RÉGIE DE L’ÉNERGIE AGENCE DE L’EFFICACITÉ ÉNERGÉTIQUE BUDGET APPLICATION FOR 2010-2011 FILE: R-3709-2009 EVIDENCE OF WILLIAM HARPER ECONALYSIS CONSULTING SERVICES ON BEHALF OF: OPTION CONSOMMATEURS JANUARY 29, 2010 TABLE OF CONTENTS 1 INTRODUCTION...................................................................................................... 1 2 PURPOSE OF EVIDENCE ...................................................................................... 2 3 COST ALLOCATION: PURPOSE AND PRINCIPLES ............................................ 4 3.1 General Purpose and Principles in Utility Ratemaking .......................................... 4 3.2 Applicability of Cost Allocation to the AEÉ ............................................................... 6 3.3 Principles Employed by the AEÉ in Cost Allocation ............................................... 6 3.4 Association with Rate Classes of Distributors ......................................................... 9 4 THE AÉÉ’s PROPOSED COST ALLOCATION METHODOLOGY ........................ 10 4.1 Overview ...................................................................................................................... 10 4.2 Regulated Programs in the Operational or Pilot Phase ....................................... 11 4.3 Regulated Programs in the Design Phase ............................................................. 14 4.4 Programs Associated with the Development of the Comprehensive Plan........ 15 4.5 Programs Associated with Complementary Activities .......................................... 17 4.6 Administration and Contingency .............................................................................. 19 5 OTHER ISSUES .................................................................................................... 20 5.1 Transparency .............................................................................................................. 20 5.2 Non-Quota Allocations .............................................................................................. 21 6 CONCLUSIONS ..................................................................................................... 23 6.1 Cost Allocation Principles ......................................................................................... 23 AEÉ’s Cost Allocation Methodology – Operational and Pilot Phase 6.2 Regulated Programs ................................................................................................. 23 6.3 AEÉ’s Cost Allocation Methodology – Regulated Programs in the Design Phase ........................................................................................................................... 23 6.4 AEÉ’s Cost Allocation Methodology – Programs Associated with Development of the Comprehensive Plan ............................................................. 23 6.5 AEÉ’s Cost Allocation Methodology – Complementary Program Activities ...... 24 6.6 AEÉ’s Cost Allocation Methodology – Administration and Contingency ........... 24 6.7 Transparency .............................................................................................................. 24 6.8 Non-Quota Allocations .............................................................................................. 25 Attachments Appendix: CV for ECS Consultant Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 1 2 In 1996 the Québec government set out a new energy policy for the Province. Within 3 this policy, energy efficiency was a favoured means of contributing to sustainable and 4 economic development and to increase the energy resources available in Québec. 5 Consistent with this policy, in 1997 the Québec government passed a bill creating the 6 Agence de l’efficacité énergétique (AEÉ). The mission of the AÉE is to, with a focus on 7 sustainable development, promote energy efficiency and the development of new 8 technologies for all forms of energy in every sector of activity, for the greater good of all 9 regions throughout Québec. Consistent with this mission the AEÉ is responsible for INTRODUCTION 10 developing a comprehensive plan for energy efficiency and new technologies. 11 Funding for the AEE comes primarily from three sources1: 12 13 The Green Fund, if the program is one of the actions in the Action Plan on Climate Change (PACC) for which the AEÉ is responsible, 14 The federal government, if the program is related to a federal initiative, and 15 The Quota (which is approved by the Régie) if the program stems from the 16 Comprehensive Plan developed by the AEÉ. The amount approved for the Quota is 17 then allocated to energy sources and the AEÉ is financed accordingly. 18 In October 2009, the AEÉ filed an Application with the Régie de l’énergie (the “Régie”) 19 for approval of it 2010-2011 budget and the associated allocation of the budget to 20 energy sources. This is the second such budget (and allocation) that the AEÉ has 21 submitted for approval. The first Application was with respect to its Comprehensive 22 Plan for the period 2007 – 2010 (R-3671-2008) and also included an allocation of each 23 year’s revenue requirement to each energy source. In its decision2 regarding this first 24 Application the Régie provided both general direction as to how the cost allocation 25 should be performed in the current Application and also raised issues regarding a 1 2 AEÉ-4, Doc 2, pages 6-7 D-2009-046, Section 7.1 1 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 number of the program-specific allocation factors. Recognizing that cost allocation is a 2 complex and technical subject the Régie directed3 the AEÉ to create a working group to 3 review the issue. The current Application includes the AEÉ’s proposals resulting from 4 this review. 5 2 6 After reviewing the AEÉ’s Application and the Procedural Order4 issued by the Régie, 7 Option Consommateurs (OC) retained Econalysis Consulting Services (ECS), a 8 Canadian consulting firm offering regulatory services to clients in the electricity and 9 natural gas sectors to provide evidence that would assist OC and the Régie in PURPOSE OF EVIDENCE 10 assessing the cost allocation aspects of the AEÉ’s proposal. 11 The Evidence was prepared by Bill Harper who, prior to joining ECS in July 2000, 12 worked for over 25 years in the energy sector in Ontario, first with the Ontario Ministry 13 of Energy and then, with Ontario Hydro and its successor company Hydro One. Since 14 joining ECS, he has assisted various clients participating in regulatory proceedings on 15 issues related to electricity and natural gas utility revenue requirements, cost 16 allocation/rate design and supply planning. Mr. Harper has served as an expert witness 17 in public hearings before the Manitoba Public Utilities Board, the Manitoba Clean 18 Environment Commission, the Régie, the Ontario Energy Board, the Ontario 19 Environmental Assessment Board and a Select Committee of the Ontario Legislature on 20 matters dealing with electricity regulation, rates and supply planning. His most recent 21 experience includes: 22 The preparation of evidence and appearance as an expert witness on behalf of OC 23 in the Régie proceeding (R-3541-2004) dealing with HQD’s rate design proposals for 24 2005. 25 26 The preparation of evidence and appearance as an expert witness on behalf of OC in the Régie proceedings (R-3579-2005; R-3610-2006, R-3644-2007 and R-3677- 3 4 D-2009-042, Section 7.2 D-2008-103 2 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 2008) dealing with HQD’s cost allocation and rate design proposals for 2006, 2007 2 2008 and 2009 respectively. 3 The preparation of evidence and appearance as an expert witness before the 4 Manitoba Public Utilities Board with respect to the Board’s Generic Review of 5 Manitoba Hydro’s 2006 Cost Allocation Proposals. 6 BCUC proceedings dealing with BCHydro’s 2007 Rate Design Application5. 7 8 9 Preparation of a Report for clients in Saskatchewan regarding SaskPower’s 2008 proposed cost allocation methodology for submission to the Saskatchewan Rate 10 11 Providing expert advice and support to clients in British Columbia participating in the Review Panel. Participating as a technical expert on the OEB’s 2005/2006 Cost Allocation Working 12 Group and, subsequently, assisting clients participating in the review of cost 13 allocation proposals by Ontario electricity distributors as part of their 2008, 2009 and 14 2010 rate applications. 15 A full copy of Mr. Harper’s CV is attached in Appendix A. 16 The current evidence addresses both the AEÉ’s overall approach to cost allocation, as 17 well as the specific allocation factors used for its different program activities (P/As). 18 Applicable comments are noted throughout the text and summarized in the concluding 19 section. 20 21 5 The Application also included a proposed cost allocation methodology. 3 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 3 2 3.1 3 One of the generally accepted principles in utility rate making is that rates should be fair. 4 While what is “fair” is open to interpretation, in terms of utility rate making, it is generally 5 accepted as meaning that rates should track costs to the extent feasible based on the 6 principle of cost causality. Therefore, as a guide for determining the appropriate rates 7 to be charged to each class of customers, gas and electric utilities generally perform a 8 cost of service or cost allocation study. A cost allocation study analyzes the 9 components of the Company’s costs and assigns or directly allocates plant investments COST ALLOCATION: PURPOSE AND PRINCIPLES General Purpose and Principles in Utility Ratemaking 10 and other assets as well as operating expenses among the various customer classes 11 receiving service. The purpose of the study is to determine both the total and the unit 12 costs of providing service to various customer classes. The results are then used to 13 provide guidance in establishing the rate levels and designing the rate structures for 14 each customer class so as to fairly apportion the total costs between customer classes 15 and provide proper price signals. 