BEFORE THE NEW MEXICO PUBLIC REGULATION COMMISSION

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BEFORE THE NEW MEXICO PUBLIC REGULATION COMMISSION IN THE MATTER OF SOUTHWESTERN PUBLIC SERVICE COMPANY S APPLICATION REQUESTING: ( ISSUANCE OF A CERTIFICATE OF PUBLIC CONVENIENCE AND NECESSITY AUTHORIZING CONSTRUCTION AND OPERATION OF WIND GENERATION AND ASSOCIATED FACILITIES, AND RELATED RATEMAKING PRINCIPALS INCLUDING AN ALLOWANCE FOR FUNDS USED DURING CONSTRUCTION FOR THE WIND GENERATION AND ASSOCIATED FACILITIES; AND ( APPROVAL OF A PURCHASED POWER AGREEMENT TO OBTAIN WIND-GENERATED ENERGY. SOUTHWESTERN PUBLIC SERVICE COMPANY, APPLICANT. CASE NO. -000-UT DIRECT TESTIMONY DAVID T. HUDSON on behalf SOUTHWESTERN PUBLIC SERVICE COMPANY

TABLE OF CONTENTS GLOSSARY OF ACRONYMS AND DEFINED TERMS... iii LIST OF ATTACHMENTS... v VERIFICATION... ii

GLOSSARY OF ACRONYMS AND DEFINED TERMS Acronym/Defined Term Bonita Commission Hale or Hale Wind Project Invenergy IRS MW MWh NextEra PPA PTC PUCT Sagamore or Sagamore Wind Project SPP SPS SPS Wind Facilities Meaning Bonita Wind Energy, LLC New Mexico Public Regulation Commission A MW wind facility located in Hale County, Texas Invenergy, LLC Internal Revenue Service Megawatt Megawatt-hour NextEra Energy Resources, LLC Power Purchase Agreement Production Tax Credit Public Utility Commission Texas A MW wind facility located in Roosevelt County, New Mexico Southwest Power Pool, Inc. Southwestern Public Service Company, a New Mexico corporation Sagamore Wind Project and Hale Wind Project iii

Acronym/Defined Term Vestas Xcel Energy Meaning Vestas-America Wind Technology, Inc. Xcel Energy Inc. iv

LIST OF ATTACHMENTS Attachment DTH- Description Qualifications and Testimony List (Filename: DTH-.doc v

0 Q. Please state your name, job title, and business address. A. My name is. I am President Southwestern Public Service Company, a New Mexico corporation ( SPS. My business address is 00 S. Tyler Street, Suite 00, Amarillo, Texas 0. SPS is a wholly-owned subsidiary Xcel Energy Inc. ( Xcel Energy. Q. Why are you providing testimony in this case? A. I am testifying to explain that SPS has an opportunity to save our customers approximately $. billion in customer cost savings over the next three decades by acquiring, developing, and owning wind energy resources and entering into a new long-term wind energy purchase agreement. In particular, SPS is proposing to acquire, develop, and own two wind facilities, which enables SPS to take advantage the federal Production Tax Credits ( PTC associated with those facilities. Collectively, the two facilities will have a total,000 megawatts ( MW nameplate wind energy capability, and SPS proposes to enter into an Attachment DTH- summarizes my education, experience, and other qualifications. As described further below in my testimony, the $. billion net cost savings to customers is composed $. billion avoided fuel and energy cost and production tax credit savings, less the $. billion cost the new wind facilities, all measured on a nominal cost basis. The $. billion includes the carrying charges, operations and maintenance costs, taxes and other expenses associated with operating the wind facilities, including the purchased energy costs for the Bonita Purchase Power Agreement.

0 agreement to purchase another 0 MW output from a wind generating facility owned by a third party, for a total,0 MW incremental wind energy. The magnitude this proposal creates a double-edged sword for SPS and its customers. On the one hand, the combined transactions are large enough that they will provide billions dollars energy cost savings for customers over the lives the facilities. But on the other hand, the size the investment necessary to secure those billions dollars in savings makes the project too risky for SPS to undertake without the certainty SPS requests in this case from the New Mexico Public Regulation Commission ( Commission. If SPS receives that certainty, it can seize this opportunity to lock in lower energy prices that will benefit SPS s customers and the regional economy for decades to come. Q. Is SPS s proposal designed to foster the development renewable energy at the expense other, more economical forms power? A. No. It is crucial to understand that SPS s proposal is not about trying to prefer one form generation over another. SPS is pursuing this investment for the economic benefit its customers. As I will explain later, the availability the PTCs means that SPS can generate the wind energy cheaper than it can generate energy from coal or natural gas units. One can debate whether wind energy should have such preferential tax treatment, but for the next few years, it does.

