HomeMy WebLinkAbout20200707Comments.pdfIDAHO
CONSERVATION
LEAGUE
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Commissioners Kj ellander, Raper, and Anderson luly 7,2020
The Idaho Conservation League ("ICL") submits the following comments on the Joint
Plan to Resume Normal Collection and Disconnection Activity by Large Idaho Utilities. For the
reasons detailed below, ICL recommends the Commission reject this plan and instead issue an
Order in GNR-U-20-03, directing the utilities to engage with customer stakeholders to devise a
public plan that will account for the utilities concern about unpaid bills in a fair, equitable, and
transparent way that acknowledges the unprecedented public health and economic circumstances
in Idaho today.
Idaho has one of the fastest growing rates of new COVID cases in the United States.
Between June 30, 2020 and July 7, 2020 ldaho added 1,993 COVID-19 cases with the total now
surpassing 8,000 cases statewide.l On July 5, 2020 the Idaho Department of Labor reported new
unemployment claims jumped 260/oto about 5,500 an increase of about 1,100 new claims from
the week before.2 The data clearly establishes that Idaho's public health and economic situation
is worse than it was in March and will continue to decline over the next several weeks.
Meanwhile, July and August, historically, are the hottest months of the year.
In response to this surge of new COVID cases and unemployment claims, Idaho's large
utilities, Avista, Idaho Power, lntermountain Gas, and Rocky Mountain Power ("Idaho
Utilities"), in consultation with the PUC Staff, propose to resume normal collection practices and
begin disconnections for unpaid bills. ICL strongly opposes this plan for three reasons and urges
t https://www.idahostatesman.com/news/coronavirus/article244037217.html
2 https://idahobusinessreview.corn/2020/07/05/new'-idaho-unemployrnent-claims-jump-26-to-5500/
ICL Comment
Joint Utility Plan to Resume Normal Disconnects
July 7,2020
the Commission to acknowledge the unprecedented public health and economic crisis facing
Idahoans and reject this inadequate plan.
First, ICL opposes this plan because the utilities developed it outside of the GNR-U-20-
03 docket and without any public participation. ICL notes this item appears on the
Commission's Decision Meeting Agenda as a "Matter in Progress" although this is the first
public notice of this plan. According to the plan, the utilities, "[a]t the request of the Commission
Staff . . . prepared a Joint Plan to outline proposed next steps under which the ldaho Utilities may
resume collection and disconnection activities."3 However, the utilities filed this plan outside of
any open Commission docket, including GNR-U-20-03 - a docket specifically opened to account
for COVID related economic impacts, including collection and disconnection activities. ICL is a
party to that docket but has never been notified by any utility or PUC Staffthat some of the
parties to that case had begun a process to determine when and how to restart disconnections.
Further, ICL spoke directly with the Community Action Partrership Association of Idaho, who
likewise reported that neither the Idaho Utilities nor the PUC Staffhad communicated anything
with regard to the Idaho Utilities resuming collections and disconnections, despite having
worked closely with the Idaho Utilities and PUC Staff on disconnection issues for years. ICL
recommends the Commission reject this plan on a procedural basis because it excluded public
participation and input. Further, ICL recommends the Commission order the ldaho Utilities and
PUC Staffto engage with customer representatives to develop a more equitable plan through the
open docket GNR-U-20-03.
Second, based on the public health and economic data above, restarting collections and
disconnects ignores the reality Idahoans are facing. Placing struggling Idahoans further into
stressful situations and potentially disconnecting customers during the summer air conditioning
season is callous and unwarranted. The expected long-term public health and economic impact of
this global pandemic is why ICL recommended in GNR-U-20-03 that "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 economic situation faced by
Idahoans, and not choose some arbitrary date to end these compassionate practices."a We
3 Joint Plan to Resume Normal Collection and Disconnection Activity by Large ldaho Utilities, filed as an
attachment to a Decision Memo by Terri Carlock,(Jlly 2,2020).4ICL Comments at 2, GNR-U-20-03.
ICL Comment
Joint Utility Plan to Resume Normal Disconnects
July 7,2020
reiterate this recommendation because this type of Order would signal to utility investors that the
Commission recognizes the financial impacts and will use its power appropriately to ensure
supportive regulatory treatment. lnstead of placing Idahoans who cannot pay their power bills
under further financial strain, and potentially placing them at health risk, the utilities should
continue to work through the existing case, GNR-U-20-03, to develop accounting methods and
other ratemaking options that can address the financial impacts to the utilities that could arise
from unpaid balances.
