VII. Conclusions of Law
1. Southwest Gas filed its Reply brief late with good cause and without prejudicing other litigants.
2. The market structure of the gas industry should be reformed cautiously in light of recent energy and gas price rises.
3. The interests of the many stakeholders in the gas industry should be balanced by approving the CS and its appendices in part and disapproving them in part.
4. The CS should be approved, with modifications, because it is in the public interest, reasonable in light of the record as a whole and consistent with law.
5. The just and reasonable price of backbone transmission capacity should be no more than 120% of the postage stamp rate of $.017191, the price SoCalGas is allowed to charge for interruptible capacity.
6. SoCalGas should file tariffs as part of the implementation of this decision.
7. In order to deter any question of the applicability of this decision if any of the parties to the CS no longer support the CS with the modifications we make, this decision should be viewed as a decision on the record made in R.98-01-011 and I.99-07-015 and officially noticed facts, as well as an approval of the settlement as modified.
8. The provisions in this decision and the CS regarding core aggregation programs do not substantially change the existing core aggregation program so as to exclude core aggregators from providing billing to their customers.
9. SoCalGas should withdraw Advice Letter No. 2837 and file instead a tariff embodying the CS provisions we are approving.
10. SoCalGas' Advice Letter No. 2895 and SDG&E's Advice No. 1185-G should be rejected. The protests of SCGC, CIG/CMA, TURN, Aglet and ORA should be granted.
11. Because Advice Letter No. 2895 is rejected, within 10 business days from the effective date of this decision, SoCalGas should file a new advice letter to implement a gas industry restructuring memorandum account with the restricted purpose of implementing the CS. This advice letter should not include the provisions disapproved in Advice Letter No. 2895 as discussed in this decision. The costs booked should be limited to those beginning on the effective date of this decision. The booked costs should be subject to review for their reasonableness, their duplicativeness and their incremental nature in the next BCAP.
12. As of the effective date of the tariffs arising out of this decision, the core should stop contributing to the noncore ITCS, and the noncore should pay all the noncore ITCS.
13. SoCalGas should unbundle its core interstate transportation capacity at its charged rate, with no change in the brokerage fee of $.0201/Dth.
14. The stranded costs from the unbundled core interstate transportation capacity should be paid by the core and noncore classes equally, through the end of the terms of the El Paso and Transwestern pipeline contracts or six years from the effective date of the decision, whichever is later.
15. For noncore customers, these costs shall be collected as an ECPT surcharge on all noncore throughput.
16. For core customers, these costs should be collected as follows: For the core's 50% share of the stranded costs associated with the first 7% of the core's total allocated capacity that is released, costs should be recovered on an ECPT basis from all core customers.
17. For core customers' 50% share of the stranded costs above 7%, the costs should be allocated to residential and non-residential customers proportionate to participation in the CAT program. Within the residential and non-residential classes, these costs should be allocated on an ECPT basis.
18. Bundled core customers should not be responsible overall for core ITCS that exceed more than 10% of the costs of the bundled core allocation of interstate pipeline reservation costs (not including the core ITCS allocation).
19. SoCalGas should file a rate adjustment advice letter regarding core and noncore ITCS and related matters within 15 calendar days from the effective date of this decision. The revised rates should become effective within 45 days of the effective date of this decision.
20. That portion of Commission Resolution G-3304 which suspends transfers from noncore service to core service should be rescinded as of the effective date of this decision.
21. The revenues from those core subscription customers switching to core status should be recorded in the CFCA.
22. The minimum size requirement for a CTA program should be reduced from 250,000 therms per year to 120,000 therms per year, with no cap on the core market share participating.
23. SoCalGas should post on its GasSelect system operating information as extensive as that required of PG&E and including post-OFO data by customer class sufficient to allow readers to understand why an OFO was called.
24. SoCalGas and SDG&E should work with customers and/or ESPs to provide customer-specific information like consumption data in consistent formats across different contexts, consistent with consumer protection and privacy considerations. Customers and/or ESPs should pay the reasonable costs of any requests for such information.