0 SPS is prudently pursuing this Steel for Fuel strategy for the benefit its customers. And we would not be serving our customers well if we did not try to take advantage that tax treatment to lower the cost energy for our customers. Q. With that background explaining the context in which SPS brings this case, please explain the particular transactions at issue. A. On March, 0, SPS entered into an agreement with Invenergy, LLC ( Invenergy to acquire a site in Roosevelt County, New Mexico that is suitable for a wind generating facility ( Sagamore. The Sagamore site currently consists raw land and a small number improvements that Invenergy had made in preparation for construction a wind generating facility. If SPS receives the regulatory approvals it seeks from this Commission and the Public Utility Commission Texas ( PUCT, SPS will install turbines at the site, creating a nameplate capacity MW for the facility when it begins commercial operation in 00. Once commercially operational, the service life Sagamore is projected to be years. On March, 0, SPS also entered into an agreement with NextEra Energy Resources, LLC ( NextEra to acquire a wind site in Hale County, Texas that is suitable for a wind generating facility ( Hale. Like Sagamore, the site currently consists raw land and a small number improvements that NextEra

had made in preparation for construction a wind generating facility. If SPS receives the regulatory approvals it seeks from this Commission and the PUCT, SPS will install turbines at Hale, creating a nameplate capacity MW for the facility when it begins commercial operation in 0. commercially operational, the service life Hale would also be years. Once 0 As part that same transaction with NextEra, SPS entered into a Power Purchase Agreement ( PPA with Bonita Wind Energy, LLC, ( Bonita, a NextEra subsidiary. The Bonita PPA project will enable SPS to purchase electrical energy from two wind facilities located near Lubbock, Texas. The first site (Phase I is an 0 MW project located in northwestern Crosby County, near the towns Lorenzo and Ralls. The second site (Phase II is a 0 MW project located in Cochran County west Lubbock and along the New Mexico border. The Bonita PPA has a term 0 years. In this testimony, I will refer to Sagamore and Hale collectively as the SPS Wind Facilities. That term does not include the Bonita facilities.

Q. Do you have a map showing where the SPS Wind Facilities and the Bonita facilities are relative to SPS s service area? A. Yes. Figure DTH- is a map that shows the locations the Sagamore and Hale projects and the two sites that make up the Bonita PPA project. Figure DTH-

0 0 Sagamore will tap directly into an existing SPS kilovolt transmission line from SPS s Tolk Station to the Eddy County substation, whereas Hale will tap into SPS s TUCO substation just north Abernathy, Texas. Q. Are the SPS Wind Facilities expected to be productive? A. Yes. Sagamore is expected to have a.% net capacity factor production rate, given the significant natural wind resources available at the site and the use the latest Vestas-America Wind Technology, Inc. ( Vestas turbine technology. Hale is expected to have a.0% net capacity factor production rate given the significant natural wind resources available at the site and the use the latest turbine technology fered by Vestas. Q. What relief is SPS seeking from the Commission in this proceeding? A. SPS requests that the Commission grant thefollowing relief in this case:. Find it is in the public interest and consistent with Sections -- (A( and -- the Public Utility Act for SPS to develop the SPS Wind Facilities;. Issue a Certificate Public Convenience and Necessity authorizing the construction, operation, and maintainance the SPS Wind Facilities;. Given the unique savings provided by this large investment, SPS asks the Commission to approve SPS s proposal to recover costs for Sagamore between the date the project begins commercial operation

0 0 and the date the project is included in rate base in a Commission rate case;. As part that recovery costs for Sagamore for the period before it is included in rate base, SPS requests that the Commission allow unused PTCs to be recorded in a deferred tax asset that will be included in rate base;. SPS requests that the Commission approve an energy-based methodology to allocate the costs Hale and Sagamore among jurisdictions;. SPS requests that the Commission approve the depreciation rates for the SPS Wind Facilities discussed in the testimony SPS witness Evan D. Evans;. For purposes calculating SPS s base rate revenue requirement during the period between the date that the SPS Wind Facilities are included in rate base and December, 0, SPS asks the Commission to find that SPS may include in rate base the deferred tax asset that results from unused PTCs;. SPS asks the Commission to approve SPS s proposal to flow the value the PTCs to customers through SPS s fuel and purchased power cost adjustment clause after the SPS Wind Facilities are included in rate base;. Approve SPS s proposal to treat the revenue from the sale Renewable Energy Certificate generated from the SPS Wind Facilities as f-system sales in which SPS retains 0% the margins; Net operating losses will likely prevent SPS from using the PTCs to reduce its tax liability for some period time after the SPS Wind Facilities begin commercial operation. If and when any capacity is attributed to Hale and Sagamore by the Southwest Power Pool ( SPP, SPS will allocate the capacity portion the wind energy costs based on demand allocation. Initially, these wind projects will be classified by the SPP as energy resources.

