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HomeMy WebLinkAbout20081219Comments.pdfZ 8= l 7 3450 Hil Road. Boise, 1083703. (208) 385-9146. fax (208) 336-8997 IDAHO FUBUÇ U . t; ~ r. ~~J1 ~... . .t~ l~. !,~~_i Re: CASE NO. GNR-U-08-1 The Idaho Community Action Network (lCAN) welcomes the initiative taken by the Idaho Public Utilities Commission to find solutions to the problems consumers in Idao are having paying utilty bils. The curent economic crisis has exacerbated a problem that ICAN has been working with the PUC to alleviate for years. As the Staff comments so clearly show, Idaho residents in many pars of the state have been strggling for some time to find living wage jobs that allow them to pay for housing, food, health care, and other necessities. Rising utilty costs are squeezing family budgets even farher than in the past. We are also very happy to see that the PUC Staffhas begun incorporating some of the recommendations in this case into the Idaho Power rate case. We support the Staff recommendation to increase the number, and size, ofIdaho Power's existing rate tiers. The changes proposed wil allow consumers at all income levels to tae control of their bils, as well as encouraging conservations. The Staff recommendations for Idaho Power to research the elimination of convenience fees and to develop ways to help customers strggling to meet the terms of their payment plans show the Staffs commitment to implementing the solutions we have talked about in the workshops for this case. All of the solutions discussed show great promise, and we support all of the policies under consideration. We have prioritized five policies that would make it substatially easier for low- and moderate-income utility customers to pay their utility bils. Our top five priorities are: 1. Creation of programs like Avista's Low-Income Rate Assistace Program (LlRA) by all Idaho utilities. This program, and others like it in other states, has been proven to make energy more affordable to low-income customers. ICAN wil support the necessar legislation to allow the PUC to adopt a LIRAP program. We urge the PUC and Idaho's utilties to support this legislation as welL. 2. Increasing Federal and State funding for the Low Income Home Energy Assistace Program (LIHEAP). Many ICAN leaders, and their neighbors, rely on the LIHEAP program each year. ICAN has supported legislation on both the State and Federal level to increase fuding for LIHAP, including the LIHEAP Weatherization program. We wil continue to support this legislation and urge the PUC and Idaho's utilities to support funding for the program in the State Legislature and in Congress, as well as exploring other sources of fuding that can be leveraged. 3. We strongly support increased funding for weatherization and energy efficiency education programs. Many low-income families live in housing that is inefficient, and have no ability to weatherize it on their own. Increasing the contribution of utility companies as part of their conservation measures, such as CAP AI's recommendations in the Idaho Power rate case, enables more families to live in energy efficient homes, which benefits both them and the utility companies. We are also in favor of expanding programs like the Idaho Power pilot project that wil provide weatherization assistance to familes above the 150 FPL income leveL. Many families with incomes above that level are also unable to weatherize their homes or keep up with utility bils. We are supportive of increased fuding for education programs, but our experience has shown that education alone is not enough - without funding for weatherition, many of the more effective measures are not possible. We urge the PUC to require utilty companies to increase their funding for both weatheriation and education progrs. 4. Eliminating payment charges. Many ICAN leaders have reported that payment charges are a serious barrier to affordabilty. Rural customers in paricular report that it is very diffcult to make timely payments without utilzing payment methods that incur these charges, especially since utility companies have reduced the number of locations at which customers can pay their bils. As the Staff notes, a growing number of customers are choosing these options, which results in lower cost of providing the service. We urge the PUC to eliminate these payment charges. 5. Eliminating deposit requirements. We support eliminating deposit policies by the utilty companies that stil require customers to provide deposits. Idaho Power has successfully eliminated deposits, concluding that they are not cost-effective. They are, however, very effective at preventing low- income customers from accessing utilty services. We urge the PUC to change the Utilty Customer Relations Rules (UCRR) to end the practice of requiring customers to provide deposits. While these five policies are our highest priorities, ICAN also supports other policy changes: Reduced rates for low-income people: While we understad the Staffs concerns about the diffculty of implementing these programs, we continue to support researching ways to implement them here in Idaho. Similar programs have worked in many sttes, including Washington. We are confident that the PUC and the utilty companies could make similar progrs work here. Tiered rates: We strongly support the Staff recommendation to change the Idaho Power rate structue to include a third tier, and increasing the size of the first and second tiers. We also strongly support making this change in future rate cases initiated by Idaho's other regulated utilties. Pairng this rate structure with increased fuding for weatherization, including funding for customers who do not qualify for LIHEAP weatheriation fuding, wil provide relief for many low- and moderate-income customers. Allow customers additional time to payoff arearages: ICAN strongly supports action by the PUC to require utilities to create extended arrearage payment plans. We wil paricipate in future workshops to study this issue and identify ways for utility companies to make more flexible arangements. We urge the PUC to make these policies mandatory by incorporating them in changes to the Utility Customer Relations Rules (UCRR). Percentage of Payment Income plan: ICAN recognizes the diffculties that the Staff points out in , implementing percentage of income payment plans. These programs have been very successful in other : states, and we support continued research and discussion of ways to implement similar policies in Idaho. . Reducing or eliminating réconnection fees and interest assessed on late payments: We support eliminating reconnection charges and interest assessed on late payments. These create even larger bariers for families who are already having diffculty, and are counter-productive to our shared goal of ensuring that families are able to pay bils on time. We also urge the PUC to incorporate these changes in the Utilty Customer Relations Rules (UCRR). Allow Installment Payments on Pror bils: We support this policy recommendation, but urge the PUC to make this policy par of the Utilty Customer Relations Rules (UCRR), rather than relying on the utilities to voluntarily adopt the policy. We are also concerned that the policy would be restricted to "lower risk applicants." Utilty companies are much more likely to consider low-income customers to be "high risk," so the customers most in need of the assistace would be the least likely to benefit from it. Arearage forgiveness plans: ICAN strongly supports implementing arearage forgiveness plans at all Idaho utilties. These programs have shown that everyone benefits, from the utilties and the customers who are directly affected, to other customers who benefit from lowered utility administrative costs. We urge the PUC to include this policy in changes to the Utilty Customer Relations Rules (UCRR). Case management: We support the proposal that utilty companies invest in case management programs. Sincerely, Rowena Pineda Executive Director