25. SoCalGas and SDG&E should be authorized to file applications for rate changes based on needed expenditures to cope with customer transfers to core aggregators when transfers exceed 8% of total core volume has switched from utility procurement to core aggregator procurement. An application or BCAP proposal for a rate increase to fund, in conjunction with ESPs, necessary computer hardware, software, training and education efforts at that point should closely match customer needs instead of being well in advance of such needs.
26. SoCalGas should file a tariff in conjunction with its next BCAP to afford an opportunity to review the costs and need for utility consolidated billing service.
27. SDG&E should file a tariff along the lines of Advice No. 2950 so that utility consolidated billing for gas-only procurers is a possibility for SDG&E customers as well.
28. SoCalGas and SDG&E should provide billing credits to the customers of ESPs and CTAs if the ESPs and CTAs agree to indemnify the utilities for all direct and consequential damages and liability associated with the ESP's or CTA's modification of, or failure to provide a customer with, any utility-provided bill insert.
29. The Energy Division should first deal with any disputes concerning the content of a utility-provided insert. This process may lead to a recommendation for a resolution, with other offices of the Commission participating as parties.
30. SoCalGas should provide billing credits to ESPs and CTAs of $0.78 for each residential bill and $1.16 for each non-residential bill until another value is reached through agreement or litigation.
31. SDG&E should provide billing credits to ESPs and CTAs of $0.05 for each residential bill and $0.16 for each non-residential bill related to utility cost savings in the area of uncollectible expenses, until another value is reached through agreement or litigation.
32. SoCalGas and SDG&E should update the avoided costs of billing and uncollectibles based on more current data and include those values and any agreement on the appropriate level of billing credit in a separate filing.
33. SoCalGas and SDG&E may cease sending an ESP or CTA customer an information-only bill if that customers' CTA or ESP provides consolidated billing and agrees to provide monthly SoCalGas or SDG&E transportation charges and rate data, along with the requisite bill inserts and customer protection materials, in each end-user bill.
34. The costs of unbundling interstate transportation capacity and the retail reforms should be paid by the utilities until the next PBR or rate case.
35. Kern River's request to modify Appendix B to the CS to state that new interconnections that do not degrade existing capacity should have primary access rights is denied.
36. SoCalGas should file one or more compliance advice letters to implement this decision within 10 business days from the effective date of this decision unless another provision of our order allows longer for a specific matter. The new and revised tariffs should be effective unless rejected by the Energy Division within 30 days after their filing.
37. The compliance filing should specify implementation schedules, compliance monitoring, cost responsibility, and enforcement measures.
38. The proposed decision herein should be our draft report to the Legislature. The final decision should be our final report.
39. The Commission should open a rulemaking to adopt consumer protection rules consistent with our 1999 consumer protection proposed legislation.
40. This proceeding should be closed.
41. This order should be effective today, so that the restructuring provisions found in the settlement and adopted by us with modifications may be implemented expeditiously.
IT IS ORDERED that:
1. The motion of Southwest Gas Corporation to allow the late filing of its Reply Brief is granted.
2. The Joint Motion for Approval of Comprehensive Gas OII Settlement for Southern California Gas Company (SoCalGas) Company and San Diego Gas and Electric Company (SDG&E), filed April 17, 2000, with technical amendments filed on April 28, 2000, is granted in part and denied in part.
3. The provisions regarding core aggregation programs shall not be construed as substantially changing the existing core aggregation program so as to exclude core aggregators from providing billing to their customers.
4. SoCalGas shall withdraw Advice Letter No. 2837 and file instead a tariff embodying the CS provisions we are approving.
5. SoCalGas' Advice Letter No. 2895 and San Diego Gas & Electric Company's (SDG&E) Advice Letter No. 1185-G are rejected.
6. Because Advice Letter No. 2895 is rejected, within 10 business days from the effective date of this decision, SoCalGas shall file a new advice letter to implement a gas industry restructuring memorandum account. This advice letter shall not include the provisions disapproved in Advice Letter No. 2895 in this decision. The costs booked shall be limited to those beginning on the effective date of this decision. The booked costs shall be subject to review for their reasonableness, their duplicativeness and their incremental nature in the next BCAP.
7. The costs of unbundling core interstate transportation capacity and the retail reforms shall be paid by the utilities until the next PBR or rate case.
8. As of the effective date of the tariffs arising out of this decision, the core shall stop contributing to the noncore interstate transition cost surcharges (ITCS), and the noncore shall pay all the noncore ITCS.
