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NATIONAL ASSOCIATION OF STATE UTILITY CONSUMER ADVOCATES
R E S O L U T I O N
Urging the Federal Energy Regulatory Commission To Reject Any Proposed
Funding Proposal For The Gas Research Institute Which Do Not Equitably
Spread GRI's Funding Costs Across All Industry Segments And/Or Which
Inhibit The Competitive Market Goals In Order No. 636
WHEREAS, the Gas Research Institute ("GRI") performs research
and development for the natural gas industry and is controlled by
a Board of Directors composed of interstate natural gas pipelines;
WHEREAS, GRI, in past years, has funded its research and development
activities through interstate pipeline assessments approved by the
Federal Energy Regulatory Commission ("FERC") and recovered
from interstate pipeline customers;
WHEREAS, the GRI has found it increasingly difficult in the competitive
market for natural gas supply to obtain interstate pipeline participation
in the funding of GRI's research and development programs absent
a guarantee that 100% of the pipeline's share of GRI's costs are
recoverable from pipeline customers;
WHEREAS, GRI's 1998/1999 funding proposal breaks research and development
costs into two categories: a Pipeline and Producer Subprogram and
a Local Distribution Company ("LDC") Subprogram;
WHEREAS, GRI proposes in the 1998/1999 funding mechanism to assess
the Pipeline and Producer Subprogram costs to all pipeline shippers
who pay non-discounted commodity charges;
WHEREAS, the pipeline customers who pay non-discounted commodity
charges are largely LDCs serving captive residential and small commercial
consumers;
WHEREAS, these LDCs and their captive residential and small commercial
consumer consequently will pay the bulk of the Pipeline and Producer
Subprogram costs;
WHEREAS, GRI further proposes to asses the LDC Subprogram costs
to all volumes of gas passing through an LDC's city gate regardless
of who owns title to the gas;
WHEREAS, GRI's proposed 1998/1999 funding proposal for the LDC
Subprogram costs similarly places the bulk of these program costs
on non-competitive residential and small commercial consumers because
the proposal requires direct assignment to the LDCs of the portion
of the costs otherwise attributable to competitive customers served
behind the LDC's city gate;
WHEREAS, most LDCs also discount rates to competitive customers
and seek to pass the discounts through to non-competitive residential
and small commercial consumers;
WHEREAS, the interstate pipelines who control GRI's Board of Directors
would have no financial stake in GRI's program costs if GRI's 1998/1999
funding proposal is accepted by FERC and would become nothing more
than collection agents for GRI;
WHEREAS, GRI's 1998/1999 funding proposal effectively results in
direct assignment by GRI of its program costs to LDCs and thus constitutes
a proposal over which FERC no longer has any justifiable claim to
jurisdiction;
WHEREAS, GRI's 1998/1999 funding proposal unduly discriminates
against residential and small commercial consumers by imposing the
bulk of the research and development program costs on this segment
of the industry while all other segments of the industry, including
producers, competitive customers and the pipelines themselves, benefit
from GRI's efforts;
WHEREAS, the undue discrimination inherent in GRI's 1998/1999 funding
proposal increases rates paid by residential and small commercial
customers for natural gas supply above the otherwise prevailing
market rates available to competitive customers;
WHEREAS, since the implementation of Order No. 636's unbundling
requirements, GRI has submitted at least three funding proposals
to FERC which impose the bulk of GRI's program costs on the non-competitive
customers served by interstate pipelines;
WHEREAS, GRI's 1998/1999 funding proposal constitutes a vestige
of monopoly-based pricing mechanisms in an era where Congress and
FERC seek to allow competitive market forces to dictate the price
of natural gas supply and where FERC seeks to promote more competition
in the pricing of the delivery of that supply through market based
rates and negotiated rates for pipeline transportation services;
WHEREAS, GRI's monopoly-based 1998/1999 funding proposal is inconsistent
with and inhibits the development of a truly competitive market
for natural gas supply;
WHEREAS, the Electric Power Research Institute ("EPRI")
is the research and development entity for the electric industry
and EPRI functions as a voluntary organization whose members agree
to participate and fund the research and development efforts regardless
of whether the state regulatory agencies with jurisdiction over
the electric utilities rates sanction flowthrough of 100% of EPRI's
funding costs to electric consumers;
THEREFORE BE IT RESOLVED, that the National Association of State
Utility Consumer Advocates ("NASUCA") believes that in
order to promote the use of competitive market forces as a tool
to regulate rates for natural gas services, GRI should move in the
same direction as EPRI for purposes of funding research and development;
BE IT FURTHER RESOLVED, that NASUCA urges FERC to reject any GRI
funding proposals which would impose monopoly-based or inequitable
funding mechanisms on interstate pipeline customers and/or which
would unduly discriminate against residential and small commercial
consumers by allowing competitive customers and pipelines to escape
payment of GRI charges; and
BE IT FURTHER RESOLVED, that NASUCA authorizes its Executive Committee
to develop specific positions and to take appropriate actions consistent
with the terms of this resolution. The Executive Committee shall
advise the membership of any proposed action prior to taking such
action if possible. In any event, the Executive Committee shall
notify the membership of any action taken pursuant to this resolution.
Approved by NASUCA:
By Faxed Ballot
Place
May 14, 1997
Date
Submitted by:
NASUCA Gas Committee
Craig Burgraff (PA), Chair
Judith Appel (NJ)
Stephen Berger (NY)
Barbara Burton (DC)
Paula Carmody (MD)
Denise Goulet (PA)
Byron Harris (WV)
Jim Hurt (GA)
Werner Margard (OH)
Doug Micheel (MO)
Richard Michal (IN)
Ron Polle (IA)
Richard Steeves (CT)
Jim Stetson (MA)
Dianne Wells (CO)
Eric Witkoski (NV)
Hana Williamson (SC)
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