Title: Arizona Corporation Commission
1 Arizona Corporation Commission
- Meeting the Challenges Facing Arizonas Small
Water Utilities - Arizona Small Utilities Association Annual Board
Meeting - Commissioner Kris Mayes
- February 6, 2006
2Presentation Outline
- ACC Background
- Identifying the Challenge facing Arizonas Small
Water Companies - Orders Preliminary
- Integrated Water and Wastewater Companies
- Use of Effluent
- Consolidation of Distressed Water Companies
- Next Steps
- -2-
3ACC Historical Overview
- The Commission was established upon statehood in
1912, as a Constitutional authority - The framers established the Commission as a
separate, popularly-elected branch of state
government - Originally made up of 3 commissioners expanded
by popular vote to 5 commissioners in 2000 - Arizona voters have protected the independence of
the Commission--especially its provisions
regarding election of commissioners--from
constitutional amendment on numerous occasions - The Commission has constitutional authority to
regulate public utilities, corporate filings,
securities, and railroad and pipeline safety - -3-
4Utilities
- Utilities Public Service Corporations
- Public Service Corporations - all corporations
other than municipal, engaged in furnishing
energy or water collecting or disposing of
sewage - ACC regulates over 350 water companies
- Today, the ACC continues to issue decisions that
are rooted in the broad language of the
Constitution and in the spirit of Arizona Corp.
Commn v. Woods and the early cases affirming its
position as the exclusive regulator of public
service corporations in Arizona. - -4-
5(No Transcript)
6Challenges Facing Arizona
- Arizona recently surpassed Nevada as the fastest
growing state in the nation - The ACC is encountering more challenges arising
from small water companies - Many of these small companies have old,
dilapidated infrastructure - The number of interim manager-run companies is on
the rise - Many have not been in before the Commission for a
rate case in decades - The confluence of growth and troubled water
companies presents a tremendous challenge to both
the ACC and ASUA - -6-
7Lessons Learned From McLain to Diamond Valley
- McLain system Located outside Sierra Vista
seven water systems with a total of approximately
1331 customers. - Companies poorly constructed with numerous
issues leaky tanks, pipes, no accurate mapping
of the system. - ACC appointed ASUA interim manager after years of
mismanagement and bankruptcies by original owner. - ASUA operated the system while the Commission
works to establish new rates, institute a hook-up
moratorium and set an unprecedented purchase
price. - ACC held several public meetings in Cochise
County requested 12,000 from Governor for an
emergency well pump during a two-week outage. - -7-
8McLain System Sierra Sunset Pump
9McLain System Coronado Storage Tank
10McLain System Crystal Storage Tank
11McLain System Horseshoe Tank
12McLain System Horseshoe Pump
13McLain System Miracle Well Site
14McLain System Miracle Storage Tank
Notice the Leak
15McLain System Mustang Storage Tank
16McLain System Sierra Sunset Well Site
17Lessons Learned McLain to Diamond Valley
- Diamond Valley Small system tucked between
Prescott and Prescott Valley. - Started by land fraud king Ned Warren owned and
operated by several individuals and entities over
the years. - System poorly constructed (shallowly buried
asbestos pipe, tanks overflowing, no accurate
mapping of the system. Pipes located when leaks
occurred). Rates were kept low for decades, few
repairs made, leaks rampant. - Most recent owner/operator of the system
abandoned it system has been operated by two
interim managers since. - ACC forced to get new legislation passed to allow
it to transfer the assets of an abandoned
non-profit water company into a water district. - -17-
18Lessons Learned From McLain to Diamond Valley
- Sabrosa Water Company Located north of Phoenix
60 customers. - System has been operated by two interim managers
Arizona-American and Global Water Resources. - Company has suffered chronic shortages in recent
years, having been built in an area of limited
water supplies. Poorly constructed pipes, tanks.