16 Cost allocation studies generally employ a three step process of cost analysis: 17 1) Functionalization of assets and annual expenses (including the cost of capital) 18 according to the services (or functions) the utility provides such as production, 19 transmission, distribution and customer service. However, these functions are 20 frequently broken down further to capture specific activities. 21 2) Classification of each function’s costs according to the system design or 22 operating characteristics that caused those costs to be incurred (i.e., the cost 23 drivers). 24 3) Allocation of each functionalized and classified cost component to specific 25 customer classes based on each class’ contribution to the specific cost driver 26 selected. 4 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 While the process appears straightforward and logical, the nature of utility operations is 2 characterized by the existence of common or joint use facilities (and activities) that are 3 used to support the provision of more than one product/service and/or serve more than 4 one customer class. As a result, while cost analysts may strive to identify and isolate 5 plant and expenses incurred exclusively to serve a specific customer class or group of 6 customers, it is unrealistic to assume that large portions of a utility’s plant investment 7 and expenses can be directly assigned. In addition, there are practical constraints (e.g. 8 time and budgets) that will limit the extent to which costs can be directly tracked and 9 assigned. 10 In evaluating any cost allocation methodology, primary consideration should be given to 11 the need to reflect cost causality to the extent possible. Other considerations include 12 equity, efficiency, stability of results over time, transparency, logical consistency and 13 practical limits of implementation. The core principle of cost causality reflects the widely 14 accepted view that rates are fair when the costs incurred are recovered from the 15 “customers” that “caused” the utility to incur them and benefit from the associated 16 services. Generally, costs are incurred to provide customers with a range of services. 17 This has commonly led to a “user pay” principle when allocating costs of a particular 18 service and reflects the view that if the service was not required (i.e. used) the costs 19 would not be incurred. However, circumstances can arise where this user pay principle 20 does not necessarily reflect cost causality for a service or track those who benefit from 21 the service. 22 One example is off-peak users of gas and electric transmission and distribution 23 facilities. Typically, the capacity and therefore the investment required in such facilities 24 is driven by their peak use (i.e., maximum usage) and it is customers’ requirements at 25 the time of peak use that dictate the overall investments required. As a result, off-peak 26 use of such facilities does not contribute to the cost driver for the associated services. 27 This can lead to somewhat of disconnect between the principle of “cost causality” and 28 “user pay”, particularly if certain customer classes’ usage is virtually all off-peak. 5 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 Another example is an Energy Efficiency Plan, where programs are predicated on the 2 view that energy efficiency improvements are a more cost effective way of meeting 3 incremental supply requirements than constructing new facilities. In such cases the 4 Energy Efficiency Plan benefits all customers of utility, not just those participating in the 5 Energy Efficiency programs. This again can lead to a disconnect between the principle 6 of cost causality and the user pay principle. 7 3.2 Applicability of Cost Allocation to the AEÉ 8 The Quota portion of the AEÉ’s costs is recovered from the various energy sources in 9 Québec, with the exception of wood and biomass6. To facilitate this, the AEÉ is 10 required7, as part of its budget application to the Régie, to provide an allocation of its 11 proposed budget by energy source. As result, there is a strong parallel between the 12 typical cost allocation undertaken by a regulated utility and the cost allocation exercise 13 that the AEÉ is required to undertake. In the case of the AEÉ: 14 The difference energy sources can be viewed as the customer classes, 15 The different program areas (P/As) can be viewed as functions, 16 The determination of an appropriate cost driver for each P/A can be viewed as 17 equivalent to the classification stage of the cost allocation process, and 18 19 The quantification of each energy source’s contribution to the cost driver can be viewed as equivalent to the allocation stage of the process. 20 3.3 Principles Employed by the AEÉ in Cost Allocation 21 In its D-2009-046 decision, the Régie indicated that the preferred cost allocation 22 methodology, when applicable, is the direct allocation of a cost to the type of energy, 23 sector of activity and rate class targeted by the energy efficiency measure. It also 24 indicated that when a direct allocation is not applicable, it favours the use of sectoral 6 7 D-2009-046, Section 7.1 AEÉ-4, Doc 2, page 8 6 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 energy balances in order to more precisely target the energy source and customer class 2 targeted by the measure (P/A). Moreover, in its direction regarding the scope of the 3 Working Group’s tasks, the Régie stated that all allocation factors should be examined 4 except those related to programs in which the participants are already known. In such 5 cases, the Régie indicated that if the number of participants was known, the 6 remuneration and expenses associated with the P/A should be allocated pro-rata based 7 on the number of participants by energy source8. In the current Application, the general 8 approach outlined9 by the AEÉ is consistent with the Régie’s direction. 9 Comments 10 The approach directed by the Régie and adopted by the AEÉ reflects a direct 11 application of the “user pay” principle. With respect to P/As for operational or pilot 12 programs, where the actual participants (users) are known, remuneration and operating 13 costs are to be allocated to energy sources based on the number of users (participants) 14 by source. Where this information is not available, an estimate of participant numbers 15 by energy source is developed and used to allocate the costs. For P/As related to 16 program design or new technologies (where the concept of “participant count” may not 17 apply), the AEÉ seeks to match the costs as closely as possible to the targeted sector 18 and related energy sources using a relevant cost driver. Finally, for complementary 19 activities that support various P/As, the proposal is to allocate the costs in the same 20 manner as the relevant P/As. In the case of administration costs, these are pro-rated to 21 energy sources in a manner consistent with that of all non-administrative P/As. 22 The stated objectives of the AEÉ (and therefore the reasons for providing various 23 programs and incurring the associated costs) are to promote sustainable and economic 24 development and to increase the energy resources available in Québec. 25 To the extent reductions in energy use occur for a particular energy source, this 26 effectively increases the resources available to other users of the same energy source 27 and benefits the users of that energy source. Allocating the costs of a program based 8 9 D-2009-046, Section 7.1 AEÉ-4, Doc 2, pages 15-17 7 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 on participants by energy source will therefore track the costs to the users of the energy 2 sources that are benefitting from this increased availability. As a result, the application 3 of the user pay principle and allocation based on participant is reasonable for programs 4 developed to meet this objective. 5 However, the link between the AEÉ’s other two objectives and the proposed approach 6 to cost allocation (i.e., the user pay principle) is not as clear. In the case of economic 7 development, the economic spinoffs from a particular energy efficiency program benefit 8 could benefit all sectors of the economy and, if this was the primary purpose for the 9 program, it would not be reasonable for the “costs” to be borne entirely by the energy 10 sector/source where the program was taking place. Within this context, the program is 11 not “required” by the users of that sector but rather is deemed necessary in order to 12 promote economic benefits across the province overall. 13 In the case of the sustainable development objective, an argument can be made similar 14 to that in the preceding paragraph that the programs are being undertaken to provide a 15 more sustainable environment for all of Québec and that the costs should be allocated 16 accordingly. The counter argument is that the programs are targeted at those sectors 17 and energy sources where efficiency improvements are required to ensure a 18 sustainable future and that, on this basis, it is fair that the users of the associated 19 energy sources bear the costs. 