HomeMy WebLinkAbout20200514Comments.pdfGNR-U-20-03
ICL’S COMMENTS 1 May 14, 2020
Benjamin J. Otto (ISB No. 8292)
710 N 6th Street
Boise, ID 83701
Ph: (208) 345-6933 x 12
Fax: (208) 344-0344
botto@idahoconservation.org
Attorney for the Idaho Conservation League
BEFORE THE IDAHO PUBLIC UTILITIES COMMISSION
IN THE MATTER OF DEFERRED
ACCOUNTING OF INCREMENTAL
COSTS ASSOCIATED WITH THE
COVID-19 PUBLIC HEALTH
EMERGENCY.
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CASE NO. GNR-U-20-03
IDAHO CONSERVATION LEAGUE
COMMENTS
The Idaho Conservation League (ICL) submits the following comments regarding
accounting methods and policy considerations for the Commission to consider. Like many Idaho
businesses, ICL has experienced unexpected economic and workplace impacts in order to
comply with the Governor Little’s Stay Home and subsequent Stay Healthy orders. We strongly
support the Idaho Government’s efforts to protect public health during this pandemic. And we
appreciate the Idaho utilities who have taken proactive measures to help their customers maintain
access to affordable, reliable utility services. In these comments, ICL recommends the
Commission:
• Provide clear guidance to utilities to continue suspending disconnections and fees
for a time-period aligned to the public health and economic conditions, rather than
any specific date.
• Encourage utilities to streamline access to customer assistance and conservation
programs, and work with stakeholders to leverage non-utility dollars to support
these programs.
RECEIVED
2020 May 14, AM 4:08
IDAHO PUBLIC
UTILITIES COMMISSION
GNR-U-20-03
ICL’S COMMENTS 2 May 14, 2020
• Distinguish between costs incurred due to maintain customer access to service
and potential impacts to overall revenues due to changed sales.
• Begin developing methods to enable utilities to recoup prudently incurred
expenses through low cost financing options, such as the Energy Cost Recovery
Bonds in Idaho Code §61-1501 – §61-1508.
Continue No-Disconnect and No-Fee Policies
Governor Little’s Stay Safe order is attempting to reopen business activity in the state.
ICL’s assessment of the public health situation, in particular the lack of adequate testing capacity
and an effective vaccine, is that Idahoans should expect this process to extend for several more
months. For example, the Idaho Press published an article May 13th where officials with St.
Luke’s and St Alphonsus comment on the likely continual increase of COVID-19 cases in Idaho,
the severity of the illness, the ongoing risk of overwhelming Idaho’s medical resources, and the
expectation that vaccine development is a long way off.1 Further, many Idahoans face tough
financial situations, a fact recognized by the utilities here. Boise State Public Radio reports that
a Fitch Ratings poll concluded 14% of Idaho workers filed for unemployment during the last
week of April.2 Out of work Idahoans continue to experience significant delays accessing
assistance from the Idaho Department of Labor.3 The need for utilities to continue to suspend
1 Nampa health care official answer common COVID-19 questions, Erin Bamer, Idaho Press, published May 13,
2020. Available here: https://www.idahopress.com/coronavirus/nampa-health-care-officials-answer-common-covid-
19-questions/article_f54cf45f-a931-5c1b-8479-bc46e5487631.html
2 Fitch Ratings: 14.1% of Idaho Workforce is Unemployed, Troy Oppie, Boise State Public Radio, published May 8,
2020. Available at: https://www.boisestatepublicradio.org/post/fitch-ratings-141-idaho-workforce-
unemployed#stream/0
3 Unemployed in Idaho and wondering: What’s next? Scott Logan, Idaho News CBS2, published on May 13, 2020.
Available here: https://idahonews.com/news/coronavirus/unemployed-in-idaho-and-wondering-whats-next
GNR-U-20-03
ICL’S COMMENTS 3 May 14, 2020
disconnections, waive fees, and incur direct expenses to ensure the protection of essential utility
workers will persist for months as we all navigate the ongoing public health crisis.
