HomeMy WebLinkAbout20100802Comments on Stipulation and Settlement.pdfBenjamin Otto
ISB No. 8292
710 N 6th Street
PO Box 844
Boise,ID 83701
Ph: (208) 345-6933 x 12
Fax: (208) 344-0344
botto~idahoconservation .org
RECEIVED
2016 AUG -2 PH 4: 36
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Attorney for Idao Conservtion Legue
BEFORE TH IDAHO PUBLIC UTITIES COMMISSION
IN THE MATTER OF THE APPLICATION
OF AVISTA CORPORATION DBA AVISTA
UTILIES FOR AUTHORITY TO INCREASE
ITS RATES AND CHARGES FOR ELECTRIC
AND NATURAL GAS SERVICE IN IDAHO
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CASE NO. AVU-E-1O-01
A VU -G-lO-Q 1
COMMENTS ON TH STIPUlATION AND SETTMENT
COMES NOW Idao Conservtion League (((ICL") with the followig comments
regardig the proposed Stipulation and Settlement. Whle ICL signed the stipulation and
appreciates the effort and compromises that are contained therein, we offer the followig
comments on some specific provisions.
Prudency of DSM Spending for 2008 and 2009
The stipulation deems prudent Avista's DSM spendig for 2008 and 2009. ICL accepts
this provision with the understandig that future DSM reviews wil be more robust. Mr. Folsom's
testimony describes an effort curently underway in Washington to devise a more robust
evaluation, measurement, and verification report for Avista's DSM portfolio. Folsom at 14-18.
We look forward to reviewig the results of both this effort, and the DSM evaluations that arse
from it, to furher improve the Company's DSM portfolio.
ICL COMMENTS ON STIPULATION 1 August 2, 2010
DSM spndig continues to outpace the funds generated by Avita's curent Energy
Efficiency Tarff Rider. On the electric side, the unrecovered back balance for Idao now stands
at $2,008,944. Folsom at 18. Whe progr paricipation continues to exceed estimates, the
company expects the curent tarf rider to fully fund DSM progrs and retire the back balance.
¡d., at 9, 18-20. ICL is concerned that the curent tarff rider wi not provide sufficient funds to
both retire this balance and maitai the solid gais in effciency made over the past few years. As
DSM progr spndig continues to rise, and continues to be the most cost effective means to
meet energy demand, ICL encourges the Company and the Commission to pursue a more
sustaiable funding mechanism. Ths may include movig some of the more robus and verifiable
progrs into rates and out of tarff fundig.
Rate Design and Cost of Servce
leL is encourged the paries commit to holdig a public workshop to discuss and resolve
issues with a revised cost of servce model and residential rate design. Ths stipulation changes one
aspect of the previous cost of servce model by allocating 100% of trsmission costs to demand.
Wh.e ICL accepts this for the purses of this case, we look forward to the opportunity to fuly
analyze this issue.
Turing to rate design, the stipulation includes an increase in the residential basic chage
of $0.40. Avista asked to increas the basic charge by $2.15. In the absence of a revenue
decoupling mechaism, ICL supports increasing the monthly cusomer chae to retur more of
the entire fixed cost. We believe that separating fixed cost recovery from volumetric sales is
critical to ensurg utilties wi actively pursue all cost effective energy efficiency whie
maitaiing acceptable levels of cost recovery risk. However, we also acknowledge that increasing
the customer chare may not send the appropriate price signals to reduce energy consumption. In
ICL COMMENTS ON STIPULATION 2 August 2, 2010
the upcoming rate design workshop the paries commit to in this stipulation, ICL believes the issue
of fixed cost recovery must be addressd.
The residential rate design is based on a first block of 600 kwh and a higher chare for use
above this leveL. ICL believes the size of this block needs to be more fully analyzed to determine if
it captures an appropriate basic level of energy consumption. bur ultimate goal is to reduce
overall energy consumption whie maintaining comfort and servces. But ICL is concerned about
sendig price signals that fal disproportionately on low income, high electric us customers. We
are encouraged the Company committed to increasing fundig for low-income weatheriation
and education programs. We believe that when sending price signals, the Company, interested
paries, and the Commission must work together to help people access the resources to actualy
respond to these signals. In the upcoming workshop the paries commit to in this stipulation, ICL
believes all paries should explore options for increasing the access to capital for residential
customers who wish to make energ efficiency investments.
In closing, we appreciate the effort and concessions made by all sides to reach this
agreement. We look forward to a more robust discusion of future DSM programs, a resed cost
of servce methodology, and rate design issues. With those caveats, ICL supports the proposed
Stipulation and Settlement.
DATED this 2nd day of Augt 2010.
Respectfuly submitted,~6?
Benjamin J. Otto
Idaho Conservtion League
ICL COMMENTS ON STIPULATION 3 Augut 2,2010
CERTIFICATE OF SERVICE
I hereQY certif that on this 2nd day of Augt, 2010, true and correct copies of the
foregoing COMMENTS ON THE STIPUlATION AND SETTLMENT were delivered to the
following persons via the method of servce noted:
Hand delivery
Jean Jewell
Commission Secretary
(Original and nine copies)
Idao Public Utilties Commision
427 W. Washigton St.
Boise, ID 83702-5983
Boise, ID 83716
crowleyla~aoLcom
Brad M. Purdy
Attorney at Law
2019 N 17 TH ST
Bois ID 83702
bmpurd~hotmai.com
Electronic Mai:
David Meyer
Kelly Norwood
A vista Corpration
PO Box 3727
Spokane, WA 99220-3727
davidmeye~avistacorp.com
kelly.norwood~avistacorp.com
Rowena Pineda
Idao Community Action Netwrok
3450 Hil Rd.
Boise,ID 83703-4715
Rowena~idaocan.org
Donald L. Howell, II
Kristine A. Sassr
Idao Public Utilties Commission
472 W. Washigton St.
Boise,lD 83702
LeeAnn Hal
3518 S. Edmunds St.
Seattle, WA 98118
leann~nwfco.org
Ken Miler
PO Box 1731
Boise,lD 83701
kmile~snakeriveraiance.org
Peter J. Richardsn
Greg M. Adas
515 N. 27th St.
PO Box 7218
Boise, ID 83702
Pete~richadsonandolear.com
greg(richardsonandolear .com
Rob Pluid
North Idao Energ Logs
PO Box 571
Moyie Springs, ID 83845
energyogs~gmai.com
Howard Ray
PO Box 1126
Lewiston, ID 83501
howard.ra~clearaterpaper .com
Clark Faichid
PO Box 571
Moyie Sprigs, ID 83845
Energogs~gmai.com
Dean J. Miler
420 W. Bannock St.
Boise, ID 83702
ioe~mcdevitt -miler. com
TOM OXFORD
SECRETARY TREASURER
NORTH IDAHO ENERGY LOGS
oxford~meadowcrk.com
Larr A. Crowley
5549 S. Cliffsedge Ave.
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Benjamin J. Otto
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ICL COMMENTS ON STIPULATION 4 August 2, 2010