Kentucky Public Service Commission


View Case Filings for: 2014-00131


Case Number:2014-00131
Service Type:Gas & Electric
Filing Date:4/21/2014
Category:Regular
Utilities:

Kentucky Utilities Company , Louisville Gas and Electric Company


Electronic Case
Case Nature:

2014 JOINT INTEGRATED RESOURCE PLAN OF LOUISVILLE GAS AND ELECTRIC COMPANY AND KENTUCKY UTILITIES COMPANY









Case Filings
FilingDocuments
12/5/2019 8:59:51 AM

Final Order Entered: 1. This case is opened to address certain outstanding petitions for confidential treatment. 2. The petitions for confidential treatment listed in Appendix B to this Order are granted. 3. The granting of these petitions shall not be cited as precedent in other proceedings before the Commission. 4. All movants shall review the petitions to determine if the material for which confidential treatment was requested still warrants confidential treatment. 5. A movant shall inform the Commission in writing, and filed in the original case file, if it determines that the information contained in a petition that is granted by this Order no longer warrants confidential treatment. 6. The Commission shall make available for inspection, upon request, any materials that a movant determines no longer warrants confidential treatment. 7. This case is closed and removed from the Commission's docket.


8/13/2019 1:17:18 PM

Order Entered: 1. LG&E/KU's December 22, 2014 petition for confidential protection is granted.2. The designated materials shall not be placed in the public record or made available for public inspection for five years, or until further Orders of this Commission. 3. Use of the designated materials in any Commission proceeding shall be in compliance with 807 KAR 5:001, Section 13(9). 4. LG&E/KU shall inform the Commission if the designated materials become publicly available or no longer qualify for confidential treatment. 5. If a non-party to this proceeding requests to inspect the designated materials granted confidential treatment by this Order and the period during which the materials have been granted confidential treatment has not expired, LG&E/KU shall have 30 days from receipt of written notice of the request to demonstrate that the materials still fall within the exclusions from disclosure requirements established in KRS 61.878. If LG&E/KU is unable to make such demonstration, the requested materials shall be made available for inspection. Otherwise, the Commission shall deny the request for inspection. 6. The Commission shall not make the designated materials available for inspection for 30 days following an Order finding that the materials no longer qualify for confidential treatment in order to allow LG&E/KU to seek a remedy afforded by law.


8/9/2019 1:09:33 PM

Order Entered: 1. LG&E/KU's April 21, 2014 petition tor confidential protection is granted. 2. The designated materials shall not be placed in the public record or made available for an indefinite period, or until further Orders of this Commission. 3. Use of the designated materials in any Commission proceeding shall be in compliance with 807 KAR 5:001, Section 13(9). 4. LG&E/KU shall inform the Commission if the designated materials become publicly available or no longer qualify for confidential treatment. 5. If a non-party to this proceeding requests to inspect the designated materials granted confidential treatment by this Order and the period during which the materials have been granted confidential treatment has not expired, LG&E/KU shall have 30 days from receipt of written notice of the request to demonstrate that the materials still fall within the exclusions from disclosure requirements established in KRS 61.878. If LG&E/KU is unable to make such demonstration, the requested materials shall be made available for inspection. Otherwise, the Commission shall deny the request for inspection. 6. The Commission shall not make the designated materials available for inspection for 30 days following an Order finding that the materials no longer qualify for confidential treatment in order to allow LG&E/KU to seek a remedy afforded by law.


4/13/2016 1:34:46 PM

Final Order Entered: 1. LG&E/KU shall file their next IRP no later than November 1, 2018. 2. LG&E/KU's IRP fully comports with the requirements of 807 KAR 5:058, Section 7, concerning projected DSM-EE savings for the entire planning period of their 2014 IRP. 3. LG&E/KU's six miscellaneous corrections and revisions to the Staff Report as contained in the attached errata sheet are accepted. 4. This case is closed and shall be removed from the Commission's docket.