0 0 0. Find that SPS s tranactions with an affiliate, Capital Services, LLC to purchase turbines for the SPS Wind Facilities is reasonable Class I transaction under Section --(B( the Public Utility Act and Commission Rule..0 NMAC;. Find that it is reasonable and consistent with Commission Rule.. NMAC for SPS to enter into the Bonita PPA; and. To enable SPS to complete construction the SPS Wind Facilities in time to meet the deadline for claiming 00% the value the PTCs for the benfit customers, SPS asks the Commission to approve a procedural schedule that will allow SPS to obtain a final order as soon as practicable, but not later than December, 0. Mr. Evans discusses these requests in more detail in his direct testimony. Q. Are all those requests for relief important to SPS? A. Yes. All those requests for relief are necessary to provide SPS with the certainty it needs to move forward with the development Sagamore and Hale and to enter into the agreement to purchase energy under the Bonita PPA. SPS has analyzed the economics the SPS Wind Facilities and the Bonita PPA carefully, and all these approvals are inter-related and necessary for the projects to be viable. Q. Are you suggesting that SPS is unlikely to move forward if it does not receive all the approvals it is requesting? A. Yes. Without the Commission s approval on all those issues, SPS is likely to invoke the contractual provisions that allow it to terminate the deals if it does not

0 receive the regulatory approvals necessary to support this level investment. Although we want to reduce energy costs for the benefit our customers and to bolster the economies our communities by reducing energy costs and developing projects that are expected to create local and regional jobs, and increase property tax base, it will be very difficult for the company s investors to absorb the financial risk this venture without certainty on all the issues we re asking the Commission to decide. Although these proposed transactions present an exciting opportunity to reduce costs for our customers and produce numerous other economic benefits in the region, they will require a substantial capital outlay by SPS. There needs to be symmetrical treatment when the substantial fuel cost savings accrue to customers through the fuel cost recovery mechanism, versus when customers start paying for the cost to achieve those savings. As Mr. Evans testifies in his direct testimony, if SPS does not get cost recovery on and investment in the first year operation this has a dramatic drag on SPS s rate return and financial performance. Customers will get substantial amounts free energy, and utility shareholders will be forced to pay the return on and the facilities until they are placed in base rates. I do not believe this is balanced and reasonable.

0 Q. What is the capital outlay that SPS expects to make in connection with the transactions? A. The development Sagamore and Hale alone will require SPS to invest approximately $. billion (including allowance for funds used during construction, which is roughly 0% SPS s 0 total company net rate base. SPS is willing to make that significant investment for the benefit its service area customers, but to do so it needs assurances from the Commission and the PUCT regarding how the ultimate prudent level costs will be treated. As I testified earlier, it is simply too risky for SPS to make a capital investment that magnitude without certainty about the recovery those costs and about the ratemaking treatment other issues. Q. You testified earlier that, although the transactions at issue in this case involve renewable energy, this proposal is not just a way to promote renewable energy. Can you expand on that statement? A. Yes. Although Xcel Energy is an industry leader in the development and use renewable energy, the SPS Wind Facilities and the Bonita PPA are grounded in economics, not on an energy policy promoting any particular fuel type. The projects will provide the usual environmental benefits creating zero emissions and conserving precious water resources, but their most important attribute is that 0

0 they allow us to save money for our customers. The stable price these resources provides protection against future volatility in natural gas markets, and the cost energy in SPS s proposed portfolio wind projects is lower than the costs natural gas and coal energy costs. For example, the Bonita PPA pricing starts at $.0 per megawatt-hour ( MWh in 0 and escalates at % per year for 0 years. The levelized cost energy for the SPS Wind Facilities is $. over years. Both the SPS Wind Facilities and the Bonita PPA are cheaper than SPS s 0 average coal fuel cost $0.0 per MWh and the projected 00 average coal fuel cost $0. per MWh. And course, they are far cheaper than SPS s projected cost natural gas generation, which is $.0 per MWh in 0 and $.0 per MWh in 00. From a long-term perspective, SPS s acquisition the SPS Wind Facilities and the entry into the Bonita PPA look even more impressive. As I noted earlier, the total investment to acquire the Hale and Sagamore sites, to construct the turbines, and to bring the wind farms online is estimated to be approximately $. billion. As explained by SPS witness Jonathan Adelman, however, the facilities will deliver $. billion in total customer savings over 0 The Bonita PPA project can start production as early as the th quarter 0.

years. Indeed, as shown in Figure DTH-, in some the early years the price the energy is actually negative due to the significant savings from the PTCs: Figure DTH- Thus, this portfolio projects provide a tremendous value to our customers, even if one places no value whatsoever on the more indirect benefits conserving the area s limited water resources, producing no air or water emissions, creating the These savings are net the incremental wind costs and measured on a nominal cost basis.

local tax base, creating jobs, and allowing land to remain in agricultural use, thereby supporting a primary industry in our regional economy. Q. Can you generally explain how you arrived at the $. billion in net savings to customers? A. Yes. The total nominal cost the entire portfolio is $. billion over 0 years. The gross energy savings (fuel, other purchased energy and variable operations and maintenance expenses are $. billion. The net these two values is $. billion, as shown in Figure DTH-. Figure DTH- 0

0 Q. Could SPS achieve these same levels savings by entering into additional PPAs for wind energy, instead acquiring and developing the SPS Wind Facilities? A. For several reasons, I don t believe we could. For a number years SPS has purchased wind energy under long-term purchased power agreements, and SPS currently acquires approximately, MW nameplate wind energy under long-term PPAs. SPS does not directly receive the benefit all the PTCs associated with those facilities, however. The only way SPS can directly receive the benefit the PTCs, and ensure those benefits are passed on to customers, is to develop and own the wind facilities. To help visually demonstrate the significant savings the PTCs produce, Figure DTH- (next page models the revenue requirement the SPS Wind Facilities compared to the PTC value. As you can see, the PTCs create tremendous savings when compared to the overall costs the project. SPS s ownership the project ensures customers receive those savings.