- Residents have sunk their own wells to avoid
water outages, other issues at the water company. - -18-
19Lessons Learned McLain to Diamond Valley
- Lessons learned The Commission must require
companies to keep their systems updated and
identify companies that are failing to come in
for rate cases years of neglect will yield a
nearly impossible situation. - ACC should reach out to D and E Companies and
encourage them to file regular rate cases. - Process is streamlined and can be carried out
efficiently and fairly for both owners and
ratepayers. - ACC should cultivate a farm team of willing
interim managers throughout the state. - ACC should hold regular meetings designed to
address issues for small water companies,
identify trouble spots. - -19-
20ASUA and ACC Interaction
- How can small water companies and the ACC better
interact to ensure healthy water systems and
prevent crises? - Communication Need better communication on
troubled companies and to identify problems
before they occur - Funding Continued and increased funding of Small
Water Systems Utility Fund. - Currently 750,000 appropriated to WIFA for
distressed water companies that have an interim
manager. Must get ACC recommendation must be
designed to prevent an outage or an emergency. - ACC should seek legislation expanding fund
eligibility. - -20-
21ASUA ACC
- Study of Problem Water Companies
- Every year, California identifies small water
companies that have financial or other problems
and targets them for acquisition or assistance - ASUA, ACC work with legislature and Governor to
develop a similar program in Arizona - Small, troubled water companies will only
continue to increase as Arizona grows into their
service territories. - -21-
22Moving Beyond Crisis Management
- Need for greater cooperation between agencies
with responsibility for regulating water
companies. ADEQ, ADWR and ACC should coordinate
and communicate their actions where possible and
appropriate to identify struggling water systems
and provide assistance. - Infrastructure costs let growth pay for growth.
Where possible, ACC should encourage the use of
hook-up fees and other up-front financing
mechanisms. - Encourage early intervention WIFA grant writing
assistance, rate case help. - -22-
23Moving Beyond Crisis Management
- ACC has been responsive to companies that file
rate cases designed to address clear
infrastructure needs. - Rates should be set to allow small water
companies to recover costs and to avoid rate
shock down the road. - Consumers first and foremost want clean, reliable
water and are willing to pay additional rates to
make it happen. - Arsenic remediation is an example, though the ACC
has addressed numerous recent cases designed to
build new tanks, wells, pumps to rehabilitate old
systems or meet new growth. - -23-
24Orders Preliminary
- For decades, the practice of the Commission has
been to issue conditional CCNs, granting the
CCN, conditioned upon the water companys
fulfillment of a series of requirement that can
be met after the CCN is issued to the company. - Developers have favored this form of CCN because
it allows them to proceed with construction and
implementation of a water company while the
company works on fulfilling the conditions. - The Commission has begun to question the
usefulness of the conditional CCN, at least in
cases involving water companies outside Active
Management Areas. - -24-
25Orders Preliminary
- A seldom utilized form of CCN, Orders
Preliminary are authorized under ARS 40-282(D)
. - In moving toward the issuance of Orders
Preliminary outside AMAs, the Commission was
attempting to avoid situations in which it
granted a water company a CCN allowing it to
begin serving customers, and later found that the
company had failed to meet the conditions for the
CCN. - In August, 2006 the Commission directed Staff to
begin using Orders Preliminary as a matter of
standard practice when preparing recommendations
on all new CCN applications and CCN extensions
outside the states AMAs . - -25-
26Orders Preliminary
- Using Orders Preliminary, the Commission can
outline conditions to be met by companies that
are specific to the needs and particular concerns
of the service area in question. - The Orders Preliminary can be used to require a
company to prove that it has demonstrated to
third party agencies that it has secured an
adequate or assured water supply, as required by
the Arizona Department of Water Resources (ADWR),
or an Approval to Construct, as required by the
Arizona Department of Environmental Quality
(ADEQ). - -26-
27Orders Preliminary
- The practical effect of using Orders Preliminary
is that while construction of a given subdivision
may be delayed during the time that it takes a
developer to obtain the permits called for by the