20 While there is not a perfect alignment between the AEÉ’s objectives and the application 21 of the user pay principle for purposes of cost allocation, there is some degree of 22 alignment. On this basis, and given the Régie’s direction in favor of direct cost 23 allocation, the use of the user pay principle appears reasonable in this Application. 24 However, as discussed above, the user pay principal does not always best reflect cost 25 causality, and as such, should not be followed indiscriminately. 8 Evidence of William Harper 1 3.4 AEÉ 2010-2011 Budget R-3709-2009 Association with Rate Classes of Distributors 2 The AEÉ acknowledges10 that it is the responsibility of the Régie to determine the 3 amount of the allocated Quota that is payable by each Distributor of an energy source 4 and that it is the Distributors (subject to Régie approval) that determine the allocation to 5 customer classes. However, as part of the Application, the AEÉ has included 6 information regarding the customer classes for each Distributor that would be 7 associated with (i.e., participate in) each of its operational and pilot programs in order to 8 facilitate these subsequent allocations. 9 Comment 10 The applicability of the user pay (participant) principle in the allocation by the AEÉ to 11 energy sources is founded primarily on the view that reductions in energy use will 12 benefit the users of that energy source by making more supply available (and reducing 13 the need for investments in new facilities). However, as noted in Section 3.1, this 14 rationale breaks down when considering how spending on energy efficiency should be 15 allocated to customers within a distributor. Indeed, strict adherence to the user pay 16 principle would result in distributors allocating the entire “cost” of any financial 17 incentives directly back to the participants, which would effectively claw back any 18 financial incentive provided to participants. 19 ECS agrees with the AEÉ that these issues are to be dealt with by the Régie within the 20 context of individual distributors’ rate proceedings. As a result, ECS does not propose 21 to address these matters further at this time and recommends that if the AEÉ has views 22 or positions on these matters, they should be brought forward and tested in the relevant 23 proceedings. 10 AEÉ-4, Doc 2, page 14 9 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 4 2 4.1 3 The AEÉ has 38 program areas for which costs are allocated to energy sources using 4 its proposed cost allocation11. Each of the program and activity areas (i.e., P/As) 5 financed by the Quota12 can be grouped into one of the following four categories13: THE AÉÉ’s PROPOSED COST ALLOCATION METHODOLOGY Overview 6 7 Actual programs in the operation, pilot or design phase (referred to as “Regulated Programs”), 8 Activities related to the development of the Comprehensive Plan, 9 Complementary Activities that support the delivery of programs and the 10 Comprehensive Plan, and 11 12 Administrative Activities related to the management and daily operation of the Agency. 13 The following paragraphs outline the general approach taken for each category. More 14 specific details and comments are provided in the subsequent sections. 15 For Regulated Programs in the operational or pilot phase, the objective is to allocate the 16 costs for remuneration and other expenses based on number of participants. However, 17 in most cases this number is not known since the allocation is dealing with forecast 18 costs. As result, some alternative proxy is frequently used based on available 19 information14. In the case of financial assistance costs, the relative level of financial 20 assistance is also taken into account if it varies by energy source15. For Regulated 21 Programs in the design phase, the allocation is generally done based on the costs of 22 the specific design activities that will be undertaken in 2010 and the energy balances for 23 the sub-sectors that are targeted16. 11 AEÉ-10, Document 5.2, Annexe 1.1 (excluding the Contingency Allowance) The Complementary and Administrative activities are also partially financed by from the Agency’s other funding sources. 13 AEÉ-4, Doc 2, pages 5-6 14 AEÉ-4, Doc 2, page 8 15 AEÉ-4, Doc 2, page 9 16 AEÉ-10, Doc 5.2, #20.1 12 10 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 In the case of the costs associated with the development of the Comprehensive Plan, 2 the intent is to allocate the costs based on the energy balance for the sectors targeted 3 by the Plan. To achieve this, the costs are pro-rated to energy sources based on the 4 allocation of costs associated with the non-Administrative P/As financed by the Quota17. 5 For the Complementary Activities, the cost of each P/A is allocated based on the 6 allocation results for the program activities it is meant to support18. 7 For the Administrative Activities, the costs are allocated based on the allocation results 8 for all non-administrative program activities19. 9 4.2 Regulated Programs in the Operational or Pilot Phase 10 There are 22 such P/As in the 2010-2011 proposed budget for the Quota. Attachment 1 11 lists these programs and summarizes ECS’s understanding of the allocation factor used 12 for remuneration and operating expenses in each case. Attachment 2 summarizes 13 ECS’s understanding of the allocation of financial assistance costs, where they exist. 14 For most programs, the number of participants by energy source is based either on: 15 16 17 Historical participation levels in the same (or similar) programs. This applies to P/As 2010, 2011, 2014, 2015, 2020 and 2031, or When historical data was not available, the relative historical importance of each 18 energy source for the particular sector/sub-sectors being targeted by the program. 19 This applies to P/As 2033, 2034, 3050, 4020, 8030, 7020, 7030, 7050, 9021 and 20 130. 21 For a limited number of programs, neither the number of historical participants nor the 22 relative historical importance of each energy source by sector/sub-sector was used to 23 allocate remuneration and operating expenses. In some cases, (P/As 2032 and 6020) 24 a more appropriate allocation factor was determined to be available. In other cases 25 (P/As 8022, 9010 and 9030), the effort required by the AEÉ was considered to be linked 26 directly to the level of financial assistance provided by energy source and the allocation 17 AEÉ-4, Doc 2.3, page 29 and AEÉ-4, Doc 2, page 9 AEÉ-4, Doc 2, page 11 19 AEÉ-4, Doc 2, page 7, Footnote #6 18 11 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 reflected this. Finally, for the Information and Awareness Program (P/A 120), the 2 overall Quebec energy balance was used pending the availability of more details 3 regarding the focus of the program20. 4 Comments 5 For the AEÉ’s operational and pilot phase Regulated Programs generally the same 6 “service” is being provided to participants regardless of energy source. As result, it is 7 reasonable to expect that the same level of effort on the part of AEÉ staff would be 8 required for each participant. Therefore the number of participants would be an 9 appropriate allocation factor for remuneration and operating expenses. 10 The AEÉ’s use of historical participation levels for the six programs identified above is 11 reasonable. For the four of these six programs currently in operation (P/A 2010, 2014, 12 2020 and 2031), the AEÉ has confirmed that there are no program changes for 2010- 13 2011 that would suggest a change in participation by energy source21. With respect to 14 the two new programs (P/As 2011 and 2015) of the six, these programs are both 15 refinements of an existing program. Therefore the use of the related existing program’s 16 historical participation by energy source is a reasonable basis for allocation until some 17 experience with the new program is obtained. 18 As noted above, the remuneration and operating costs for almost half the programs in 19 this category (10 out of 22) are allocated using the relative historical importance of each 20 energy source for the particular sector/sub-sectors being targeted by the program. 21 Again, in principle this approach represents a reasonable proxy for the breakdown of 22 participation by energy source in absence of historical data on the program’s 23 participation or other insight into what the participation by energy source might be. 24 However, in these instances, care must be taken to ensure that the appropriate energy 25 sectors have been identified based on the program’s focus for 2010-2011. 20 21 AEÉ-10, Doc 10, #37.2 AEÉ-10, Doc 5.2, #12.2, #14.2, #15.1 and #18.2 12 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 Of the remaining six Regulated Programs, using neither the number of historical 2 participants nor the relative historical importance of each energy source by sector/sub- 3 sector as an allocation factor, the allocation factors for remuneration and operating 4 expenses of P/As 8022, 9010 and 9030 are based on the relative financial assistance 5 provided to the participants for each energy source22. For these three programs, this 6 approach is appropriate. For P/A 8022 (Greenhouse Energy Efficiency) there are a 7 number of sub-programs (Audit, Support and Implementation) each with a different level 8 of financial assistance23. It is reasonable to assume that programs with higher levels of 9 financial assistance will be more complex and require more support from AEÉ staff. 