9. SoCalGas shall unbundle its core interstate transportation capacity at its charged rate, with no change in the brokerage fee of $.0201/Dth.
10. The stranded costs from the unbundled core interstate transportation capacity shall be paid by the core and noncore classes equally, through the end of the terms of the El Paso and Transwestern pipeline contracts or six years from the effective date of the decision, whichever is later.
11. For noncore customers, these costs shall be collected as an equal-cents-per therm (ECPT) surcharge on all noncore throughput.
12. For core customers, these costs shall be collected as follows: For the core's 50% share of the stranded costs associated with the first 7% of the core's total allocated capacity that is released, costs shall be recovered on an ECPT basis from all core customers.
13. For core customers' 50% share of the stranded costs above 7%, the costs shall be allocated to residential and non-residential customers proportionate to participation in the core aggregation transportation (CAT) program. Within the residential and non-residential classes, these costs shall be allocated on an ECPT basis.
14. Bundled core customers shall not be responsible overall for core ITCS that exceed more than 10% of the costs of the bundled core allocation of interstate pipeline reservation costs (not including the core ITCS allocation).
15. SoCalGas shall file a rate adjustment advice letter regarding core and noncore ITCS and related matters within 15 calendar days from the effective date of this decision. The revised rates will become effective within 45 days of the effective date of this decision.
16. No core subscription contracts shall be let by either SoCalGas or SDG&E after the effective date of this decision.
17. The revenues from those core subscription customers switching to core status shall be recorded in the Core Fixed Cost Account.
18. The minimum size requirement for a core transport agent (CTA) program shall be reduced from 250,000 therms per year to 120,000 therms per year, with no cap on the core market share participating for both SoCalGas and SDG&E.
19. SoCalGas shall post on its GasSelect system operating information as extensive as that required of Pacific Gas and Electric Company (PG&E) and including post- operational flow order (OFO) data by customer class sufficient to allow readers to understand why an OFO was called.
20. SoCalGas and SDG&E shall work with customers and/or energy service providers (ESPs) to provide customer-specific information like consumption data in consistent formats across different contexts, consistent with consumer protection and privacy considerations. Customers and/or ESPs shall pay the reasonable costs of any requests for such information.
21. SoCalGas and SDG&E may file applications for rate changes based on needed expenditures to cope with customer transfers to core aggregators when 8% of total core volume has switched from utility procurement to core aggregator procurement. Such applications shall include provision for ESP or CTA contribution.
22. SDG&E shall file a tariff along the lines of Advice No. 2950 so that utility consolidated billing for gas only procurers is a possibility for SDG&E customers as well.
23. SoCalGas, and SDG&E shall provide billing credits to the customers of ESPs and CTAs if the ESPs and CTAs agree to indemnify the utilities for all direct and consequential damages and liability associated with the ESP's or CTA's modification of, or failure to provide a customer with, any utility-provided bill insert.
24. SoCalGas shall provide billing credits to ESPs and CTAs of $0.78 for each residential bill and $1.16 for each non-residential bill until another value is reached through agreement or litigation.
25. SDG&E shall provide billing credits to ESPs and CTAs of $0.05 for each residential bill and $0.16 for each non-residential bill related to utility cost savings in the area of uncollectible expenses, until another value is reached through agreement or litigation.
26. SoCalGas and SDG&E shall update the avoided costs of billing and uncollectibles based on more current data and include those values and any agreement on the appropriate level of billing credit in a separate filing.
27. SoCalGas and SDG&E may cease sending an ESP or CTA customer an information-only bill if that customers' CTA or ESP provides consolidated billing and agrees to provide monthly SoCalGas or SDG&E transportation charges and rate data, along with the requisite bill inserts and customer protection materials, in each end-user bill.
28. The Commission, through its Energy Division, shall undertake to resolve any disputes concerning the content of a utility-provided bill insert. Any other division of the Commission may participate as necessary.
29. SoCalGas shall file advice letters to implement this decision within 10 business days from the effective date of this decision except for those provisions of this decision for which we have explicitly ordered that more time can be taken.
30. The advice letters shall specify compliance monitoring, cost responsibility, and enforcement measures.
31. This proceeding is closed.
This order is effective today.