Figure DTH- Second, even if we insisted that an independent power producer effectively pass through the PTC benefit in the form lower prices, I still believe that third-party PPAs would be more expensive. All else being equal, independent power producers will insist on a higher return on investment than what utility commissions award utilities to compensate the independent power producers for what they perceive as higher risk. Moreover, if SPS builds the facilities, the Commission can examine the project for prudency and disallow any

0 costs that are deemed imprudent. There is far less transparency with third-party facilities. Third, Xcel Energy has been the nation s number one utility wind provider for years running and in recent years has developed an expertise in identifying and developing wind generation facilities. Xcel Energy affiliates currently own wind generating facilities in Minnesota, North Dakota, and Colorado, and we are building even more wind facilities. With that experience and expertise in delivering renewable energy on the SPS transmission system, we believe that we can build and operate wind facilities more economically than other developers can. We will also have control the facilities near the end the asset s life to obtain additional economic value for customers. Q. Given those reasons, why doesn t SPS develop and own all the,0 MW wind nameplate capacity, rather than entering into a PPA for 0 MW capacity? A. There are two independent reasons. First, the Bonita PPA is an outgrowth SPS s negotiations with NextEra to purchase the Hale site. NextEra proposed splitting the ownership Hale such that SPS would own part the site and NextEra would own part the site and sell the output from its share the site to SPS under a PPA. SPS preferred to own all the Hale site, and was willing to

0 consider an economic PPA at a different location. The result negotiations was that SPS would acquire and own wind generation on the entire Hale site and NextEra would develop the Bonita project and sell that output to SPS under a PPA. SPS witness Tim Kawakami provides additional information about the negotiations leading to the Bonita PPA. Second, the $. billion investment we are proposing to make would have grown even more if SPS had purchased another site or sites with 0 MW nameplate capacity. Because $. billion is such a significant fraction SPS s total invested capital, it didn t seem prudent to try to absorb any more investment at this time. We have developed a package new resources, geographically in an opportune location, that will provide material energy savings to customers. Q. You have referred several times to the PTCs. How did the availability and timing PTCs affect the transactions at issue in this proceeding? A. On December, 0, the Omnibus Appropriations Act was signed into law. That law includes a five-year extension the PTCs for wind and other eligible renewable energy projects. Although the PTC was extended for five years, the credit percentage began to decline after December, 0. Eligible projects that meet Internal Revenue Service ( IRS safe harbor requirements for beginning construction, i.e., expenditures % the total project cost by December,

0 0 and in service by December, 00, will qualify for the 0 PTC level 00%. On May, 0, the IRS updated its safe harbor guidance to enable a facility that is in-service by year-end 00 to qualify for the PTCs at the 00% level. This was a material change in guidance from the IRS. Q. How did this revised guidance affect SPS s plans with respect to the SPS Wind Facilities? A. SPS had been exploring the possibility acquiring wind generating facilities to take advantage the PTCs for the benefit customers. When the IRS modified the required in-service date from two years to four years, SPS realized it had an opportunity to create savings for its customers, but it needed to act quickly to ensure that it could meet the begin construction standard by the end 0 to secure 00% the PTCs. As discussed by SPS witness Tim Kawakami, SPS quickly surveyed available wind projects in the southern region the SPS network. SPS focused on the southern region its service area because the northern region already has high wind penetration, a majority SPS s load is in its southern region, and the north-south transmission constraint on SPS s system leads to higher locational marginal costs in the southern region and adding economic wind facilities in the southern region would enable SPS to maximize customer savings.

0 Q. What actions did Xcel Energy take to secure 00% available PTCs? A. In 0, Xcel Energy subsidiary Capital Services, LLC entered into an agreement with Vestas that established terms under which Xcel Energy subsidiaries, such as SPS, may contract to purchase wind turbines for construction new wind generation facilities. In order to secure the full benefit the PTC for potential wind projects Xcel Energy subsidiaries, Capital Services, LLC made deposits towards the purchase wind turbine components under the contract in 0. As a subsidiary Xcel Energy, SPS can purchase wind turbines for construction Hale and Sagamore, thereby securing the full benefits the PTCs. Q. What is the effect on customers if instead the safe harbor is secured for an 0% PTC instead a 00% PTC? A. As detailed in the testimony SPS witness Jonathan Adelman, if the Commission approves the SPS Wind Facilities, our customers are expected to save $. billion, net all costs, over a 0-year planning horizon by taking advantage the 00% PTC benefit. At the 0% PTC benefit, customers would be forgoing approximately $ million these savings. In order for SPS to meet the first the safe harbor requirements prior to the end calendar year 0, it was necessary to make significant progress on the SPS Wind Facilities by December, 0.

