10 11 12 Q: 13 14 A: 15 16 17 18 Q: 19 A: 20 21 22 23 24 25 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 of Idaho headquarered at 5400 W. Franklin,SuiteG, Boise, Idaho, 83705. On whose belialfare.you testifying in this proceeding? The Community Action Parership Association ofIdaho ("CAPAI") Board of Directors asked me to present the views of an expert on, and advocate for, low income customers 0 A VISTA Corporation (AVISTA). CAP AI's paricipation in this proceeding reflects our organization's view that low income people are an important par of AVISTA's customer base, and that these customers would be significantly impacted by the proposed changes to the Company's electric service schedules, as originally fied. Please describe CAP AI's organization and the functions it performs, relevant to its involvement in this case. CAPAI is an association of Idaho's six. Community Action Parnetships, the Community Council of Idaho and the Canyon County Organization on Aging, Weatherization and Human Services, all dedicated to promoting self-sufficiency through removing the causes and conditions of poverty in Idaho's communities. What are the Community Action Parnerships? Community Action Partnerships ("CAPs") are private, nonptofit organizations that fight poverty. Each CAP håsadesignated service area. Combining all CAPS, every county in Idaho is served. CAPS design their various programs to meet the unique needs of communities located. within their respective service areas. Notevery CAP provides.all.of the following services, but all work with people to ptomote and support increased self- sufficiency. Ptogramsprovided by CAPS include:.employment preparation and dispatch, education assistance, child care, emergency food, senior independence and support, DIRECT TESTIMONY OF TERI OTTENS 2 1 2 3 Q: 4 A: 5 6 7 8 Q: 9 A: 10 11 12 13 Q. 14 A. 15 16 A. 17 Q: 18 A: 19 20 21 Q: 22 A: 23 24 25 II. SUMMARY Please sumarize your testimony in this case? The purpose of CAPAI's testimony in this case is to support the negotiated settlement stipulation previously filed with the Commission. . The details of CAP AI's recommendations, which are incorporated into the stipulatiönand agreed to by all signatories, are setforth in the following section. Are there any exhibits to your testimony in this case? No, other than that I incorporate by reference the Settlement Stipulation. III. BACKGROUNDIRCOMMENDATIONS Background By way of background, why has CAP AI intervened in this particular proceeding? CAP Al is concerned that the cQinbinedproposed increases in fees and rates. wil add to the already heavy energy cost burden that low income familes in Idaho face, particularly in these difficult economic times. Can you provide poverty statistics for Idaho? According to the Idaho Deparment of Commerce, 12.6% öfthe State's population, when using the 2006 Census data, falls within federal poverty guidelines and an additional 12.4% fall within the state guidelines set at 150% of poverty levels. The 2006 Census DIRCT TESTIMONY OF TERIOTTENS 3 1 2 3 Q: 4 A: 5 6 7 8 9 10 11 B. 12 Q. 13 14 A. 15 16 17 18 19 Q. 20 A. 21 22 23 24 Q. reveals that those living in poverty are categorized as 8.7% elderly, 15.1 % children, 9.8% all other families, 28.5% single mothers and 26.4% all others. How does this translate to energy."affordability?" Accordihgto the U.S. Deparment of Energy, the "affordabilityburden" for total home energy is set nationwide at 6%öf gross household income and the burden for hoine heating is set at2% ofgtoss household income. In Idåhö, there was a gap in the 2008/2009 heåting season of over $75 milion between what Idahoans can afford to pay (based on fedetal stadards) for energy and what was actually paid. Currently, the LIHEAP program sends approximately $25.6 millon (for energy assistance, weatherization and administration) to Idaho. Settlement Stipulation Would you please provide an overall sumary of the settlement reached by the parties in this case? Yes. Unless otherwise stated, my comments are limited to AVISTA's operations related to the provision of electric, not gas, service. Generally speaking, the Stipulation does not attempt to address, let alone resolve, every aspect of AVISTA's rate case filing. Rather, it constitutes an agreement on the overall revenue requirement increase, revenue allocation among customer classes, certain rate design and other miscellaneous issues. What are the specific terms of the settlement as they affect CAPAI's interests? First, the Stipulation provides for al increase to the Company's revenue requirement of $21.25 milion anuallyl (electric revenue; gas is al additional$l.85 million), phased-in overapetiodofthtee(3) years. All signatories to the Stipulation agreethat it is in the overall best interest of the Company's general body of ratepayers. Did CAP AI actively paricipate in this proceeding? 25 1 An increase of 9.25% compared to the 14% originally proposed by AVISTA. DIRECT TESTIMONY OF TERI OTTENS 4 1 A. 2 3 4 5 Q. 6 7 A. 