Dated __________, 2001, at San Francisco, California.
ATTACHMENT A
LIST OF APPEARANCES
Dave` Finigan
ABAG POWER
101 EIGHTH STREET
OAKLAND CA 94604-2050
(510) 464-7905
Error! Bookmark not defined.
For: ABAG PowerMarc D. Joseph
Attorney At Law
ADAMS BROADWELL JOSEPH & CARDOZO
651 GATEWAY BOULEVARD, SUITE 900
SOUTH SAN FRANCISCO CA 94080
(650) 589-1660
Error! Bookmark not defined.
For: Coalition of California Utility EmployeesHarold Orndorff
AERA ENERGY LLC
PO BOX 11164
BAKERSFIELD CA 93389
(661) 665-5530
Error! Bookmark not defined.Kevan Hensman
AERA ENERGY, LLC
PO BOX 11164
BAKERSFIELD CA 93389
(661) 326-5497
Error! Bookmark not defined.James Weil
AGLET CONSUMER ALLIANCE
PO BOX 1599
FORESTHILL CA 95631
(530) 367-3300
Error! Bookmark not defined.Christine H. Jun
Attorney At Law
ALCANTAR & ELSESSER LLP
ONE EMBARCADERO CENTER, SUITE 2420
SAN FRANCISCO CA 94111
(415) 421-4143
Error! Bookmark not defined.
For: Indicated Producers; Arca EnergyEvelyn Kahl Elsesser
Attorney At Law
ALCANTAR & ELSESSER LLP
ONE EMBARCADERO CENTER, STE 2420
SAN FRANCISCO CA 94111
(415) 421-4143
Error! Bookmark not defined.
For: AERA ENERGY LLCEdward G. Poole
ATTORNEY AT LAW
ANDERSON & POOLE
601 CALIFORNIA STREET, SUITE 1300
SAN FRANCISCO, CA 94108-2818
(415) 956-6413
For: ANDERSON, DONOVAN & POOLEGary Binger
DEPUTY EXECUTIVE DIRECTOR
ASSOCIATION OF BAY AREA GOVERNMENTS
101 EIGHT STREET, FIRST FLOOR
OAKLAND, CA 94607-4756
(510) 464-7902Catherine E. Yap
BARKOVICH AND YAP, INC.
114 RICARDO AVENUE
PIEDMONT, CA 94611
(510) 652-9778
For: BARKOVICH & YAP, INC.John W. Jimison
BERLINER, CANDON & JIMISON
1225 19TH STREET, NW, SUITE 800
WASHINGTON DC 20036
(202) 955-6067
For: City of VernonJohn Burkholder
BETA CONSULTING
2023 TUDOR LANE
FALLBROOK, CA 92028
(760) 723-1831
For: Western Hub Properties/City of Long Beach
Page 2
Matthew Brady
ATTORNEY AT LAW
BRADY & ASSOCIATES
300 CAPITOL MALL, STE. 1100
SACRAMENTO, CA 95814
(916) 442-5600
For: DYNEGYJennifer Tachera
Attorney At Law
CALIFORNIA ENERGY COMMISSION
1516 9TH STREET, MS-31
SACRAMENTO CA 95814-5504
(916) 654-3870
Error! Bookmark not defined.
For: California Energy CommissionKaren Norene Mills
Attorney At Law
CALIFORNIA FARM BUREAU FEDERATION
2300 RIVER PLAZA DRIVE
SACRAMENTO CA 95833
(916) 561-5655
Error! Bookmark not defined.
For: CALIFORNIA FARM BUREAU FEDERATION
Michael Rochman
Managing Director
CALIFORNIA UTILITY BUYERS JPA
1430 WILLOW PASS ROAD, SUITE 240
CONCORD CA 94520
(925) 609-1142
Error! Bookmark not defined.