We recommend the Commission Order in this case set forth clear guidelines for utilities
to continue the current practice of suspending disconnections and waiving fees for a time period
that is tied to the public health and economic situation faced by Idahoans, and not choose some
arbitrary date to end these compassionate practices.
Streamline Eligibility and Increase Bill Assistance and Conservation Programs Funding
To account for the impacts Idahoans face during the public health and economic crisis,
ICL also urges the Commission to use this order to direct utilities to facilitate greater customer
access to bill assistance and conservation programs. ICL supports additional accounting
treatment to track any expenses related to these activities. As customers continue to stay home to
stay healthy and continue to experience their own economic impacts, it is more important than
ever to ensure Idahoans can keep the lights on and the water flowing while being able to feed
their families. For example, the Commission could direct utilities to streamline qualifications for
assistance programs so that Idahoans who get public assistance of any kind are automatically
eligible for utility sponsored programs. Another example is the Commission could encourage
utilities to partner with the Community Action Partnership Association of Idaho, and use the
utilities’ considerable lobbying power to address continued delays in the state’s distribution of
federal funding for energy assistance programs. ICL recognizes that accessing homes and
business to provide conservation programs is problematic. We encourage the utilities to continue
efforts to provide low cost tips by partnering with media channels and community partners, and
increase distributions of energy saving devices by mail to help Idahoans keep energy bills
affordable.
GNR-U-20-03
ICL’S COMMENTS 4 May 14, 2020
Distinguish Between Costs Incurred to Continue Customer Access and Revenue Impacts
Related to Changed Sales
Another issue of equity between utilities and customers is whether the Commission
should include accounting for potential impacts from reduced sales, as requested by Avista and
Idaho Power. The financial impacts to utilities from suspending disconnections and fees that
arise from ensuring customers can maintain access to essential services is distinct from any
potential impact of reduced sales. Fluctuations in sales is a normal business risk faced by the
utilities every day as weather, economic activity, and commodity prices diverge from forecasts
used to set rates. While revenues may not match forecasts used to set rates, expenses may also
diverge from rate case assumptions due to very low wholesale energy process, natural gas prices,
and potentially lower costs of service due to flatter load profiles associated with changed use
profiles. At the very least, if the Commission does allow for tracking of reduced revenue sales,
the Commission should require accounting for differences in the cost of service. In the
alternative to tracking costs and revenues through a special accounting order, the Commission
could rely on establish rate mechanisms, such as the power cost and fixed cost adjustments
mechanisms, in place at some utilities, designed to account for deviations from forecasts.
It is in the public interest for the Commission to carefully balance the equities between
utilities and customers. No Idaho family or business has the ability to recoup forgone revenue
from reduced sales or wages, even those deemed essential by Governor Little’s recent orders.
Further, it is not at all clear what the scale of impact to overall utility revenues will be due to
changed sales. ICL notes that Idaho Power reported on April 30, 2020 that despite the
“headwinds” related to COVID-19 “IDACORP still recorded its second-highest first quarter
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ICL’S COMMENTS 5 May 14, 2020
earnings per share in nearly 20 years” and affirmed the full year earnings guidance.4 While this is
just one utility example, ICL notes that impacts of changed sales, changed costs, and various rate
tracking mechanisms means this issue is unique to each utility and therefore is not appropriate to
resolve in the generic docket.
To appropriately balance equity between utility and customers, ICL recommends the
Commission carefully distinguish between costs incurred to maintain customer access to services
and the overall revenue impacts of changed utility sales. For those utilities that do not have
commodity or fixed cost tracking mechanisms, we urge the Commission to begin working with
these utilities to develop them.
