Docket No: 05-035-08

Spring Canyon, LLC – Sale of Capacity Energy

Docket Index

Docket Number: 05-035-08[See also 05-035-09 and 03-035-14]

In the Matter of: the Petition of Spring Canyon for Approval of a Contract for the Sale of Capacity and Energy from its Proposed QF Facilities

For questions regarding documents that are not linked call (801) 530-6714

Date Description
August 14, 2015 ExxonMobil Notice of Withdrawal
February 9, 2005 Petition for Expedited Approval of QF Contract
* Exhibit A – Power Purchase Agreement
* Exhibit B – Draft Agreement
February 9, 2005 Action Request, Due: ASAP
February 11, 2005 Petition for Hearing
*Exhibit A
February 11, 2005 Notice of Scheduling Conference
February 18, 2005 Correspondences to PSC
February 22, 2005 Motion for Protective Order and Request for Expedited Treatment
February 23, 2005 Appendix A, Re: Roger Swenson
February 24, 2005 Motion to Increase 275 MW Cap and Motion to Extend June 1, 2007 Deadline
February 24, 2005 Scheduling Order
February 28, 2005 Supplemental Direct Testimony of Roger Swenson for Pioneer Ridge & Mountain Wind
* Exhibit A
February 28, 2005 PacifiCorp’s Answer
February 28, 2005 UAE Position Regarding Issues Identified in Scheduling Order
*Exhibit A – Confidential
* Exhibit B – Capacity/Energy Versus On-Peak/Off-Peak Prices
* Exhibit C – Gas Price Comparrison
March 1, 2005 Prefiled Direct Testimony of F. David Graeber for Spring Canyon
March 1, 2005 Prefiled Direct Testimony of David L. Olive  for Spring Canyon
March 1, 2005 Protective Order
March 4, 2005 Spring Canyon’s Questions to be Addressed at 3/9/05 Technical Conference
March 4, 2005 UAE List of Questions to Be Addressed at Technical Conference and UAE’s First Set of Data Request to PacifiCorp
March 9, 2005 Appendix A, Re: Cheryl Murray and Philip Hayet
March 11, 2005 Appendix A, Re: David Olive
March 11, 2005 Response of PacifiCorp
March 11, 2005 Petition of ExxonMobil Mobil
March 16, 2005 Spring Canyon Energy, LLC’s Amended Opposition to ExxonMobil’s Petition to Intervene
March 17, 2005 ExxonMobile Entry of Appearance and Response to Spring Canyon Energy, LLC’s Amended Opposition to ExxonMobil’s Petition to Intervene
March 17, 2005 Appendix A, Re: Thorvald A. Nelson
March 17, 2005 Order Granting Intervention  – to ExxonMobile
March 17, 2005 Procedural Notice
March 17, 2005 Spring Canyon Energy, LLC’s Motion to Dismiss the Petition of Pioneer Ridge, LLC and Mountain Wind, LLC for Approval of a Contract for the Sale of Capacity and Energy from its Existing and Proposed Facilities and Request for Hearing
March 18, 2005 Appendix A, Re: Stephen Mecham
March 18, 2005 Direct Testimony of Andrea Coon
March 18, 2005 Direct Testimony of Philip Hayet
* Exhibit A – Resume
* Exhibit B [PROPRIETARY]
March 18, 2005 Direct Supplemental Testimony of Roger Swenson
* Exhibit A – Levelized Margin Hedging Cost
* Exhibit B – Emission Cost per MWH Calculation
March 18, 2005 Rebuttal Testimony of David Olive
March 18, 2005 Rebuttal Testimony of Bruce Griswold
* Exhibit A – QF Capacity
* Exhibit B – Stipulation QF Projects Specifics and Milestones
March 18, 2005 Direct Testimony of Rodger Weaver
* Exhibit A – Loads and Resources 2005 – 2012
* Exhibit B – Avoided Cost Payments to QFs
March 18, 2005 Rebuttal Testimony of James Sharp
*Exhibit A
March 18, 2005 Prefiled Rebuttal Testimony of Roger Swenson
March 18, 2005 Prefiled Testimony of Rich Collins
March 18, 2005 Petition to Intervene of US Magnesium LLC
March 18, 2005 Appendix A, Re: James Sharp
March 18, 2005 Appendix A, Re: David Olive
March 22, 2005 Appendix A, Re: Marc Johnson
March 22, 2005 Response of Mountain Wind LLC and Pioneer Ridge
March 23, 2005 Petition to Intervene of Desert Power, L.P.
* Exhibit A – QF Position Statement
March 24, 2005 Spring Canyon’s Withdrawal of Motion to Dismiss Petition
April 1, 2005 Report and Order
April 11, 2005 EXXONMOBIL Request for Review or Rehearing
April 26, 2005 Spring Canyon Energy, LLC’s Response and Opposition to ExxonMobil’s Petition for Review or Rehearing
April 27, 2005 PacifiCorp’s Response to ExxonMobile’s Request for Review or Rehearing
April 28, 2005 CCS Request for Reconsideration
May 18, 2005 Order of Clarification
August 9, 2005 Notice of Hearing to Consider QF Contract and Resolve any Disputed Issues
August 11, 2005 Qualifying Facility Contract between Spring Canyon Energy, LLC and PacifiCorp
* Exhibit A-G
August 12, 2005 PacifiCorp’s Motion to Exclude Issues and Emergency Request for Hearing
August 12, 2005 Motion to Extend June 1, 2007 Deadline and Notice of Hearing August 17, 2005, 3:00 p.m.
August 15, 2005 Joint Exhibit
August 19, 2005 Report and Order
August 24, 2005 ExxonMobile Motion to Establish Deadline for Spring Canyon and Determine Availability of Stipulation Pricing for ExxonMobile
August 24, 2005 Notice of Hearing
August 25, 2005 ExxonMobil Motion for Shortened Response Time
August 30, 2005 Spring Canyon Energy’s Response and Opposition to ExxonMobil’s Motion to Establish Deadline for Spring Canyon and Determine Availability of Stipulation Pricing for ExxonMobil
April 30, 2005 UAE Response to ExxonMobil’s Motion
September 16, 2005 Letter from David Graeber
April 14, 2006 Appendix A – Richard Collins

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