For: CALIFORNIA UTILITY BUYERS JPA
Craig Chancellor
CALPINE CORPORATION
6700 KNOLL CENTER PARKWAY, SUITE 200
PLEASANTON, CA 94566
(925) 600-2071
For: Calpine CorporationRonald Davis
CITY OF BURBANK
164 W. MAGNOLIA BLVD.
BURBANK, CA 91502
(818) 548-238-3700
For: City of BurbankBernard Palk
PUBLIC SERVICE DEPARTMENT
CITY OF GLENDALE
141 NORTH GLENDALE AVENUE 4TH LEVEL
GLENDALE, CA 91206
(818) 548-2107
For: City of GlendaleGrant Kolling
ATTORNEY AT LAWCITY OF PALO ALTO
250 HAMILTON AVENUE
PALO ALTO, CA 94070
(650) 329-2171
For: City of Palo AltoRaveen Maan
CITY OF PALO ALTO
PO BOX 10250
PALO ALTO, CA 94303
(650) 329-2343
For: City of Palo AltoRufus Hightower
CITY OF PASADENA
45 E. GLENARM AVE.
PASADENA, CA 91105
(626) 744-4579
For: City of PasadenaTom Beach
CROSSBORDER ENERGY
2560 NINTH ST., SUITE 316
BERKELEY, CA 94710
(510) 649-9790
For: Watson Cogeneration CompanyEdward W. O'Neill
Attorney At Law
JEFFER, MANGELS, BUTLER & MARMARO, LLP
ONE SANSOME STREET
SAN FRANCISCO CA 94104
(415) 398-8080
Error! Bookmark not defined.
For: EL PASO NATURAL GAS CO. and WESTERN GAS RESOURCES-CALIFORNIA
Page 3
Lindsey How-Downing
ATTORNEY AT LAW
DAVIS WRIGHT TREMAINE LLP
ONE EMBARCADERO CENTER, STE 600
SAN FRANCISCO, CA 94111
(415) 276-6500
For: Calpine CorporationDan L. Carroll
Attorney At Law
DOWNEY, BRAND, SEYMOUR & ROHWER
555 CAPITOL MALL, 10TH FLOOR
SACRAMENTO CA 95814
(916) 441-0131
Error! Bookmark not defined.
For: Western Hub Properties LLCJoseph M. Paul
DYNEGY, INC.
976 WEST LOS POSITAS BOULEVARD, SUITE 20
PLEASANTON CA 94588
(925) 469-2314
Error! Bookmark not defined.
For: Dynegy Inc., Dynegy Power, Inc. and Dynegy Marketing & Trade
Gregory T. Blue
Manager, State Regulatory Affairs
DYNEGY, INC.
5976 W. LAS POSITAS BLVD., STE. 200
PLEASANTON CA 94588
(925) 469-2355
Error! Bookmark not defined.
For: DYNEGY, INC.
Lynn M. Haug
ANDREW BROWN
Attorney At Law
ELLISON, SCHNEIDER & HARRIS, LLP
2015 H STREET
SACRAMENTO CA 95814-3109
(916) 447-2166
Error! Bookmark not defined.
For: INDEPENDENT ENERGY PRODUCERS ASSN.
Andrew J. Skaff
Attorney At Law
ENERGY LAW GROUP, LLP
1999 HARRISON STREET, 27TH FLOOR
OAKLAND CA 94612
(510) 874-4370
Error! Bookmark not defined.
For: DYNEGY MARKETING & TRADE / INDEPENDENT ENERGY PRODUCERS ASSOCIATION
Darwin Farrar
Legal Division
RM. 5039
505 VAN NESS AVE
San Francisco CA 94102
(415) 703-1599
Error! Bookmark not defined.