3/14/2016 3:36:37 PM

AGs Notice of Withdrawal and Substitution of Counsel


Kent Chandler Kentucky Office of the Attorney General

Notice_of_withdrawal_2014-00131.pdf

Withdrawal and Substitution of Counsel

Read1st_Notice_of_withdrawal_2014-00131.pdf

Read1st Withdrawal and Substitution of Counsel

3/11/2016 11:14:39 AM

LGE and KU comments to Commission Staff Report issued March 1, 2016


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

2014-00131_LGE_KU_Comments_3-11-16.pdf

LG&E and KU Comments to Staff Rpt

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

3/1/2016 2:37:26 PM

Staff Report


3/18/2015 1:48:53 PM

LGE and KU Response to the comments of Wallace McMullen and Sierra Club


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

LGE_KU_Joint_Response_to_SC_2014-00131_3-18-15.pdf

LG&E and KU Response to Sierra Club Comments

Read_1st.pdf

Read 1st - Cover Letter

3/4/2015 4:04:07 PM

Comments of Wallace McMullen and Sierra Club


Joe F. Childers Wallace McMullen and Sierra Club

2/18/2015 7:09:28 AM

LGE and KU Responses to Wallace McMullen and Sierra Clubs Third Request for Information


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

LGE_KU_Response_to_SC_DR-3_2014-00131.pdf

LG&E/KU Responses to SC 3rd Req for Information

Read_1st.pdf

Read 1st - Cover Letter

2/18/2015 7:05:47 AM

LGE and KU Responses to the Commission Staffs Third Request for Information


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

LGE_KU_Response_KPSC_DR-3_2014-00131.pdf

LG&E/KU Responses to Staff's 3rd Req for Information

Read_1st.pdf

Read 1st - Cover Letter

2/13/2015 10:49:21 AM

Corrected Attachment to Response to Wallace McMullen and Sierra Club Supplemental Data Request Question No. 2.16b (Attachment No. 3)


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

Read_1st.pdf

Read 1st - Cover Letter

2/4/2015 1:27:58 PM

Wallace McMullen and Sierra Clubs Third Request for Information to Louisville Gas Electric Company and Kentucky Utilities Company


Joe F. Childers Wallace McMullen and Sierra Club

SC_3DR_020415.pdf

Wallace McMullen and Sierra Club's Third Request for Information to Louisville Gas & Electric Company and Kentucky Utilities Company

SC_read1st_020415.pdf

Read First File

2/3/2015 3:36:54 PM

Data Request


1/29/2015 10:38:41 AM

Order Entered: The amended procedural schedule set forth in the Appendix to this Order shall be followed in this proceeding.


1/8/2015 10:56:02 AM

Order entered: The parties shall have seven days from the date of this Order to request an informal conference. 2. Unless an informal conference request results in a disruption of it, the procedural schedule that was established in our October 1, 2014 Order shall remain in effect.


12/22/2014 12:41:20 PM

LGE and KU Responses to Wallace McMullen and Sierra Clubs Supplemental Data Requests


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

LGE_KU_Resp_SC_DR-2_2014-00131.pdf

LG&E/KU Responses to Sierra Club's Supplemental Data Req

Read_1st.pdf

Read 1st - Cover Letter

12/22/2014 12:37:43 PM

LGE and KU Joint Petition for Confidential Protection


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

Read_1st.pdf

Read 1st - Cover Letter

12/22/2014 12:33:47 PM

LGE and KU Responses to Commission Staffs Second Request for Information


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

LGE_KU_Resp_KPSC_DR-2_2014-00131.pdf

LG&E/KU Response to KPSC Staff's 2nd Req for Infor

Read_1st.pdf

Read 1st - Cover Letter

12/12/2014 10:31:10 AM

Supplementatl Response to Sierra Clubs Initial Data Request, Question No. 1.14(e).