0 Q. Are there any other requirements to secure 00% the PTC? A. Yes. Even though SPS has met the first the safe harbor requirements prior to the end calendar year 0, the eligible projects must be commercially operational by the end calendar year 00. If an eligible project meets the safe harbor provisions but is not constructed and operational by the end calendar year 00, the developer (SPS is not eligible for 00% the PTC. Q. What is the projected PTC value that will be credited to fuel cost recovery? A. The PTC is currently $ per MWh but escalates each year based on an IRS inflation factor. We expect the PTC to be $ per MWh in the 0-00 time frame when the SPS Wind Facilities commence commercial operations. All that significant credit to fuel expense will benefit SPS s customers. The total nominal savings due just to the PTC credit to customers is $. billion on a total company basis. Q. Have you prepared a graph showing the incremental cost savings and incremental costs the proposed SPS Wind Facilities? A. Yes. Figure DTH- (next page shows the incremental costs per MWh versus the incremental cost savings by year. The difference in the two lines is the savings that were being produced for the benefit SPS s New Mexico and Texas 0

customers. It shows that the wind energy is very economical, especially in the first ten years when the PTCs are generated and credited to customers. Figure DTH- Q. Does this conclude your pre-filed direct testimony? A. Yes.

Attachment DTH- Page QUALIFICATIONS AND PRIOR TESTIMONY OF DAVID T. HUDSON My name is. I am filing testimony on behalf Southwestern Public Service Company, a New Mexico corporation ( SPS and wholly-owned electric utility subsidiary Xcel Energy Inc. ( Xcel Energy. I am employed by SPS as President. My duties as President SPS include overall responsibility for the operations SPS, including customer and community relations, quality service, communications, legislative relations, media relations, regulatory administration, and financial performance. I graduated Cum Laude from Texas Tech University in December, receiving a Bachelor Science degree in Industrial Engineering. In May 0, I graduated from West Texas State University (now known as West Texas A&M University, receiving a Master Business Administration degree. Since graduating from Texas Tech University in, I have been doing cost--service, rate, and regulatory work for SPS, New Century Services, Inc., and Xcel Energy Services Inc., the service company subsidiary Xcel Energy. I have served in numerous capacities within those companies, including: Rate Engineer; Supervisory Rate Engineer; Senior Engineer Rate Research; Manager Rate and Economic Research; Director, Regulatory and Pricing Administration; Director, Electric Business Support for Delivery Services; Director, Regulatory Administration; Director, Strategic Planning; Director, Customer and Community Relations; Interim Regional Vice President Rates and Regulation; and President SPS. Among other duties in those positions, I have been responsible for the design and implementation SPS s regulatory strategy and programs, including oversight rate case applications before the Commission, the Public Utility Commission Texas ( PUCT, and the Federal Energy Regulatory Commission ( FERC. In addition to my rate and regulatory work, I have served in strategic planning and customer and community relations positions for SPS. In addition to my formal education and my experience at SPS, I have completed the advanced rate design course the Edison Electric Institute. I have also attended the Public Utility Conference sponsored by New Mexico State University s Center for Management and Pressional Development. I am also a licensed pressional engineer in Texas, and I am a member the Texas Society Pressional Engineers and the Institute Electrical and Electronic Engineers. I have filed testimony before the Commission in New Mexico base rate cases, such as Case Nos. 0-00-UT and 0-00-UT. My testimony in those base rate cases encompassed a wide variety topics, including regulatory policy and rate design. I have testified in other types Commission cases as well, such as complaint, business combination, and asset sale dockets. I have also filed testimony with the PUCT in numerous SPS proceedings, including base rate cases in Docket Nos. 0,,,, 00, and. In addition, I have been a witness in cases before the Oklahoma Corporation Commission, the Kansas