For: OFFICE OF RATEPAYER ADVOCATES (ORA)Brian Cragg
MICHAEL B. DAY
ATTORNEY AT LAW
GOODIN MACBRIDE SQUERI RITCHIE & DAY LLP
505 SANSOME ST., SUITE 900
SAN FRANCISCO, CA 94111
(415) 392-7900
For: WILD GOOSE STORAGE, INC.James W. Mc Tarnaghan
MICHAEL DAY
ATTORNEY AT LAW
GOODIN MACBRIDE SQUERI RITCHIE & DAY LLP
505 SANSOME STREET, SUITE 900
SAN FRANCISCO, CA 94111
(415) 765-8409
For: KERN RIVER GAS TRANSMISSION CO.Michael B. Day
ATTORNEY AT LAW
GOODIN MACBRIDE SQUERI RITCHIE & DAY LLP
505 SANSOME STREET, SUITE 900
SAN FRANCISCO, CA 94111-3133
(415) 392-7900
For: Wild Goose Storage, Inc.Richard H. Counihan
GREENMOUNTAIN.COM
50 CALIFORNIA STREET, SUITE 1500
SAN FRANCISCO, CA 94111
(415) 439-5310
For: SelfPatrick L. Gileau
Legal Division, RM. 5000
505 VAN NESS AVE.
San Francisco, CA 94102
(415) 703-3080
For: OFFICE OF RATEPAYER ADVOCATES (ORA)
Page 4
John Steffen
IMPERIAL IRRIGATION DISTRICT
POWER DEPARTMENT
333 EAST BARIONI BOULEVARD
IMPERIAL, CA 92251
(760) 339-9224
For: IMPERIAL IRRIGATION DISTRICTSteven Kelly
INDEPENDENT ENERGY PRODUCERS ASSOCIATION
1112 I STREET, SUITE 380
SACRAMENTO CA 95814
(916) 448-9499
Error! Bookmark not defined.
For: INDEPENDENT ENERGY PRODUCERS ASSOCIATIONMark A. Baldwin
INTERSTATE GAS SERVICES, INC.
2600 KITTYHAWK ROAD, SUITE 101
LIVERMORE CA 94550
(925) 243-0350
Error! Bookmark not defined.
For: Interstate Gas Services, Inc.Norman A. Pedersen
Attorney At Law
JONES DAY REAVIS & POGUE
555 WEST FIFTH STREET, SUITE 4600
LOS ANGELES CA 90013-1025
(213) 243-2810
Error! Bookmark not defined.
For: Northern California Generation CoalitionMark Moench
Attorney At Law
KERN RIVER GAS TRANSMISSION CO.
295 CHIPETA WAY
SALT LAKE CITY UT 84108
(801) 584-7059
Error! Bookmark not defined.
For: KERN RIVER GAS TRANSMISSION CO.
Jose Atilio Hernandez
LATINO ISSUES FORUM
785 MARKET STREET, 3RD FLOOR
SAN FRANCISCO CA 94103
(415) 284-7226
Error! Bookmark not defined.
For: LATINO ISSUES FORUMSusan E. Brown
ATTORNEY AT LAW
LATINO ISSUES FORUM
785 MARKET STREET, 3RD FLOOR
SAN FRANCISCO, CA 94103-2003
(415) 284-7224
For: LATINO ISSUES FORUM
Christopher A. Hilen
ATTORNEY AT LAW
LEBOEUF LAMB GREENE & MACRAE LLP
ONE EMBARCADERO CENTER, SUITE 400
SAN FRANCISCO, CA 94111
(415) 951-1141
For: Reliant Energy Power Generation, Inc.Robert L. Pettinat
LOS ANGELES DEPT. OF WATER & POWER
10322 SUNLAND BLVD.
SUNLAND, CA 91040
(818) 771-6715
For: LOS ANGELES DEPT. OF WATER & POWERAlvin Chan
LOS ANGELES DEPT. OF WATER & POWER
POBOX 5 1111, SUITE 340
LOS ANGELES, CA 90051-0100
(213) 367-4500
For: LADWPJohn W. Leslie
ATTORNEY AT LAW
LUCE FORWARD HAMILTON & SCRIPPS, LLP
600 WEST BROADWAY, SUITE 2600
SAN DIEGO, CA 92101
(619) 699-2536
For: TXU Energy Services, Inc.Michael D. McNamara
Office of Ratepayer Advocates
RM. 4101
505 VAN NESS AVE.
San Francisco, CA 94102
(415) 703-2265
Page 5
Ronald G. Oechsler
NAVIGANT CONSULTING, INC. - PRINCIPAL
PO BOX 15516
SACRAMENTO CA 95852-1516
(916) 852-1300
Error! Bookmark not defined.
For: NAVIGANT CONSULTING, INC. (NCI)Donald D. Dame
NORTHERN CALIFORNIA POWER AGENCY
180 CIRBY WAY
ROSEVILLE CA 95678Steve Frank
PACIFIC GAS AND ELECTRIC CO
PO BOX 770000
77 BEALE STREET, B30A
SAN FRANCISCO CA 94177
(415) 973-6976
Edward V. Kurz
Attorney At Law
PACIFIC GAS AND ELECTRIC COMPANY
77 BEALE ST., MAIL STOP B30A
SAN FRANCISCO CA 94105
(415) 973-6669
Error! Bookmark not defined.