10 This same logic applies to P/As 9010 and 9030 where both programs involve providing 11 financial assistance to support various initiatives each of which is different in scope and 12 focus. 13 For P/As 2032 (Rénoclimat – Low Income Private) and 6020 (Equipment Regulation), 14 alternate allocation factors are used that better reflect the nature of the program. For 15 P/A 2032 the allocation factor was based on input from an external consultant regarding 16 the energy sources in the Low Income sector that would be affected by the planned 17 measures24. For P/A 6020, the allocation is based on the number of equipment units by 18 energy sources that that is likely to be affected by changes in regulation25. 19 Finally, for P/A 120, the use of the overall Québec energy balance appears to be a 20 “placeholder” until better information is available regarding the focus of the program26. 21 If better information is made available during the course of the current proceeding, then 22 is should be possible for the AEÉ to submit it and revise its proposed allocation 23 accordingly. Otherwise, use of the currently proposed allocation factor should be 24 adopted for the 2010-2011 Budget allocation. 22 AEÉ-10, Doc 5.2, #24.3.2; AEÉ-10, Doc 6, #42.1 and AEÉ-10, Doc 5.2, #32.2 AEÉ-4, Doc 2.3, page 18 24 AEÉ-10, Doc 10, #36.3 25 AEÉ-10, Doc 5.2, #8.1 26 AEÉ-10, Doc 10, #37.2 23 13 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 4.3 2 There are eight AEÉ program areas27 that are categorized as being in the design 3 phase. There is one “design” program for each major sectoral area (i.e., Regulation, 4 Residential, Business, Industry, Transport and New Technologies). There are also two 5 for the Multi-Sector area. One deals with sustainable urban development while the 6 other deals with building science28. 7 The five design programs that are specific to a sector involve the development of new 8 sector-specific programs that will eventually come into operation in future years. In 9 each case, the allocation factor is based on the relative costs of the different design Regulated Programs in the Design Phase 10 activities to be undertaken and the energy sources targeted by each29. 11 In the case of the two Multi-Sector program areas, the AEÉ’s Application indicates a 12 similar principle is followed. For P/A 7080 (Sustainable Urban Development) the 13 allocation factor is based on a 50/50 weighting of i) number of residential dwellings by 14 primary energy source and ii) proportion of light transport vehicles that consume diesel 15 and gasoline in Quebec’s fleet30. The AEÉ’s rationale is that the initiatives planned for 16 2010-2011 are primarily oriented towards the residential and light transport sectors31. 17 For P/A 1905 (Studies & Research), the allocation factor reflects the relative use of 18 different energy sources in buildings in the residential, business and industrial sectors32 19 based on Québec’s 2006 energy balance. 20 Comments 21 ECS’s only concern regarding the allocation factors used for these program areas is 22 with respect to P/A 7080 (Sustainable Urban Development). In its pre-filed description 23 of the program33, the AEÉ describes how Sustainable Urban Development is aimed at 24 defining a coherent approach to urban planning that will improve energy efficiency for 27 Per AEÉ-4, Doc 2.3 AEÉ-2, Doc 2 29 AEÉ-10, Doc 5.2, #20.1 30 AEÉ-10, Doc 5.2, #10.5 31 AEÉ-10, Doc 5.2, #10.3 32 AEÉ-10, Doc 5.2, #11.1 33 AEÉ-2, Doc 2, pages 10-11 28 14 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 buildings and transport, as well as on-site energy generation. However, there is nothing 2 in the Application, nor in response to the interrogatories requesting more detail 3 regarding the planned activities, that would suggest the focus is strictly residential 4 buildings as opposed to urban buildings generally. Indeed, the response to UMQ’s 5 questions34 suggests that the activities for 2010-2011 are looking at urban development 6 from an overall perspective. Unless more specifics are provided substantiating the 7 focus on the residential sector, a more appropriate allocation factor for 2010-2011 8 would be a 50/50 weighting of i) energy use in all urban buildings by energy source and 9 ii) the proportion of light transport vehicles that consume gasoline and diesel in 10 Quebec’s fleet. 11 4.4 12 There are three program areas that fall into this category35: Development of the 13 Comprehensive Plan (P/A 110); Consultations for the Comprehensive Plan (P/A 140) 14 and Régie Hearings (P/A 160). For purposes of allocating the costs associated with 15 P/As 110 and 160, the AÉE has developed an allocation factor (FD_GLOBAL QP_10- 16 11 P) which reflects the total costs by energy source for all Regulated Programs in the 17 operation, pilot or design phase36. Attachment 3 identifies the specific P/As included in 18 the allocation factor. For P/A 140 (Consultations for the Comprehensive Plan), the 19 allocation factor is based on the energy sources associated with the different sectoral 20 consultations37. 21 Comments 22 In principle, the allocation of the costs associated with the Development of the 23 Comprehensive Plan and the associated Régie Hearings should reflect the relative 24 benefits to be gained by each energy sector from the implementation of the Plan. As a 25 result, use of an allocation factor (such as FD_GLOBAL QP_10-11 P) which reflects the Programs Associated with the Development of the Comprehensive Plan 34 AEÉ-10, Doc 14, #3.1 AEÉ-10, Doc 5.2, Annexe 1.1 36 AEÉ-10, Doc 1, Annexe 2.1, page 10 (Note – The allocation factor shown on page 4 is also labelled FD_GLOBAL QP_10-11 but should have been labelled FD_PA_OPERATIONS_10-11) 37 AEÉ-10, Doc 5.2, #35.2 35 15 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 allocation by energy source of the Plan’s pilot and operational programs (i.e. those that 2 are having a direct effect on each energy sector) is a reasonable approach to use. 3 An alternative would have been to base the allocation factor (to the extent feasible) on 4 all of the programs included in the Plan for approval. Indeed, this is the approach that 5 the AEÉ appears to be taking based on its written evidence38 and responses to OC’s 6 interrogatories39. Under this approach the allocation factor would have also captured 7 the energy source allocation for the Complementary Activities of Monitoring (P/A 150) 8 and Customer Service (P/A 1055)40. In reality, there is not likely to be a material 9 difference between the two allocation approaches since these Complementary Activities 10 are allocated to energy sources based on the allocation factors that are driven largely 11 by the allocation of the costs of the programs used for FD_GLOBAL QP_10-11 P. 12 The only issue ECS has with the definition of the allocation factor actually proposed by 13 the AEÉ for purposes of allocating the costs of these two P/As (110 and 160) is that the 14 allocation factor includes P/A 140 – Consultation for the Comprehensive Plan. In ECS’s 15 view, this activity is an input to the development of the plan and should be considered 16 as comparable to the other costs included in P/A 110. As a result, its allocation should 17 not be used to determine the allocation of P/As 110 and 160. 18 Indeed, in the case of P/A 140 (Consultation for the Comprehensive Plan), it is not clear 19 why a different allocation factor is used for this particular activity. This activity 20 represents the costs of various consultations in support of designing the 21 Comprehensive Plan and has a budget of approximately $190,000. However, P/A 110 22 itself includes the costs of various studies and activities many of which could likely be 23 more directly attributed to energy sources and has total budget of almost $1.8 million41. 24 ECS questions the value of trying to more specifically allocate only a small portion of 25 the overall costs of Developing the Comprehensive Plan. ECS is also concerned that 26 the approach proposed for P/A 140 is not based on those energy sources (and 38 AEÉ-10, Doc 2.3, page 29 AEÉ-10, Doc 5.2, #34.3 40 Administration and Legal are excluded on the basis that they also support the Development of the Comprehensive Plan. 41 AEÉ-1, Doc 3 39 16 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 ultimately consumers) who will benefit from the proposed Comprehensive Plan. In 2 ECS’s view the costs for P/A 140 should be allocated using the same factor as is used 3 for P/As 110 and 160: FD_GLOBAL QP_10-11 P (excluding P/A 140). 4 See Attachment 4 for ECS’s recommendation as to the P/As that should be included in 5 the allocation factor for these three program areas. 6 4.5 7 There are four complementary activities (Monitoring System; Support for 8 Communications; Customer Service and Legal) and the AEÉ’s proposed allocation 9 factor for each is identified in Attachment 3. Programs Associated with Complementary Activities 10 Comments 11 The costs for the Monitoring System and the Customer Service program are allocated 12 based on the energy source allocation derived for all the operational and pilot phase 13 Regulated Programs in the Residential, Business, Industry, Transport and New 14 Technologies sectors. Despite requests from various parties42, there is minimal 15 information available as to what activities are associated with these two programs areas 16 other than they support the monitoring and delivery of programs for which there are 17 participants. In the absence of additional specific information, it is difficult to determine 18 whether the allocation factor used for these two P/As is appropriate. 