Attachment DTH- Page Corporation Commission, the Wyoming Public Service Commission, and FERC. The following is a complete listing the cases in which I have testified. NEW MEXICO PUBLIC REGULATION COMMISSION. Case No., Application for New Rates Pursuant to Second Revised General Order No... Case No. 0, Southwestern Public Service Company - General Order No. Compliance Filing and Application for a Variance in the Requirements Section. General Order No... Case No., In the Matter the Consideration and Determination Concerning Whether it is Appropriate to Implement the Standards Set Out in Section the Energy Policy Act.. Case No., Application El Paso Electric Company and Central and Southwest Corporation to Merge and Related Approvals.. Case No., In the Matter Staff's Petition for an Order Requiring Southwestern Public Service Company to Show Cause Why Its "System Purchase Option and Rate Guarantee" is Not In Violation the Public Utility Act.. Case No., In the Matter the Application Southwestern Public Service Company for Approvals and Authorizations to (i Merge with Public Service Company Colorado and to Form a Holding Company, (ii Divest its Non-Utility Subsidiaries, (iii Issue Securities to the Holding Company, (iv Amend its General Diversification Plan, and (v Obtain All Other Approvals and Authorizations Necessary to Effectuate the Merger, Reorganization and Related Transactions.. Case No., In the Matter Southwestern Public Service Company's Application for Approval a Certificate Public Convenience and Necessity to Construct and Operate a 00 MW Class Combustion Turbine Unit at its Cunningham Station Near Hobbs, New Mexico, and Avoided Capacity Cost Filings Under NMPUC Rule 0... Case No. 0, In the Matter Southwestern Public Service Company's Request for Approvals and Authorizations Necessary to (I Enter into a Contract for the Purchase Capacity and Energy from the Phillips Cogeneration Project; and (ii Contract with its Affiliated Interest, Quixx Corporation, to the Purchase Capacity and Energy from the Phillips Project.. Case No., In the Matter Southwestern Public Service Company's Advice Notice No. for Proposed Renewable Energy, Photovoltaic Pumping Systems, and Interruptible Irrigation Rates. 0. Case No., In the Matter the Commission's Investigation the Rates for Southwestern Public Service Company.. Case No., In The Matter the Application Southwestern Public Service Company for Approvals and Authorizations the Merger Between New Century Energies, Inc., Southwestern s Parent/Holding Company, Into Northern States Power Company/Xcel Energy Inc., Approval Southwestern s Second Amended General

Attachment DTH- Page Diversification Plan that Reflects the Merger; and All Other Approvals and Authorizations Required to Effectuate and Implement the Merger.. Case No. 0, Application Southwestern Public Service Company for approval Competitive Transition Plan in Accordance with the New Mexico Electric Industry Restructuring Act.. Case No. 0, Application Southwestern Public Service Company for approval Continued Use its Fuel and Purchased Power Cost Adjustment Clause ( FPPCAC using a Monthly Adjustment Factor Pursuant to NMPRC Rule 0, Authorization to Implement the Proposed Monthly Adjustment Factor on an Interim Basis, Granting a Variance from Rule 0.(a, and Approval the Reconciliation its Collections Under the FPPCAC for the Period October through September 00.. Case No., In the Matter Southwestern Public Service Company s Application for Commission Approval and Authorization for Translink Transmission Company, LLC to Operate and Control Southwestern s New Mexico Certificated Transmission Facilities in Accordance With the Proposed Private Power Operating Agreement Between Southwestern Public Service Company and Translink Transmission Company, LLC.. Case No. 0-0000-UT, In the Matter Southwestern Public Service Company s Application for an Order Approving and Authorizing ( Southwestern s Participation in the Xcel Energy Utility Money Pool, ( Southwestern s Class II Transactions Related to its Participation in the Utility Money Pool, and ( Required Amendments to Southwestern Public Service Company s General Diversification Plan.. Case No. 0-00-UT, In the Matter Staff s Petition for an Order to Show Cause, for Implementation Temporary Billing Measures and for an Investigation into Southwestern Public Service Company s Estimated Billings Practice.. Case No. 0-00-UT, In the Matter the Commission s Determination the Reasonable Cost Threshold for Renewable Energy.. Case No. 0-00-UT, In the Matter Southwestern Public Service Company s 00 Annual Portfolio Report and 00 Annual Portfolio Procurement Plan Pursuant to the Renewable Energy Act (Laws 00, Ch.. Case No. 0-00-UT, Petition Southwestern Public Service Company for Approval Renewable Energy Cost Recovery Methodology in Accordance with Renewable Energy Act, (Laws 00, Ch. 0. Case No. 0-00-UT, In The Matter Of Southwestern Public Service Company s Application For Approval Of ( Continued Use Of Its Fuel And Purchased Power Cost Adjustment Clause ( FPPCAC Using A Monthly Adjustment Factor Pursuant To NMPRC Rule 0, ( The Existing Variance From Rule 0.(A, And ( The Report Regarding Collections Under The Previous Annual FPPCAC In Effect During The Period October 00 Through January 00, And Collections Under The Existing Monthly FPPCAC For The Period February 00 Through May 00.. Case No. 0-00-UT, Southwestern Public Service Company s Annual Renewable Energy Portfolio Report And Petition Of Southwestern Public Service Company For Approval Of Its Annual Renewable Energy Portfolio Procurement Plan.