For: PACIFIC GAS AND ELECTRIC COMPANYAlan C. Reid
PANCANADIAN ENERGY SERVICES, INC.
125 9TH AVENUE S.E.
CALGARY AB T2P 2S5
CANADA
(403) 268-6592
Error! Bookmark not defined.
For: PanCanadian Energy Services, Inc.
John J. Cattermole
Director, Marketing
PANCANADIAN ENERGY SERVICES, INC.
350 RAILROAD AVENUE, SUITE 200
DANVILLE CA 94526
(925) 831-6850
Error! Bookmark not defined.
Patrick J. Power
Attorney At Law
1300 CLAY STREET, SUITE 600
OAKLAND CA 94612
(510) 446-7742
Error! Bookmark not defined.
For: CITY OF LONG BEACHTom Bradley
POWERSPRING, INC.531 ENCINITAS BLVD., SUITE 200
ENCINITAS, CA 92024
(760) 944-1999
Gary Hinners
RELIANT ENERGY, INC.
PO BOX 4455
HOUSTON, TX 77210-4455
(713) 2071321
For: RELIANT ENERGY, INC.Glen Sullivan
BRIAN C. CHERRY
ATTORNEY AT LAW
SEMPRA ENERGY
101 ASH STREET
SAN DIEGO, CA 92101-3017
(619) 696-4817
For: Southern California Gas Company and San Diego Gas and Electric CompanyStefanie Katz
SEMPRA ENERGY TRADING
58 COMMERCE ROAD
STAMFORD, CT 06902
For: Sempra Energy TradingDouglas Porter
ATTORNEY AT LAW
SOUTERHN CALIFORNIA EDISON COMPANY
2244 WALNUT GROVE AVENUE
ROSEMEAD, CA 91770
(626) 302-3964
For: Southern California Edison Company
Page 6
Gloria M. Ing
DOUGLAS PORTER
ATTORNEY AT LAW
SOUTHERN CALIFORNIA EDISON COMPANY
2244 WALNUT GROVE AVENUE
ROSEMEAD, CA 91770
(626) 302-1922
For: Southern California Edison CompanyKelvin Yip
SOUTHERN ENERGY CALIFORNIA, LLC
1350 TREAT BLVD, SUITE 500
WALNUT CREEK CA 94596
(925) 287-3106
Error! Bookmark not defined.
For: SOUTHERN ENERGY CALIFORNIAAndrew W. Bettwy
JOHN WALLEY; ROBERT M. JOHNSON
Attorney At Law
SOUTHWEST GAS CORPORATION
5241 SPRING MOUNTAIN ROAD
LAS VEGAS NV 89102
(702) 876-7107
Error! Bookmark not defined.
For: Southwest Gas CorporationJohn C. Walley
Attorney At Law
SOUTHWEST GAS CORPORATION
PO BOX 98510
LAS VEGAS NV 89193-8510
(702) 876-7182
Error! Bookmark not defined.
For: Southwest Gas Corporation
Lyn Hebert
Attorney At Law
STATE OF NEW MEXICO, DEPT. OF ENERGY...
2040 S. PACHECO
SANTA FE NM 87505
(505) 827-1364
For: DEPT. OF ENERGY, MINERALS & NATURAL RESOURCES, STATE OF NEW MEXICOKeith Mc Crea
Attorney At Law
SUTHERLAND, ASBILL & BRENNAN LLC
1275 PENNSYLVANIA AVENUE, N.W.
WASHINGTON DC 20004-2415
(202) 383-0705
Error! Bookmark not defined.
For: CALIFORNIA INDUSTRIAL GROUP and CALIFORNIA MANUFACTURERS ASSOCIATION
Marcel Hawiger
Attorney At Law
THE UTILITY REFORM NETWORK
711 VAN NESS AVENUE, SUITE 350
SAN FRANCISCO CA 94102
(415) 929-8876
Error! Bookmark not defined.