19 Based on the information available, it is not immediately clear why Information & 20 Awareness (P/A 120) and Training & Education (P/A 130) were excluded from the 21 allocation factor. They both have “participants” in terms of 3rd parties involved with the 22 delivery of the programs. If the purpose of Monitoring is solely to track “individual” 23 participant’s activities and “savings”, then exclusion of these two P/As from its allocation 24 base can be explained. However, this does not explain the exclusion of these P/As 25 from the allocation base for Customer Service since, presumably, the related 3rd parties 26 will be interacting with the AEÉ. The AEÉ should be required to more clearly delineate 42 AÉE-10, Doc 1, #2.2 and AÉE-10, Doc 5.2, #36.1 & 42.1 17 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 the activities associated with these two P/As and how they are linked to the proposed 2 allocation factor. In the meantime, based on the available information, it would be 3 reasonable to include Information & Awareness (P/A 120) and Training & Education 4 (P/A 130) in the derivation of the allocation factor for Customer Service (P/A 1055). 5 The costs related to Support for Communications (P/A 121) are allocated using the 6 same allocation factor as for the Development of the Comprehensive Plan (i.e. 7 allocation factor FD_GLOBAL_QP 10-11 P)43. In response to an HQD interrogatory the 8 rationale offered for this approach was that the communications support constituted 9 activities related to the development, filing and study of the Comprehensive Plan44. 10 However, there are other descriptions45 of the activities associated with this program 11 area that suggest it provides communications support to all directorates (areas) of the 12 Agency and for general activities such as the Regulation Respecting the Distribution of 13 Information and the Protection of Personal Information. Based on these descriptions, it 14 would be more appropriate to allocate the cost for this P/A using a factor that reflects all 15 of the activities of the AEÉ – such as that ECS is proposing below for Administration 16 and Legal. 17 The costs associated with the Legal (P/A 1030) are allocated to energy sources based 18 on the energy source allocation of all the AEÉ’s P/As with the exception of the 19 Monitoring System, Customer Service, Legal, and Administration (see Attachment 3). It 20 is not clear why the energy source allocations associated with the Monitoring System 21 and Customer Service should be excluded from the allocation factor. Based on the 22 AEÉ’s descriptions46, the Legal program provides “legal” support for all the Agency’s 23 program areas and therefore there is no apparent reason to exclude these two. 24 Attachment 4 set out ECS’s recommendation as to the P/As that should be included in 25 the allocation factor for these four program areas. 43 AEÉ-4, Doc 2.3, page 35 AEÉ-10, Doc 1, #2.2 45 AEÉ-2, Doc 8, page 10 and AÉE-9, Doc 1, #3.1 46 AEÉ-2, Doc 8, page 11; AÉE-9, Doc 1, #3.1, AÉE-10, Doc 5.2, #41.3 and AÉE-10, Doc 1, #2.2 44 18 Evidence of William Harper 1 2 4.6 AEÉ 2010-2011 Budget R-3709-2009 Administration and Contingency 3 Administration costs (including spending on fixed assets47) are allocated to energy 4 sources based on the energy source allocation of all the AEÉ’s P/As with the exception 5 of the Monitoring System, Customer Service, Legal, and Administration (see 6 Attachment 3 – FD_GLOBAL_AEE 10-11 P). Contingency costs are allocated using the 7 same allocation factor as proposed for the Comprehensive Plan (FD_GLOBAL_QP 01- 8 11 P). 9 Comments 10 The response to HQD Interrogatory #2.248 sets out the components of allocation factor 11 FD_GLOBAL_AEE 10-11 P, which the AEÉ claims to have used for Administration 12 costs and which are summarized in Attachment 3. However, the pre-filed Application 13 suggests49 that Administration costs are pro-rated across the non-Administrative P/As 14 based on the number of FTEs associated with each. When initially asked to reconcile 15 this discrepancy, the AEÉ stated50 that the allocation factor used in the Application was 16 that set out in AÉE-4, Doc 2.3 (i.e., FD_GLOBAL_AEE 10-11 P) but that it was 17 requesting approval of the FTE approach described in AÉE-4, Doc 2 (pages 10-11). 18 The Régie Staff subsequently asked for further clarification and documentation of the 19 proposed method set out in AÉE-4, Doc 2. In its response51, the AEÉ indicated that 20 method described in AÉE-4, Doc 2 is consistent with that presented in AÉE-4, Doc 2.3 21 (i.e., FD_GLOBAL_AEE 10-11 P) and filed an Appendix purportedly setting out the 22 allocation method per AEÉ-4, Doc 2. 23 In ECS’s view there is still some confusion as to precisely what the AEÉ’s proposal is 24 for the allocation of Administration costs. Unfortunately the Appendix52 provided in 25 response to the Régie Staff interrogatory does not set out a separate allocation of 47 AEÉ-10, Doc 5.2, #6.5.2 AEÉ-10, Doc 1, Annexe 2.1 49 AEÉ-4, Doc 2, pages 10-11 50 AEÉ-10, Doc 5.2, #5.1 51 AEÉ-9, Doc 8, #1.1 & 1.2 and Annexe 1 52 AEÉ-9, Doc 8, Annexe 1 48 19 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 Administration costs but rather shows results that have embedded Administration costs 2 (along with the cost of Monitoring, Customer Service and Legal) in the remuneration 3 costs of the other P/As. Furthermore, the total Quota costs have changed from those 4 previously presented in the allocation tables53. As a result, it is difficult to determine if 5 the results presented are consistent with the allocation of Administration costs based on 6 FD_GLOBAL_AEE 10-11 P. Subject to further clarification, ECS has limited its 7 comments to the appropriateness of using FD_GLOBAL_AEE 10-11 P as the allocation 8 factor for Administration costs. 9 Administration includes functions such as Human Resources, Financial Services, Real 10 Estate and the Executive Office that support the AEÉ’s overall operation54. As a result, 11 there is no reason to exclude either the Monitoring System or Customer Service from 12 the allocation factor. 13 With respect to Contingency costs, the AÉE states that these are based on 1.2% of the 14 Agency’s overall budget55. As result, a more appropriate allocation factor for this cost 15 element would be one that reflects the allocation of all of the AÉE’s program costs to 16 energy sources. As a result, the allocation factor should also include Customer Service 17 (P/A 1055), Régie Hearings (P/A 160), Monitoring System (P/A 150) and Development 18 of the Comprehensive Plan (P/A 110). It is unnecessary to include either 19 Communications Support, Legal or Administration costs in the allocation base as 20 (based on ECS’s recommendations for these three P/As), they would also be pro-rated 21 using the costs from all of the other P/As. 22 5 23 5.1 24 As a general rule, the development of regulated rates and charges should be as 25 transparent as possible. Transparency facilitates the understanding of how charges are OTHER ISSUES Transparency 53 $98,778,315 (per AEÉ-1, Doc 5) versus $97,825,274 (per AEÉ-9, Doc 8, Annexe 1) AEÉ-9, Doc 1, #3.1 and AEÉ-10, Doc 1, #2.2 55 AEÉ-9, Doc 6, #40.1 54 20 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 developed and reduces the potential for controversy regarding future interpretation and 2 application of the underlying methodologies used to develop the rates and charges. 3 Overall, transparency fosters acceptability – since parties naturally find it difficult to 4 accept what they don’t understand. 5 However, in the case of the AEÉ’s cost allocation methodology, the definition and 6 development of the proposed allocation factors are not fully transparent. For many 7 allocation factors the only information available is a general description of the allocation 8 factor, a general description of the data sources used and the final percentages, by 9 energy source, as calculated by the AEÉ. In a number of instances interrogatories56 10 were posed requesting further details as to precisely how various allocation factors were 11 derived. However, the responses did not provide the requested information. ECS 12 understands that similar concerns were raised during the Working Group meetings 13 regarding the need for the AEÉ to fully document the determination of each of the 14 proposed allocation factors in terms of: i) the sources of the data used, ii) the actual 15 values employed, and iii) the formulae/calculations employed. 16 In future filings, the AEÉ should provide a more detailed description of each allocation 17 factor and schedules setting out precisely how they were derived, including the data 18 used and the sources of such data. 19 5.2 20 The AEÉ’s activities are funded by the Quota (which is approved by the Régie) and also 21 by funds received through the Green Fund and from the Federal Government57. The 22 funds from the latter two sources are used largely to funded specific initiatives. For 23 some common activities such as the Monitoring System58 and Customer Service59, it 24 appears that a portion of the overall cost of the activity is allocated to and recovered 25 from these other funding sources. However, for other common activities, such as Non-Quota Allocations 56 For examples see AEÉ-10, Doc 5.2, #8.1, #9.1, #10.5, #11.1, #20.1, #23.1, #26.1, #29.1, and #33.1 AEÉ-4, Doc 2, pages 6-7 58 AEÉ-10, Doc 5.2, #36.2 59 AEÉ-10, Doc 5.2, #42.2 57 21 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 Administration60, the treatment of the associated costs is not as clear. The lack of 2 clarity is partly due to the fact that the AEÉ is unwilling to provide the details regarding 3 its overall budget as opposed to just that funded by the Quota61. 