Begin Developing Low-Cost Financing for Recovery of Prudent Expenses
ICL acknowledges the costs incurred by Idaho utilities to maintain service while some
customers are unable to pay can become significant. We recommend the Commission begin
considering novel methods to allow utilities to recoup these costs while mitigating impacts to
utility customers. For example, Avista proposes to track expenses for uncollectable accounts and
not accrue interest on the unamortized balances.5 Because publicly traded companies have access
to historically large amounts of low-cost capital as part of the Federal Reserve’s recent actions,
ICL urges the Commission to apply Avista’s proposal to all utilities and not charge customers
interest on these accounts. This treatment appropriately balances the equity between utilities and
customers by signaling to utilities and shareholders these expenses will eventually be recouped,
but not compounding the problem by charging customers interest. Also, when it comes time to
recover these prudently incurred expenses, ICL urges the Commission to consider long
4 IDACORP First Quarter 2020 Results press release, available at:
https://www.idacorpinc.com/~/media/Files/I/IDACorp/press-release/20200430er.pdf
5 Avista Application at 4.
GNR-U-20-03
ICL’S COMMENTS 6 May 14, 2020
amortization periods and using low-cost capital products to mitigate the rate impact to Idahoans.
To achieve this, ICL recommends the Commission and Idaho utilities consider using the Energy
Cost Recovery Bond process in Idaho Code 61-1501 – 61-1508.
Conclusion
ICL reiterates our appreciation to the Commission and Idaho utilities for ensuring
Idahoans’ continued access to reliable utility services. We recommend the Commission:
• Provide clear guidance to utilities to continue suspending disconnections and fees
for a time-period aligned to the public health and economic conditions, rather than
any specific date.
• Encourage utilities to streamline access to customer assistance and conservation
programs, and work with stakeholders to leverage non-utility dollars to support
these programs.
• Distinguish between costs incurred due to maintain customer access to service
and potential impacts to overall revenues due to changed sales.
• Begin developing methods to enable utilities to recoup prudently incurred
expenses through low cost financing options, such as the Energy Cost Recovery
Bonds in Idaho Code §61-1501 – §61-1508.
Respectfully submitted this 14th day of May 2020
____/s/ Benjamin J. Otto_____
Benjamin J. Otto
Idaho Conservation League
GNR-U-20-03
ICL’S COMMENTS 7 May 14, 2020
CERTIFICATE OF SERVICE
I hereby certify that on this 14th day of May, 2020, I delivered true and correct copies of
the foregoing COMMENTS to the following persons via the method of service noted:
____/s/ Benjamin J. Otto_____
Electronic mail only (See Order 34602):
Idaho Public Utilities Commission
Diane Hanian, Secretary
secretary@puc.idaho.gov
Avista Utilities
David J. Meyer
Patrick Ehrbar
David.meyer@avistacorp.com
Patrick.ehrbar@avistacorp.com
Idaho Power
Lisa D. Nordstrom
Matt Larkin
lnordstrom@idahopower.com
mlarkin@idahopower.com
dockets@idahopower.com
Rocky Mountain Power
Ted Weston
Ted.weston@pacificorp.com
adam@mrg-law.com
Jacob.mcdermott@pacificorp.com
Emily.wegener@pacificorp.com
datarequests@pacificorp.com
Falls Water Company/Gem State Water
Company
Preston N. Carter
Givens Pursley, LLP
prestoncarter@givenspursley.com
kendrah@givenspursley.com
Eric W. Nelson, NW Natural
Eric.nelson@nwnatural
Industrial Customers of Idaho Power
Peter J. Richardson, Richardson Adams
PLLC
peter@richardsonadams.com
Dr. Don Reading
dreading@mindspring.com
Monsanto Company
James R. Smith, Monsanto
Jim.smith1@bayer.com
Randle C. Budge, Racine Olson PLLP
randy@racineolsen.com
Thomas J. Budge, Racine Olson, PLLP
tj@racinecolson.com
Brian C. Collins, Brubaker & Associates
bcollins@consultbai.com
Maurice Brubaker, Brubaker & Associates
mbrubaker@consultbai.com
Suez Water Idaho, Inc
Michael C. Creamer
Preston N. Carter
Givens Pursley, LLP
mcc@givenspursley.com
prestoncarter@givenspursley.com
kendrah@givenspursley.com
Marshall Thompson
SUEZ Water Idaho Inc.
marshall.thompson@suez.com
Intermountain Gas Company
Preston N. Carter
Givens Pursley, LLP
prestoncarter@givenspursley.com
kendrah@givenspursley.com
Lori Blattner
Intermountain Gas
Lori.blattner@intgas.com