For: THE UTILITY REFORM NETWORK (TURN)Susan Scott
TRANSWESTERN PIPELINE COMPANY
1400 SMITH STREET, ROOM 4788
HOUSTON, TX 77002
(713) 853-0596
For: Transwestern Pipeline CompanyGerard Worster
TXU ENERGY SERVICE
353 SACRAMENTO STREET, SUITE 400
SAN FRANCISCO, CA 94111
(415) 981-2980Brian Dingwall
UNITED ENERGY MANAGEMENT, INC.
1210 SHEPPARD AVE. EAST, SUITE 401
TORONTO, BC M2K 1E3
CANADA(416) 498-6298
Terri M. Dickerson
WESTERN GAS RESOURCES CALIFORNIA
12200 N. PECOS ST.
DENVER, CO 80234
(303) 252-6224
For: WESTERN GAS RESOURCES - CALIFORNIAThomas R. Dill
WESTERN HUB PROPERTIES
14811 ST. MARYS LANE, SUITE 150
HOUSTON, TX 77079
(281) 679-3599
For: Western Hub Properties, LLC
Page 7
Joe Karp
ATTORNEY AT LAW
WHITE & CASE
TWO EMBARCADEERO CENTER, SUITE 650
SAN FRANCISCO, CA 94111
(415) 544-1103
For: California Cogeneration Council, Southern Energy California, LLC,; Three Mountain Power, LLCJoseph M. Karp
ATTORNEY AT LAW
WHITE & CASE LLP
TWO EMBARCADERO CENTER, SUITE 650
SAN FRANCISCO, CA 94111
(415) 544-1100
For: Southern Energy California, LLCPaul M. Amirault
WILD GOOSE STORAGE, INC.
3900 421 7TH AVENUE S.W.
CALGARY, ALBERTA BC T2P 4K9
CANADA
(403) 266-8298Roger T. Pelote
WILLIAMS ENERGY SERVICES
12731 CALIFA STREET
VALLEY VILLAGE, CA 91607
(818) 761-5954
For: Williams Energy ServicesMichael J. Thompson
ATTORNEY AT LAW
WRIGHT & TALISMAN, P.C.
1200 G STREET, N.W., SUITE 600
WASHINGTON DC 20005
(202) 393-1200
For: Kern River Gas Transmission Co.Ed Yates
980 NINTH STREET, SUITE 230
SACRAMENTO, CA 95814
(916) 444-9260
For: CALIFORNIA LEAGUE OF FOOD PROCESSORS
(END OF ATTACHMENT A)
APPENDIX I
Comprehensive Gas OII
Settlement Agreement for
Southern California Gas Company and
San Diego Gas & Electric Company
Note: See CPUC Formal Files for `SoCalGas Pooling' pages.
APPENDIX II
COMPARISON OF COMPREHENSIVE, INTERIM,
AND POST INTERIM SETTLEMENTSNote: See CPUC Formal Files for Appendix II.
APPENDIX III
LIST OF ACRONYMS
SOCALGAS - Southern California Gas Company
SDG&E - San Diego Gas & Electric Company
IS - Interim Settlement Agreement
PI - Post-Interim Settlement Agreement
CS - Comprehensive Settlement Agreement
PG&E - Pacific Gas and Electric Company
OFO - Operational Flow Order
ITCS - Interstate Transition Cost Surcharges
ALJ - Administrative Law Judge
PGA - Purchased Gas Account
CAT - Core Aggregation Transportation
BCAP - Biennial Cost Allocation Proceeding
NSBA - Noncore Storage Balancing Account
ORA - Office of Ratepayer Advocates
ESP - Energy Service Provider
CTA - Core Transport Agent
GCIM - Gas Cost Incentive Mechanism
ECPT - Equal-Cents-Per-Therm
TURN - The Utility Reform Network
UDC - Utility Distribution Company
GIRMA -Gas Industry Restructuring Memorandum Account
IRMA - Industry Restructuring Memorandum Account
SCGC - Southern California Generation Coalition
MFV - Modified-Fixed Variable
LRMC - Long-Run Marginal Cost
PBR - Performance-Based Ratemaking
NFCA - Noncore Fixed Cost Account
CFCA - Core Fixed Cost Account
DASR - Direct Access Service Request