4 As a matter of practice, when regulated entities also engage in non-regulated activities, 5 the Regulator typically reviews those instances where services are shared between the 6 regulated and non-regulated activities to ensure there is no cross-subsidization 7 occurring. To this end, some regulators have established guidelines as to how such 8 costs should be apportioned between the regulated and non-regulated “businesses” 9 when there is a sharing of common costs. 10 There is a direct parallel between such situations and the Régie’s need to approve the 11 Quota portion of the AEÉ’s overall budget. Furthermore, the Régie has recognized this 12 issue in previous decisions and acknowledged that it needs to examine the allocation of 13 administrative costs between regulated and non-regulated activities62. Indeed, in the 14 decision following AEÉ’S first Comprehensive Energy Efficiency Plan, the Régie 15 directed the AEÉ to file the necessary information in the current application63. 16 ECS recommends that the Régie require the AEÉ to specify, as part of its next 17 application, those common activities that support both Quota-funded and non-Quota 18 funded activities and clearly set out for each how the portion of the costs for activity that 19 is to be funded by the Quota is determined. Furthermore, if the allocation to the Quota 20 is not consistent with the methodology approved by the Régie for allocating the cost of 21 the Quota-funded portion to energy sources, the AEÉ should be required to identify and 22 explain the difference. 60 AEÉ-10, Doc 5.2, #43.1 AEÉ-9, Doc 1, #1.1 62 D-2009-018, page 28 63 D-2009-046, pages 51-52 61 22 Evidence of William Harper 1 6 2 3 CONCLUSIONS 6.1 AEÉ 2010-2011 Budget R-3709-2009 Cost Allocation Principles There is a degree of alignment between the AEÉ’s objectives and the application of 4 the user pay principle for purposes of cost allocation. On this basis, and given the 5 Régie’s direction in favour of direct cost allocation, the use of the user pay principle 6 is reasonable for purposes of allocating the AEÉ’s Quota costs to energy sources. 7 However, the same conclusion may not apply for purposes of allocating AEÉ’s costs 8 to consumers within each energy sector. 9 6.2 10 11 AEÉ’s Cost Allocation Methodology – Operational and Pilot Phase Regulated Programs The AEÉ’s proposed allocation factors for its Regulated Operational and Pilot Phase 12 programs are reasonable for purposes of allocating the 2010-2011 Quota Budget to 13 energy sectors. However, it should be possible to improve the factors in future 14 years as more information is available regarding the individual Programs. 15 16 6.3 AEÉ’s Cost Allocation Methodology – Regulated Programs in the Design Phase ECS’s only concern regarding the allocation factors used for these program areas is 17 with respect to P/A 7080 (Sustainable Urban Development). Unless more specifics 18 are provided substantiating the focus on the residential sector, a more appropriate 19 allocation factor for 2010-2011 would be a 50/50 weighting of i) energy use in all 20 urban buildings by energy source and ii) the proportion of light transport vehicles 21 that consume gasoline and diesel in Quebec’s fleet. 22 6.4 23 24 AEÉ’s Cost Allocation Methodology – Programs Associated with Development of the Comprehensive Plan In principle, the allocation of the costs associated with the Development of the 25 Comprehensive Plan and the associated Régie Hearings should reflect the relative 26 benefits to be gained by each energy sector from the implementation of the Plan. 27 As a result, use of the AEÉ’s FD_GLOBAL QP_10-11 P allocation factor, which 23 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 reflects the allocation by energy source of the Plan’s pilot and operational programs, 2 is a reasonable approach to use. 3 However, in ECS’s view Consultation for the Comprehensive Plan (P/A 140) should 4 not be included in the allocation factor. Rather, it too should be allocated to energy 5 sectors on the same basis as the P/As 110 and 160. Attachment 4 sets out the P/As 6 that should be used to allocate the costs for all three program areas associated with 7 the development of the Comprehensive Plan. 8 6.5 9 AEÉ’s Cost Allocation Methodology – Complementary Program Activities For the Monitoring System and Customer Service program areas there is a need 10 for the AEÉ to more clearly delineate the associated activities and how they are 11 linked to its proposed allocation factor (FD_PA_OPERATIONS). In meantime, 12 based on the information available, it would be reasonable to also include the 13 programs Information & Awareness (P/A 120) and Training & Education in the 14 derivation of the allocation factor for Customer Service. 15 16 17 Legal (P/A 1030) and Support for Communications (P/A 121) should be allocated using a broad based factor that reflects all of the activities of the AEÉ. Attachment 4 summarizes the P/As that should be included in the allocation factors 18 for each of these four program areas for purposes of allocating the 2010-2011 19 Quota Budget. 20 6.6 21 22 AEÉ’s Cost Allocation Methodology – Administration and Contingency These two program areas should also be allocated using a broad factor that reflects all of the activities of the AEÉ as set out in Attachment 4. 23 6.7 24 Transparency In future filings, the AEÉ should provide a more detailed description of each 25 allocation factor and schedules setting out precisely how they were derived, 26 including the data used and the sources of such data. 24 Evidence of William Harper 1 6.8 2 AEÉ 2010-2011 Budget R-3709-2009 Non-Quota Allocations The Régie should require the AEÉ to specify, as part of its next application, those 3 common activities that support both Quota-funded and non-Quota funded activities 4 and clearly set out for each how the portion of the costs for activity that is to be 5 funded by the Quota is determined. Furthermore, if the allocation to the Quota is 6 not consistent with the methodology approved by the Régie for allocating the cost 7 of the Quota-funded portion to energy sources, the AEÉ should be required to 8 identify and explain the difference. 9 25 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 ATTACHMENT 1 - ALLOCATION FACTORS FOR REMUNERATION AND OPERATING COSTS FOR REGULATED PROGRAMS IN OPERATION OR PILOT PHASE Program P/A # Allocation Factor Description Regulation Equipment Regulation Based on the types of equipment targeted for Federal regulation modification, allocation 6020 factors were developed that reflect the number of pieces by energy source Multi-Sector Sustainable Urban Dev 50/50 Weighting of a) number of buildings by primary energy source and b) number of light 7080 transport vehicles by fuel Residential Novoclimat I-Single F 2010 Historic participation over the 2007-2009 period by energy sector Novoclimat II-Single F 2011 Same as for P/A 2010 - difference in allocation values is due to rounding Novoclimat - Apart 2014 Historic participation over the 2007-2009 period by energy sector Novoclimat II-Apart 2015 Same as for P/A 2014 - difference in allocation values is due to rounding Renoclimat Renoclimat - LI Priv 2020 Historic participation over the 2007-2009 period by energy sector Weightings provided by consultant - reflects energy balance for LI households weighted 2032 according to applicable measures for each source Renoclimat - LI Comm 2033 Relative importance of light fuel oil and propane in Quebec co-op residences Econologis - II 2031 Historic participation over the 2007-2009 period by energy sector EEI - Inuit/FN 2034 Relative importance of each energy sector in Remote Communities Business Building Efficiency Building Renovation 3050 Relative importance of light fuel oil and propane in the business sector Relative importance of light fuel oil and propane in the business sector. Difference from P/A 4020 3050 due to rounding Industry Greenhouse Efficiency Energy Management Participants in each of the three sub-programs were based on number of consumers by energy source used for heating.. Allocation factors were weighted based on level of financial 8022 assistance provided in each sub-program Relative importance of each energy sector in the 2006 energy balance for the industrial sector 8030 of Quebec Transport Training-Light Vehicles 7020 Based on relative number of light transport vehicles that use gasoline vs. diesel Insp/Main-Light Vehicles 7030 Based on relative number of light transport vehicles that use gasoline vs. diesel Training-Heavy Vehicles 7050 Based on relative number of heavy transport vehicles that use gasoline and diesel New Technologies Energy Innov Assist Historic participation over the 2007-2009 period by energy sector - weighted by financial 9010 assistance provided Domestic Solar WH 9021 Residential hot water heating energy use Tech Innov Networking 9030 Based on anticipated financial assistance to be provided by energy source Common Activities Info & Awareness 1 Training & Education 120 Overall Quebec energy balance for 2006 Based on sub-program budget activities and the energy balance for each. Most significant 130 portion is for general consumer education and is based on overall Quebec energy balance 26 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 ATTACHMENT 2 - ALLOCATION FACTORS FOR FINANCIAL ASSISTANCE FOR REGULATED PROGRAMS IN OPERATION OR PILOT PHASE Program P/A # Treatment of Financial Assistance Regulation Equipment Regulation 6020 N/A 7080 N/A Multi-Sector Sustainable Urban Dev Residential Novoclimat I-Single F 2010 Participants by energy sector weighted by unit financial assistance Novoclimat II-Single F 2011 Number of Participants - Same unit financial assistance for all energy sources Novoclimat - Apart 2014 Participants by energy sector & by sub-sector weighted by unit financial assistance Novoclimat II-Apart 2015 N/A Renoclimat 2020 Participants by energy sector & by sub-sector weighted by unit financial assistance Renoclimat - LI Priv 2032 Number of Participants - Same unit financial assistance for all energy sources Renoclimat - LI Comm 2033 Number of Participants - Same unit financial assistance for all energy sources Econologis - II 2031 Number of thermostats by energy source weighted by unit financial assistance EEI - Inuit/FN 2034 Participants by energy sector weighted by unit financial assistance Business Building Efficiency 3050 Participants by energy sector and by sub-sector weighted by unit financial assistance Building Renovation 4020 Number of Participants [- Same financial assistance for all sub-sectors and energy sources Industry Greenhouse Efficiency Energy Management 8022 Participants by energy sector and by sub-sector weighted by unit financial assistance # of Participants - Same financial assistance for energy sources. However, special funding for 8030 3 large projects allocated to energy sources based on Industrial 2006 energy balance Transport Training-Light Vehicles 7020 Participants by energy source and sub-sector weighted by unit financial assistance Insp/Main-Light Vehicles 7030 Participants by energy source and sub-sector weighted by unit financial assistance Training-Heavy Vehicles 7050 N/A New Technologies Energy Innov Assist New projects based on financial assistance by energy source provided over the 2007-2009 9010 period. Existing projects allocated according to energy sources targeted Domestic Solar WH 9021 Participants by energy source and sub-sector weighted by unit financial assistance Tech Innov Networking 9030 Based on anticipated financial assistance to be provided by energy source Common Activities 1 Info & Awareness 120 N/A Training & Education 130 N/A 27 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 ATTACHMENT 3 - P/As USED FOR AEE's ALLOCATION FACTORS Program Name P/A # Category In FD_PA_Operatons In FD_Global_QP In FD_Global_AEE Regulation Equipment Regulation 6020 Operation Y Y Building Regulation 6010 Design Y Y Sustainable Urban Dev 7080 Design Y Y Studies & Research 1905 Design Y Y MultiSector Residential Novoclimat I-Single F 2010 Operation Y Y Y Novoclimat II-Single F 2011 Operation Y Y Y Novoclimat - Apart 2014 Operation Y Y Y Novoclimat II-Apart 2015 Operation Y Y Y Renoclimat 2020 Operation Y Y Y Renoclimat - LI Priv 2032 Operation Y Y Y Renoclimat - LI Comm 2033 Operation Y Y Y Econologis - II 2031 Operation Y Y Y EEI - Inuit/FN 2034 Operation Y Y Y Residential Design - Y Y Design Business 1 Building Efficiency 3050 Operation Y Y Y Building Renovation 4020 Operation Y Y Y Business Design - Y Y Design 28 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 Program Name P/A # Category In FD_PA_Operatons In FD_Global_QP In FD_Global_AEE Y Y Y Y Y Y Y Y Industry Energy Management Operation 8022 - Pilot Operation 8030 - Pilot Industry Design - Greenhouse Efficiency Design Transport Training-Light Vehicles Operation 7020 - Pilot Y Y Y Insp/Main-Light Vehicles 7030 Pilot Y Y Y Training-Heavy Vehicles 7050 Pilot Y Y Y Y Y Transport Design Design New Technologies 2 Energy Innov Assist 9010 Operation Y Y Y Domestic Solar WH 9021 Pilot Y Y Y Tech Innov Networking 9030 Operation Y Y Y New Technology Design - Y Y Design 29 Evidence of William Harper Program Name AEÉ 2010-2011 Budget R-3709-2009 P/A # Category In FD_PA_Operatons In FD_Global_QP In FD_Global_AEE Used For Y Y Y Used For Y Common Activities Regie Hearings 110 Design Operation 140 - for Plan Operation 150 - Compl Operation 160 - for Plan Info & Awareness 120 Operation Y Y 130 Operation Operation 121 - Compl Operation 1030 - Compl Operation 1055 - Compl Operation - Compl Y Y Used For Y Develop Compr Plan Consult for Compr Plan Monitoring System Training & Education Support for Commun Legal Customer Service Administration Contingency Notes: Used For Used for Used For Used for Used For Y - Means the P/A is included in the Allocation Factor Used For - Means the Allocation Factor is used to Allocate the cost for the P/A 1 30 Evidence of William Harper AEÉ 2010-2011 Budget R-3709-2009 1 ATTACHMENT 4 - ECS RECOMMENDATIONS RE ALLOCATION FACTORS FOR COMMON COSTS Program Name P/A # P/A 150, 1055, P/A 110, 140, 160 P/A 121, 1030, Administration and Contingency Regulation Equipment Regulation 6020 Y Y Building Regulation 6010 Y Y Sustainable Urban Dev 7080 Y Y Studies & Research 1905 Y Y MultiSector Residential Novoclimat I-Single F 2010 Y Y Y Novoclimat II-Single F 2011 Y Y Y Novoclimat - Apart 2014 Y Y Y Novoclimat II-Apart 2015 Y Y Y Renoclimat 2020 Y Y Y Renoclimat - LI Priv 2032 Y Y Y Renoclimat - LI Comm 2033 Y Y Y Econologis - II 2031 Y Y Y EEI - Inuit/FN 2034 Y Y Y Residential Design - Y Y Business 2 Building Efficiency 3050 Y Y Y Building Renovation 4020 Y Y Y Business Design - Y Y 3 31 Evidence of William Harper Program Name AEÉ 2010-2011 Budget R-3709-2009 P/A # P/A 150, 1055, P/A 110, 140, 160 P/A 121, 1030, Administration and Contingency Industry Greenhouse Efficiency 8022 Y Y Y Energy Management 8030 Y Y Y Industry Design - Y Y Transport Training-Light Vehicles 7020 Y Y Y Insp/Main-Light Vehicles 7030 Y Y Y Training-Heavy Vehicles 7050 Y Y Y Y Y Transport Design New Technologies Energy Innov Assist 9010 Y Y Y Domestic Solar WH 9021 Y Y Y Tech Innov Networking 9030 Y Y Y New Technology Design - Y Y Common Activities 1 Develop Compr Plan 110 Use For Y Consult for Compr Plan 140 Use For Y Monitoring System 150 Regie Hearings 160 Info & Awareness 120 Training & Education 130 Support for Commun 121 Use For Legal 1030 Use for Customer Service 1055 Administration Contingency - Notes: Y - Include in Allocation Factor Use For - Means the Allocation Factor is used to allocate the cost of the P/A Y Use For Use For Y Y (1055 Only) Y Y Y (1055 Only) Y Y Use For Y Use For Use For 32 APPENDIX A CV FOR ECS CONSULTANT 33 ECONALYSIS CONSULTING SERVICES William O. Harper Mr. Harper has over 25 years experience in the design of rates and the regulation of electricity utilities. While employed by Ontario Hydro, he has testified as an expert witness on rates before the Ontario Energy Board from 1988 to 1995, and before the Ontario Environmental Assessment Board. He was responsible for the regulatory policy framework for Ontario municipal electric utilities and for the regulatory review of utility submissions from1989 to 1995. Mr. Harper also coordinated the participation of Ontario Hydro (and its successor company Ontario Hydro Services Company) in major public reviews involving Committees of the Ontario Legislature, the Ontario Energy Board and the Macdonald Committee. He has served as a speaker on rate and regulatory issues for seminars sponsored by the APPA, MEA, EPRI, CEA, AMPCO and the Society of Management Accountants of Ontario. Since joining ECS, Mr. Harper has provided consulting support for client interventions on energy and telecommunications issues before the Ontario Energy Board, Manitoba Public Utilities Board, Québec’s Régie de l’énergie, British Columbia Utilities Commission, Saskatchewan Rate Review Panel and CRTC. He has also appeared before the Manitoba’s Public Utilities Board, the Manitoba Clean Environment Commission, the Ontario Energy Board and Quebec’s Régie de l’énergie. Bill is currently a member of the Ontario Independent Electricity System Operator’s Technical Panel. EXPERIENCE Econalysis Consulting Services- Senior Consultant 2000 to present Responsible for supporting client interventions in regulatory proceedings, including issues analyses & strategic direction, preparation of interrogatories, participation in settlement conferences, preparation of evidence and appearance as expert witness (where indicated by an asterix). Some of the more significant proceedings included: o o o o o o o o o o Electricity (Ontario) IMO 2000 Fees (OEB) Hydro One Remote Communities Rate Application 2002-2004 OEB - Transmission System Code Review (2003) OEB - Distribution Service Area Amendments (2003) OEB - Regulated Asset Recovery (2004) OEB - 2006 Electricity Rate Handbook Proceeding* OEB - 2006 Rate Applications by Various Electricity Distributors OEB - 2006 Guidelines for Regulation of Prescribed Generation Assets OEB -2007 Rate Applications by Various Electricity Distributors OEB- 2007 Cost of Capital and 2nd Generation Incentive Regulation Proceeding 34 o o o o OEB - Hydro One Networks 2007/2008 Transmission Rate Application OEB – 2008 Rate Applications by Various Electricity Distributors OEB - Hydro One Networks 2009/2010 Transmission Rate Application OEB – 2009 Rate Applications by Various Electricity Distributors Electricity (British Columbia) o BC Hydro IPP By-Pass Rates o BC Hydro Heritage Contract Proposals o BC Hydro’s 2004/05; 2005/06; 2007/09 and 2008/10 Revenue Requirement Applications o BC Hydro’s CFT for Vancouver Island Generation – 2004 o BC Hydro’s 2005 Resource Expenditure and Acquisition Plan o BC Hydro’s 2006 Residential Time of Use Rate Experiment Application