Attachment DTH- Page. Case No. 0-00-UT, In the Matter Lea Power Partners. LLC s Application for the Location the Hobbs Generation Station in the SW ¼ Section, Township s Range E Pursuant to the Public Utility Act, NMSA --.. Case No. 0-000-UT, In the Matter Southwestern Public Service Company s Application for Issuance a Certificate Convenience and Necessity Authorizing Southwestern Public Service Company to Construct and Operate and 0 kv Transmission Lines and Substation Facilities that will be Associated with Lea Power Partners, LLC s Hobbs Generating Station in Lea County, New Mexico, and for Approval the Location the Proposed 0 kv Transmission Line.. Case No. 0-00-UT, In the Matter Southwestern Public Service Company s Application for Revision its Retail Electric Rates Pursuant to Advice Notice Nos. 0 and 0 and All Associated Approvals.. Case No. 0-000-UT, In the Matter an Investigation Into the Prudence Southwestern Public Service Company s Participation in the Southwest Power Pool Regional Transmission Organization.. Case No. 0-00-UT, In the Matter the Joint Application Southwestern Public Service Company and Golden Spread Electric Cooperative, Inc., For Approval Their Replacement Power Sales Agreement in Accordance With the Final Orders in Case Nos 0-00-UT and 0-00-UT.. Case No. 0-00-UT, In the Matter the Application Southwestern Public Service Company For Revision its Retail Electric Rates Pursuant to Advice Notice Nos.,, and and Request For Expedited Interim Relief Authorizing Recovery Capacity Related Costs Associated With the New Hobbs Generating Station.. Case No. 0-000-UT, In the Matter Southwestern Public Service Company s Application For: ( Issuance a Certificate Convenience and Necessity For an Additional Combustion Turbine at Jones Station in Lubbock County, Texas; and ( Approval a Contract for the Purchase Capacity and Energy from Calpine Energy Services, L.P. From 0 Through 0 in Accordance With Case No. 0-00-UT. PUBLIC UTILITY COMMISSION OF TEXAS. Docket No. 0, Standard Avoided Cost Filing SPS Pursuant to P.U.C. SUBST. R..(h(.. Docket No., Standard Avoided Cost Filing SPS Pursuant to P.U.C. SUBST. R..(h(.. Docket No., Standard Avoided Cost Filing SPS Pursuant to P.U.C. SUBST. R..(h(.. Docket No., Application Southwestern Public Service Company to Amend Tariff Concerning J. M. Huber Corp.. Docket No., Standard Avoided Cost Filing SPS Pursuant to P.U.C. SUBST. R..(h(.

Attachment DTH- Page. Docket No. 0, Standard Avoided Cost Filing SPS Pursuant to P.U.C. SUBST. R..(h(.. Docket No., Application Southwestern Public Service Company and Cap Rock Electric Cooperative, Inc. for Certificate Convenience and Necessity to Construct Transmission Facilities.. Docket No. 0, Petition the General Counsel for an Inquiry into the Reasonableness Rates and Services Southwestern Public Service Company.. Docket No., Application Cap Rock Electric Cooperative, Inc., to Amend CCN for Proposed Transmission Line and Substation within Midland, Glasscock, Reagan, Upton, Howard, and Mitchell Counties. 0. Docket No. 00, Application El Paso Electric Company and Central and Southwest Corporation for Approval to Merge.. Docket No., Application Southwestern Public Service Company for Approval Notices Intent for a 0 MW Phillips Cogeneration Project and a 0 MW Combustion Turbine Project.. Docket No. 0, Application Southwestern Public Service Company Regarding Proposed Business Combination With Public Service Company Colorado.. City Spearman, TX, Ordinance No., City Spearman, Texas PURA Section. Complaint Against Southwestern Public Service Company.. Docket No., Application Southwestern Public Service Company to Amend Certificated Service Area Boundaries to Provide for Dual Certification in Hockley and Cochran Counties, Texas.. Docket No., Application Southwestern Public Service Company for Certificate Qualifying Facility Purchased Power Contract Under Section.0 PURA.. Docket No., Petition Southwestern Public Service Company for: ( Reconciliation its Fuel and Purchased Power Costs for through ; ( Findings Special Circumstances.. Docket No. 0, Application Southwestern Public Service Company for Approval Preliminary Integrated Resource Plan and for Good-Cause Exception.. Docket No. 0, Application Southwestern Public Service Company Regarding Proposed Merger Between New Century Energies and Northern States Power Company.. Docket Nos. and 0, Application Southwestern Public Service Company for Approval its Proposed Business Separation Plan Pursuant to PURA.0(e. 0. Docket No., Application Southwestern Public Service Company for Approval Unbundled Cost Service Rate Pursuant to PURA.0 and Public Utility Commission Substantive Rule... Docket No., Application Southwestern Public Service Company for Approval Its Transition to Competition Plan and Related Relief.