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

LGE_KU_Supplemental_Response_to_Sierra_Club_DR_1-14e.pdf

LG&E and KU Supplemental Response to SC 1.14(e)

Read_1st.pdf

Read 1st - Cover Letter

12/11/2014 10:34:14 AM

Notice of Correction


12/9/2014 11:44:41 AM

Wallace McMullen and Sierra Clubs Suppemental Data Requests to LGE and KU


Joe F. Childers Wallace McMullen and Sierra Club

SC_read1st_12914.pdf

Read First File

SC_SDR_12914.pdf

Wallace McMullen and Sierra Club's Supplemental Data Requests to LG&E and KU

12/8/2014 1:32:06 PM

Data Request


11/21/2014 1:19:37 PM

LGE and KU Responses to Wallace McMullen and Sierra Clubs Initial Data Request - Part 3 of 3


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

11/21/2014 1:14:19 PM

LGE and KU Responses to Wallace McMullen and Sierra Clubs Initial Data Request - Part 2 of 3


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

11/21/2014 1:04:14 PM

LGE and KU Responses to Wallace McMullen and Sierra Clubs Initial Data Requests - Part 1 of 3


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

LGE_KU_Response_SC_1st_DRs_2014-00131.pdf

LG&E/KU Responses to Sierra Clubs Initial Data Requests

Read_1st.pdf

Read 1st - Cover Letter

11/21/2014 12:35:46 PM

LGE and KU Responses to Commission Staffs First Request for Information


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

LGE_KU_Resp_KPSC_1st_DRs_2014-00131.pdf

LG&E/KU Responses to KPSC Staff's First Req for Infor

Read_1st.pdf

Read 1st - Cover Letter

11/21/2014 12:22:47 PM

Joint Petition for Confidential Protection and for Deviation from Filing Requirements


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

LGE_KU_Jt_Ptn_for_Conf_Protection_2014-00131.pdf

Joint Petition for Confidential Protection

Read_1st.pdf

Read 1st - Cover Letter

11/7/2014 4:15:33 PM

Wallace McMullen and Sierra Clubs First Data Requests to LGE


Joe F. Childers Wallace McMullen and Sierra Club

SC_DR_11714.pdf

Wallace McMullen and Sierra Club's First Data Requests to LG&E (Redacted)

11/7/2014 2:11:57 PM

Data Request


10/17/2014 10:38:00 AM

LGE and KU 2014 Resource Assessment Addendum


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

2014_Resource_Assessment_Addendum_2014-IRP_10-17-14.pdf

LG&E/KU 2014 Resource Assessment Addendum

Read_1st.pdf

Read 1st - Cover Letter

10/1/2014 10:28:00 AM

Order Entered: (1) The procedural schedule set forth in the Appendix to this Order shall be followed in this proceeding. a. Responses to requests for information shall be appropriately bound, tabbed and indexed and shall include the name of the witness responsible for responding to the questions related to the information provided, with copies to all parties of record and ten copies to the Commission. b. Each response shall be answered under oath or, for representatives of a public or private corporation or a partnership or association or a governmental agency, be accompanied by a signed certification of the preparer or person supervising the preparation of the response on behalf of the entity that the response is true and accurate to the best of that person's knowledge, information, and belief formed after a reasonable inquiry. c. Any party shall make timely amendment to any prior response if it obtains information which indicates that the response was incorrect when made or, though correct when made, is now incorrect in any material respect. d. For any request to which a party fails or refuses to furnish all or part of the requested information, it shall provide a written explanation of the specific grounds for its failure to completely and precisely respond. (2) Motions for extensions of time with respect to the schedule herein shall be made in writing and will be granted only upon a showing of good cause.