Third, the "plan" devised by the utilities and Staffis inadequate and vague which risks
inconsistent application and resulting public confusion. The proposed plan relies on "enhanced
communication effort to all customers in arears."s Upon further examination this "plan" is
actuallyjust a list of possibilities: "Potential avenues of communication are through website
messaging, phone class, emails, social media, text messaging, post cards, letters, door knockers,
reminder notices and final disconnection notices."6 Merely listing various means of
communication is not a plan by any stretch of that word. A plan typically begins with a goal,
articulates a strategy and tactics to achieve that goal, allocates resources required for
implementation, and defines metric for success. The Idaho Utilities also elude to "alternative
payment arrangements" but do not provide any detail, and instead intend to have each utility
"work with Consumer Affairs Staff to keep them appraised [.]"7 Again, general statements
combined with an offer to inform regulators of what individual utilities may do is not a "plan".
ICL recommends the Commission reject this barebones statement of ideas and possibilities.
Given a reasonable opportunity to participate, ICL stands ready to consider novel
methods "to recoup these costs while mitigating impacts to utility customers."8 Unrecognized in
the utility plan is the fact that these very large corporations have access to low-cost capital and
financial tools that are simply unavailable to the individual customer. Further, these regulated
utilities have a suite of state laws and regulatory tools that could be deployed in a manner that
both reassures investors and respects stuggling Idahoans. This May ICL submitted comments in
GNR-U-20-03, which provided examples of these methods, such as using long amortization
s Joint plan to Resume Normal Collection and Disconnection Activity by Large ldaho Utilities at 2, filed as an
attachment to a Decision Memo by Terri Carlock (July 2,2020).
6 Id.
7 Id.8ICL Comments at 2, GNR-U-20-03.
ICL Comment
Joint Utility Plan to Resume Normal Disconnects
Ju,ly 7,2020
periods for bad-debt expenses and tapping the utilities' access to extremely low-cost capital.
However, at that time, the utilities indicated their financial standing was sfiong and discussions
of specific recovery mechanisms could wait until later proceedings.e You can imagine ICL's
surprise when, now, less than 60 days after claiming that addressing unpaid bills is not an
immediate concern and before the Commission has even ruled on the utilities' requests for
accounting freatnoent for these expenses, we learn the utilities have developed a private plan,
without any public participation or accountability, to resume collections and disconnection
activities. ICL requests the Commission reject this private plan and, instead, issue an Order in
GNR-U-20-03, directing the utilities to engage with customer stakeholders to devise a public
plan that will account for the Idaho Utilities concerns about unpaid costs but will do so in a fab,
equitable, and transparent way that acknowledges the unprecedented circumstances in Idaho
today.
Respectfully submitted this 7ft day of July 2020.
/s/ Beniamin Otto
Benjamin J Otto
Idaho Conservation League
e Avista Reply Comments at 6, GNR-U-20-03; see also Rocky Mountain Power Reply Comm erfi at 4, GNR-U-20-
03
ICL Comment
Joint Utility Plan to Resume Normal Disconnects
July 7,2020
CERTIFICATE OF SERVICE
I hereby certiff that on this 7th day of July, 2020,I delivered true and correct copies of
the foregoing COMMENT to the following persons via the method of service noted:
/s/ Beniamin J. Otto
Electronic mail only (See Order 34602)
Idaho Public Utilities Commission
Diane Hanian, Secretary
secretary@puc. idaho. gov
Terri Carlock, Administrator
Terri. Carlock@puc. idaho. gov
Dayn Hardie, Deputy Attomey General
Dayn. Hardie@puc. idaho. gov
Avista Utilities
Shawn Bonfield,
Shawn. Bonfield@avistacorp. com
David J. Meyer
David.meyer@avistacorp. com
Patrick Ehrbar
P atrick. ehrb ar @av istacorp. com
Idaho Power
Connie Aschenbrenner
C Aschenbrenner@idahopower. com
Lisa D. Nordstom
lnordstrom@idahopower. com
Roclcy Mountain Power
Ted Weston
Ted.weston@pacificorp. com
Adam Lowery, McDowell Rackner Gibson PC
adam@mrg-law.com
ICL Comment
Joint Utility Plan to Resume Normal Disconnects
Intermountain Gas Company
Lori Blattrer
Lori.blattrer@intgas. com
Preston N. Carter, Givens Pursley, LLP
prestoncarter@ givenspursley. com
kendrah@ givenspursley. com
luly 7,2020