Order Preliminary, the Commission will have
assured that the new water company in question
has actually proven that it has an adequate or
assured water supply, an approval to construct,
and has obtained the necessary county franchise
permit, prior to serving customers. - -27-
28Orders Preliminary
- The consequence of this decision for the internal
operations of the Commission is that most if not
all of the Recommended Opinion and Orders (ROOs)
in cases involving new CCN requests and CCN
extensions in areas outside AMAs that come before
the Commission for our final vote, will come to
us in the form of an Order Preliminary. - This will create a bifurcated licensing process
The Commission will issue an Order Preliminary
Companies will then meet the conditions once
these conditions are met, the Commission will
issue a CCN. - -28-
29Effluent
- How should the ACC work with companies that dont
provide wastewater service? - Given the current drought in AZ, should there be
a prohibition on using groundwater for golf
courses, ornamental lakes irrigation? - DWR has requirements/regulations for the use of
effluent in AMAs. - The Commission has begun conditioning approval of
a water company on assurances that groundwater
wont be used for golf courses and other
ornamental features. - -29-
30Consolidation of Distressed Water Companies
- Most of the 350 water companies the ACC regulates
are small companies - We have a few large companies such as
Arizona-American, Arizona Water, Global - What policies can the ACC enact in order to
consolidate the small companies into larger
systems? - Benefits
- Rate increases like for arsenic can be spread
across more customers - Infrastructure costs
- Simplified billing
- -30-
31Consolidation of Distressed Water Companies
- To date, rate premiums and acquisition
adjustments have not been formally blessed by the
Commission via either a rulemaking or policy
statement. - There are no known instances of the Commission
allowing a rate premium, and the Commission has
turned down proposed acquisition adjustments on
several occasions. - Since the 1993 Water Task Force report was
issued, the Commission has only approved an
acquisition adjustment once, in a case involving
the acquisition by a Class A utility of a small
distressed company in southeastern Arizona
(McLain). - -31-
32Consolidation of Distressed Water Companies
- Acquisition adjustments and rate premiums hold
promise for use when the Commission desires to
encourage the consolidation of small, troubled
water companies. - Strengthening the two dozen or so small water
companies that currently find themselves on the
financial ropes would dramatically improve the
opportunities for implementing water conservation
programs and conservation measures at those
companies. - The Commission should first endeavor to identify
those water companies it believes are the
likeliest targets for consolidation. - It should then establish a policy statement
informing the water company community that
acquisition adjustments and rate premiums will be
considered in cases where the conditions laid out
by Staff in the 1999 Water Task Force are met.
33ADWR Conservation Ratemaking
- Water companies have long argued that they cannot
implement conservation programs because they are
unable to obtain rate relief from the Commission
for their conservation efforts. - The Commission has never been asked for rate
recovery of these programs, and Commission Staff
have made it clear that they would be receptive
to filings from Companies seeking to recover in
rates the costs of implementing conservation
programs, in particular those designed to satisfy
ADWRs new rulemaking. - The Commission should continue to make it clear
that it is ready to facilitate conservation
efforts by water companies, especially those
programs that are necessary to meet DWRs new
rules. - -33-
34ADWR Conservation Ratemaking
- The Commission should notify water companies that
they can file tariff applications with the
Commission that are designed to implement
conservation programs. - For example, these tariffs could be designed to
allow water companies to carry out conservation
measures in the same way municipalities do. - Such water company tariffs could condition
service on the installation of low flow toilets,
low flow shower heads, or minimal or zero usage
of groundwater for outdoor irrigation. - The Commission could adopt these tariffs as part
of rate cases, CCN applications or CCN
extensions. - -34-
35Conclusion
- As Arizona enters the second half of the first
decade of the new century, small water companies
will continue to play a pivotal role in meeting
the states water needs. - The Commission stands ready to work with ASUA and
small water companies to meet the many challenges
facing the industry. - Thank you.