9/19/2014 2:02:40 PM

20140919_PSC_IC Memo.pdf


9/3/2014 2:04:42 PM

Notice of Informal Conference


7/3/2014 4:20:03 PM

Written Statement in Response to Commissions Order


Gregory T. Dutton Office of the Attorney General

waiver_of_mail.pdf

Waiver of paper service

7/1/2014 2:33:31 PM

Order Entered: 1. The Attorney General's motion is granted. 2. The Attorney General shall be entitled to the full rights of a party and shall be served with the Commission's Orders after the date of this Order. 3. The Attorney General shall comply with all provisions of the Commission's regulation, 807 KAR 5:001, Section 8, related to the service and electronic filing of documents. 4. Pursuant to 807 KAR 5:001, Section 8(9), within seven days of entry of this Order the Attorney General shall file a written statement, with a copy to parties of record, that: a. Affirms that the Attorney General possesses the facilities to receive electronic transmissions. b. Sets forth the electronic mail address to which all electronic notices and messages related to this proceeding should be served. c. Waives the right to service of any Commission Orders by mail for purposes of this proceeding only.


6/30/2014 4:58:59 PM

Consent to Electronic Service


Joe F. Childers Wallace McMullen and Sierra Club

6/25/2014 10:15:41 AM

Order Entered: 1. The Motion of Wallace McMullen and Sierra Club to intervene is granted. 2. Movants shall be entitled to the full rights of a party and shall be served with the Commission's Orders after the date of this Order. 3. Movants shall comply with all provisions of the Commission's regulation, 807 KAR 5:001, Section 8, related to the service and electronic filing of documents. 4. Pursuant to 807 KAR 5:001, Section 8(9), within seven days of entry of this Order Movants shall file a written statement, with a copy to parties of record, that: a. It, or its agent, possesses the facilities to receive electronic transmissions. b. Sets forth the electronic mail address to which all electronic notices and messages related to this proceeding should be served. c. It waives its right to service of any Commission Orders by mail for purposes of this proceeding only.


6/24/2014 3:38:58 PM

Attorney Generals Motion to Intervene


6/16/2014 6:14:36 PM

Motion of Wallace McMullen and Sierra Club to Intervene


Joe F. Childers Wallace McMullen and Sierra Club

5/30/2014 1:46:06 PM

Order Entered: a procedural schedule for the processing of this matter shall not be issued until August 4, 2104, to mirror the abeyance period in Case No. 2014-00002.


5/16/2014 1:21:35 PM

Order Entered: (1)The motion of KIUC to intervene is granted. (2) KIUC shall be entitled to the full rights of a party and shall be served with the Commission's Orders after the date of this Order. (3) KIUC shall comply with all provisions of the Commission's regulation, 807 KAR 5:001, Section 8, related to the service and electronic filing of documents. (4) Pursuant to 807 KAR 5:001, Section 8(9), within seven days of entry of this Order KIUC shall file a written statement, with a copy to parties of record, that: a. It, or its agent, possesses the facilities to receive electronic transmissions. b. Sets forth the electronic mail address to which all electronic notices and messages related to this proceeding should be served. c. It waives its right to service of any Commission Orders by mail for purposes of this proceeding only.


4/23/2014 12:12:15 PM

Motion to Intervene of Kentucky Industrial Utility Customers, Inc. (KIUC)


Michael L. Kurtz Kentucky Industrial Utility Customers

KIUC_Intervention.pdf

KIUC Motion to Intervene

Read_1st_-_Cover_Ltr.pdf

Read first - Cover letter

4/21/2014 12:26:47 PM

2014 Joint Integrated Resource Plan of Louisville Gas and Electric Company and Kentucky Utilities Company


Rick E. Lovekamp Louisville Gas and Electric Company and Kentucky Utilities Company

Petition_for_Confidential_Protection.pdf

Petition for Confidential Protection

Read_1st.pdf

Read 1st - Cover Letter

Volume_II.pdf

Volume II

4/7/2014 10:34:12 AM

20140407_PSC_Acknowledgement Letter.pdf


4/4/2014

LGE and KUs Notice of Intent to File 2014 Integrated Resource Plan Using Electronic Filing Procedures