Attachment DTH- Page. Docket No., Application Southwestern Public Service Company for Authority to: ( Revise its Fixed Voltage Level Fuel Factors; ( Surcharge its Historical Fuel Under-Recoveries; ( Surcharge its Estimated Fuel Under-Recoveries; and ( Related Good-Cause Waivers.. Docket No. 0, Application Southwestern Public Service Company to Recover Transition to Competition Costs Pursuant to Section -0 PURA.. No., Remand Docket No., Petition Lamb County Electric Cooperative, Inc. for a Cease and Desist Order Against Southwestern Public Service Company and Petition Bailey County Electric Cooperative Association for a Cease and Desist Order Against Southwestern Public Service Company.. Docket No. 0, Application Of Southwestern Public Service Company To Transfer Functional Control Of Electric Transmission Facilities To TRANSLink Transmission Company, LLC, and for Related Relief.. Docket No., Application Southwestern Public Service Company for: ( Reconciliation its Fuel and Purchased Power Costs for 000 and 00; and ( Related Relief.. Docket No., Application Southwestern Public Service Company for: ( Authority to Revise its Fuel Factors; ( Authority to Institute Quarterly Adjustments to its Fuel Factors; ( Authority to Surcharge its Fuel Cost Under-Recoveries; and ( Related Good Cause Exceptions.. Docket No. 0, Application Southwestern Public Service Company for: ( Reconciliation its Fuel Costs for 00 and 00; ( A Finding Special Circumstances; and ( Related Relief.. Docket No., Application Of Southwestern Public Service Company For: ( Authority to Change Rates; ( Reconciliation Its Fuel Costs for 00 and 00; ( Authority to Revise the Semi-Annual Formulae Approved in Docket No. Used to Adjust Its Fuel Factors; And ( Related Relief. 0. Docket No., Complaint JD Wind, LLC, JD Wind, LLC, JD Wind, LLC, JD Wind, LLC, JD Wind, LLC, JD Wind, LLC, Against Southwestern Public Service Company.. Docket No., Application Southwestern Public Service Company for Authority to Change Rates, to Reconcile Fuel and Purchased Power Costs for 00 and 00, and to Provide a Credit for Fuel Cost Savings.. Docket No. 0, Southwestern Public Service Company s: ( Report Sale Assets; ( Request For a Finding that the Sale Assets is in the Public Interest; ( Request for Authority to Discontinue Retail Electric Service in its Dually Certificated Service Area Within the City Lubbock and Adjacent Areas; and ( Request for Findings Regarding Wholesale Power Sales Agreements.. Docket No., Application Southwestern Public Service Company for Authority to Change Rates and to Reconcile Fuel and Purchased Power Costs for 00 and 00.. Docket No. 00, Application SPS for Authority to Change Rates and to Reconcile Fuel and Purchased Power Costs for the Period July, 0 through June 0, 0.

Attachment DTH- Page. Docket No., Application SPS for Authority to Change Rates PUBLIC UTILITIES COMMISSION OF COLORADO. Docket No. A-EG, Application Public Service Company Colorado Regarding Proposed Business Combination with Southwestern Public Service Company.. Docket No. 00A-00E, Application Public Service Company Colorado for a KV CCN (Tie Line. FEDERAL ENERGY REGULATORY COMMISSION. Docket No. EL-0-000, Golden Spread Electric Cooperative, Inc. Rate Investigation.. Docket No. ER--00, Southwestern Public Service Company (On Remand.. Docket Nos. EC--000 and ER--000, El Paso Electric Company and Central and Southwest Services, Inc., November,.. Docket No. ER--000, Southwestern Public Service Company Application for Open Access Transmission Service Tariffs.. Docket No. EL--000, Golden Spread Electric Cooperative, Inc. v. Southwestern Public Service Company.. Docket No. EC--000, Public Service Company Colorado and Southwestern Public Service Company, November,.. Docket No. ER--000, Public Service Company New Mexico.. Docket No. OA-00-000, El Paso Electric Company Open Access Transmission Tariff.. Docket No. ER00--000, Southwestern Public Service Company Rate Application. 0. Docket No. ER0--000, Southwestern Public Service Company and Public Service Company Colorado Rate Application.. Docket No. ER0-0-00, Xcel Energy Services Updated Market-Based Rate Application.. Docket No. EL0--00, Golden Spread Electric Cooperative, Inc. v. Southwestern Public Service Company.. Docket No. ER0--000, Southwestern Public Service Company.. Docket No. ER0--000, Southwestern Public Service Company.. Docket No. ER0--000, Southwestern Public Service Company.

Attachment DTH- Page KANSAS CORPORATION COMMISSION. Docket No. -SWPE--MIS, In the Matter the Application Southwestern Public Service Company for a Siting Permit for the construction a kv Transmission Line in Hamilton, Kearny, Finney, Grant, and Stevens Counties, Kansas. WYOMING PUBLIC SERVICE COMMISSION. Docket Nos. 000-GA-- and 000-EA--0, Application Cheyenne Light, Fuel and Power Company (SPS/PSCo Merger. OKLAHOMA CORPORATION COMMISSION. Cause No. PUD 00000, Application Southwestern Public Service Company for a Certificate Authorizing it to Create Liens on its Properties in the State Oklahoma to Secure up to $0,000,000 Principal Amount its First Mortgage Bonds.. Cause No. PUD 0000, Application Ernest G. Johnson, Director the Public Utility Division the Oklahoma Corporation Commission to review the Impact the Merger the New Century Energy, Inc., with and into Northern States Power Company, On Oklahoma Jurisdictional Customers Southwestern Public Service Company, a wholly owned Subsidiary New Century Energy, Inc.. Cause No. PUD 000000, Application Southwestern Public Service Company for Approval Merger Savings Credit Rider to Retail Tariffs.