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 Yes, beginning with athotoughreviewofthefiling itselfto becoming.a formal party and, ultimately, to successfully negotiating asettlement, filing this testimony and paricipating in the technical hearing to be conducted in this case, CAPAI has exercised all of its rights and responsibilities as afull aid formål pary. Wil you please identify those additional components of the settlement that were of paricular concern and relevance to CAPAI? Yes. First, CAP AI believes that A VISTA's first tier block consumption (600 Kwh) for its residential rate schedule, is less than the actual monthly non-discretionary usage by residential customers, including consumption for electric space heating. Absent additional information and analysis, CAPAI.is not yet prepared to recommend a specific level of consumption that should constitute AVISTA's firsttier block for its residential rates. As the settlement Stipulation states, a futue collaborationwil be conducted between CAPAI and AVISTA and all other interested persons. CAPAI naturally values. the fact that AVISTA has agreed toa reduction in the amount of revenue requirement increase from the originally tequested 14.0% to 9.25%. Furthermore, the "rate mitigation" aspect by which the increase will be phased-in over three years somewhat alleviates what would otherwise be a rate shock were the full amount of the increase to go into effect immediately. CAPAI also. notes that the level of increase to the fixed monthly charge (an increase from $4.60 to$5.00)wiI be considerably less than originally proposed. CAP AI believes that, although not enough to completely satisfy the existing need, the Company's agreement to increase the annual low-income weatherization program funding level from $465,000.00 to $700,000.00 is a sizeable increase. Also, the continued fuding of the low-income outreach conservation and education program in the amount of $40,000.00 provides benefits to LIHEAP recipients. DIRECT TESTIMONY OF TERI OTTENS 5 1 2 3 4 5 6 7 Q. 8 9 A. 10 11 12 13 14 Q. 15 A. 16 17 18 19 20 21 22 23 24 Q: 25 A: CAPAI notes thatthere.iscurentlyunderway a collaborative process the objective of which, among other things, is to determine the need for and availabilty of resources to adequately satisfy the need for additional low-income weatherization fuding. CAPAlcommends AVISTA for being an integral part ofthat collaborative åUd wil continue to work with the Company at every opportunity to ensure that it takes into consideration the needs of its low-income Idaho customers. Is there anything else YOu wish to add to your assessment of the settlement proposed for approval in this case? Yes. Like åUy settlement of a contested mattet, all pårties represented their respective constituents' specific interests and perspectives. Obviously, there are many issues on which the paries disagree with the Company and, with each other. Havingsaidthat, it is CAP AI's position that the settlement Stipulation .reflects the best result that could be reasonably expected within the context and circumstances of this paricular proceeding. Does CAP AI have any paricular goals for the future regarding AVISTA? Yes. CAPAI hopes thåtAVISTAcontinues to demonstrate concern for its low-income customers in Idaho not only through adequate fuding of its low-income weatherization program, but also through support of other reasonable efforts to assist low-income customers and,therefore,thegeneral body of AVISTA's ratepayers. Though it is unreasonable to expect that CAPAI and A VIST A will always be in agreement on every issue and that every rate case in the future wil be settled, CAP AI commends AVIST A for its effort and compromise to reach settlement of CAP AI's issues of concern in this case. V. CONCLUSION Does that conclude your testimony? Yes it does. DIRECT TESTIMONY OF TERIOTTENS 6 1 CERTIFICATE OF SERVICE') ç; ) I, the undersgneq, herebycelfYtbtö"th~ . .. daY of Ai7í~( . .....i, 2010, ¡serVed a copy of the foregoing document on the following by U.S. mail, first class postage and electronic maiL. 2 3 4 Kelly Norwood A vista Corporation PO Box 3727 Spokane, VV A 99220-3727 5 6 7 David Meyer AvistaCorporation PO Box 3727 Spokane, VV A 99229-37278 9 Donald L. Howell, II Kristine A. Sasser Idaho Public Utilities Commission 472 W. Washington St. Boise, ID 83702 10 11 12 13 Peter 1. Richardson Greg M. Adams 515 N. 27th St. PO Box 7218 Boise, ID 83702 14 15 16 Howard Ray PO Box 1126 Lewiston, ID 8350117 18 DeanJ. Mìler 420 W. Banock St. Boise, ID 8370219 20 Larr A. Crowley 5549 S. Cliffsedge Ave. Boise, ID8371621 22 23 Rowena Pineda 3450 Hìl Rd. Boise, ID 83703.4715 24 LeeAnHall 25 3518 S. Edmunds St. DIRECT TESTIMONY OF TERI OTTENS 7 1 Seattle, WA 98118 Benjamin J. Otto 710 N. Sixth St. Boise, ID 837022 3 Ken Miler PO Box 1731 Boise, ID 83701 4 5 Rob Pluid 6 PO Box 571 Moyie Springs, ID 83845 7 8 Chris Fairchild PO Box 571 Moyie Springs, ID 838459 10 Electronic Only: Jean Jewell Commission Secreta Idaho Public Utilities Commission J ean.jewellCÐpucOidaho. gov 11 12 13 fh DATED, this L day of it '9 115114 15 16 17 18 19 20 21 22 23 24 25 DIRECT TESTIMONY OF TERIOTTENS ,2010 ~-~.".."'.,~ . -~;r~~~'" Brad M. Purdy . ~...,....J '" ..'\ 8