o BC Hydro’s 2006 Integrated Electricity Plan o BC Hydro’s 2007 Rate Design Application o BC Hydro’s 2008 Residential Inclining Block Rate Application o BC Transmission Corporation – Open Access Transmission Tariff Application 2004 o BCTC’s 2005/06; 2006/07 and 2008/10 Revenue Requirement Applications o BCTC’s – 2005 Vancouver Island Transmission Reinforcement Project o BCTC’s – 2007 Interior-Lower Mainland Transmission Application o Fortis BC’s 2005 Revenue Requirement and System Development Application o Fortis BC’s 2006; 2007, 2008, 2009 and 2010 Revenue Requirement Applications o Fortis BC’s 2007/08 and 2009/10 Capital Plan and System Development Plans o FortisBC’s 2007 Rate Design Application o Fortis BC’s 2009 Cost Allocation and Rate Design Application Electricity (Quebec) o Hydro Québec-Distribution’s 2002-2011 Supply Plan* o Hydro Quebec-Distribution’s 2002-2003 Cost of Service and Cost Allocation Methodology* o Hydro Québec - Distribution’s 2004-2005 Tariff Application* o Hydro Québec - Distribution’s 2005/2006 Tariff Application* o Hydro Québec - Distribution’s 2005-2014 Supply Plan* o Hydro Québec - Distribution’s 2006/2007 Tariff Application* o Hydro Québec - Transmission’s 2005 Tariff Application* o Hydro Québec - Distribution’s 2006 Interruptible Tariff Application o Hydro Québec - Distribution’s 2006 Cost Allocation Work Group o Hydro-Québec - Transmission’s 2007 Tariff Application o Hydro-Québec - Distribution’s 2007/08 Tariff Application* o Hydro-Québec - Transmission’s 2008 Tariff Application o Hydro-Québec - Distribution’s 2008/09 Tariff Application* o Hydro Québec - Distribution’s 2008-2017 Supply Plan o Hydro-Québec - Transmission’s 2009 Tariff Application o Hydro-Québec - Distribution’s 2009/10 Tariff Application* 35 o o o o o o o o o Electricity (Manitoba) Manitoba Hydro’s Status Update Re: Acquisition of Centra Gas Manitoba Inc.* Manitoba Hydro’s Diesel 2003/04 Rate Application Manitoba Hydro’s 2004/05 and 2005/06 Rate Application* Manitoba Hydro/NCN NFAAT Submission re: Wuskwatim* Manitoba Hydro’s 2005 Cost of Service Methodology Submission* Manitoba Hydro’s 2007 Rate Adjustment Application Manitoba Hydro’s 2008 General Rate Application* Manitoba Hydro’s 2008 Energy Intensive Industry Rate Application Manitoba Hydro’s 2009 Rate Adjustment Application Electricity (Saskatchewan) o Saskatchewan Power’s 2008 Cost Allocation Methodology Review o o o o Natural Gas Distribution Enbridge Consumers Gas 2001 Rates BC Centra Gas Rate Design and Proposed 2003-2005 Revenue Requirement Rate of Return on Common Equity (BCUC) Terasen Gas (Vancouver Island) LNG Storage Project (2004) Telecommunications Sector o Access to In-Building Wire (CRTC) o Extended Area Service (CRTC) o Regulatory Framework for Small Telecos (CRTC) Other o Acted as Case Manager in the preparation of Hydro One Networks’ 2001-2003 Distribution Rate Applications o Supported the implementation of OPG’s Transition Rate Option program prior to Open Access in Ontario o Prepared Client Studies on various issues including: o The implications of the 2000/2001 natural gas price changes on natural gas use forecasting methodologies. o The separation of electricity transmission and distribution businesses in Ontario. o The business requirements for Ontario transmission owners/operators. o Various issues associated with electricity supply/distribution in remote communities o Member of the OEB’s 2004 Regulated Price Plan Working Group o Member of the OEB’s 2005/06 Cost Allocation Technical Advisory Team o Member of the OEB’s 2008 3rd Generation Incentive Regulation Working Group o Member of the IESO Technical Panel (April 2004 to Present) 36 Hydro One Networks Manager - Regulatory Integration, Regulatory and Stakeholder Affairs (April 1999 to June 2000) Supervised professional and administrative staff with responsibility for: o providing regulatory research and advice in support of regulatory applications and business initiatives; o monitoring and intervening in other regulatory proceedings; o ensuring regulatory requirements and strategies are integrated into business planning and other Corporate processes; o providing case management services in support of specific regulatory applications. Acting Manager, Distribution Regulation since September 1999 with responsibility for: o coordinating the preparation of applications for OEB approval of changes to existing rate orders; sales of assets and the acquisition of other distribution utilities; o providing input to the Ontario Energy Board’s emerging proposals with respect to the licences, codes and rate setting practices setting the regulatory framework for Ontario’s electricity distribution utilities; o acting as liaison with Board staff on regulatory issues and provide regulatory input on business decisions affecting Hydro One Networks’ distribution business. Supported the preparation and review before the OEB of Hydro One Networks’ Application for 1999-2000 transmission and distribution rates. Ontario Hydro Team Leader, Public Hearings, Executive Services (Apr. 1995 to Apr. 1999) Supervised professional and admin staff responsible for managing Ontario Hydro’s participation in specific public hearings and review processes. Directly involved in the coordination of Ontario Hydro’s rate submissions to the Ontario Energy Board in 1995 and 1996, as well as Ontario Hydro’s input to the Macdonald Committee on Electric Industry Restructuring and the Corporation’s appearance before Committees of the Ontario Legislature dealing with Industry Restructuring and Nuclear Performance. Manager – Rates, Energy Services and Environment (June 1993 to Apr. 95) Manager – Rate Structures Department, Programs and Support Division (February 1989 to June 1993) Supervised a professional staff with responsibility for: o Developing Corporate rate setting policies; o Designing rates structures for application by retail customers of Ontario Hydro and the municipal utilities; o Developing rates for distributors and for the sale of power to Hydro’s direct industrial customers and supporting their review before the Ontario Energy Board; 37 o Maintaining a policy framework for the execution of Hydro’s regulation of municipal electric utilities; o Reviewing and recommending for approval, as appropriate, municipal electric utility submissions regarding rates and other financial matters; o Collecting and reporting on the annual financial and operating results of municipal electric utilities. Responsible for the development and implementation of Surplus Power, Real Time Pricing, and Back Up Power pricing options for large industrial customers. Appeared as an expert witness on rates before the Ontario Energy Board and other regulatory tribunals. Participated in a tariff study for the Ghana Power Sector, which involved the development of long run marginal cost-based tariffs, together with an implementation plan. Section Head – Rate Structures, Rates Department November 1987 to February 1989 With a professional staff of eight responsibilities included: o Developing rate setting policies and designing rate structures for application to retail customers of municipal electric utilities and Ontario Hydro; o Designing rates for municipal utilities and direct industrial customers and supporting their review before the Ontario Energy Board. Participated in the implementation of time of use rates, including the development of retail rate setting guidelines for utilities; training sessions for Hydro staff and customers presentations. Testified before the OEB on rate-related matters. Superintendent – Rate Economics, Rates and Strategic Conservation Department February 1986 to November 1987 Supervised a Section of professional staff with responsibility for: o Developing rate concepts for application to Ontario Hydro’s customers, including incentive and time of use rates; o Maintaining the Branch’s Net Revenue analysis capability then used for screening marketing initiatives; o Providing support and guidance in the application of Hydro’s existing rate structures and supporting Hydro’s annual rate hearing. Power Costing/Senior Power Costing Analyst, Financial Policy Department April 1980 to February 1986 Duties included: o Conducting studies on various cost allocation issues and preparing recommendations on revisions to cost of power policies and procedures; o Providing advice and guidance to Ontario Hydro personnel and external groups on the interpretation and application of cost of power policies; o Preparing reports for senior management and presentation to the Ontario Energy Board. 38 Participated in the development of a new costing and pricing system for Ontario Hydro. Main area of work included policies for the time differentiation of rates. Ontario Ministry of Energy Economist, Strategic Planning and Analysis Group April 1975 to April 1980 Participated in the development of energy demand forecasting models for the province of Ontario, particularly industrial energy demand and Ontario Hydro’s demand for primary fuels. Assisted in the preparation of Ministry publications and presentations on Ontario’s energy supply/demand outlook. Acted as an economic and financial advisor in support of Ministry programs, particularly those concerning Ontario Hydro. EDUCATION Master of Applied Science – Management Science University of Waterloo, 1975 Major in Applied Economics with a minor in Operations Research Ontario Graduate Scholarship, 1974 Honours Bachelor of Science University of Toronto, 1973 Major in Mathematics and Economics Alumni Scholarship in Economics, 1972 39