Kentucky Public Service Commission


View Case Filings for: 2017-00441


Case Number:2017-00441
Service Type:Electric
Filing Date:12/6/2017
Category:Regular
Utilities:

Kentucky Utilities Company , Louisville Gas and Electric Company


Electronic Case
Case Nature:

ELECTRONIC JOINT APPLICATION OF LOUISVILLE GAS AND ELECTRIC COMPANY AND KENTUCKY UTILITIES COMPANY FOR REVIEW, MODIFICATION, AND CONTINUATION OF CERTAIN EXISTING DEMAND-SIDE MANAGEMENT AND ENERGY EFFICIENCY PROGRAMS









Case Filings
FilingDocuments
6/11/2019 9:34:48 AM

Order Entered: 1. KU/LG&E's December 7, 2017 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. KU/LG&E 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, KU/LG&E 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 KU/LG&E are 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 KU/LG&E to seek a remedy afforded by law.


1/25/2019 10:30:44 AM

Order Entered: 1. Walmart's motion for confidential protection is granted under the exemption of KRS 61.878(1 )(c)(1 ). 2. The materials for which Walmart seeks confidential treatment shall not be placed in the public record or made available for public inspection until further Orders of this Commission. 3. Use of the materials in question in any proceeding shall be in compliance with 807 KAR 5:001, Section 13(9). 4. Walmart shall inform the Commission if the materials in question become publicly available or no longer qualify for confidential treatment. 5. If a non-party to this proceeding requests to inspect materials granted confidential treatment by this Order, Walmart 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. 6. If Walmart is unable to make such demonstration, the requested materials shall be made available for inspection. 7. The Commission shall not make the requested materials available for inspection for 30 days following an Order finding that the materials no longer qualify for confidential treatment in order to allow Walmart to seek a remedy afforded by law.


10/30/2018 2:27:27 PM

Order Entered Nunc Pro Tunc: 1. LG&E/KU's motion to correct the October 5, 2018 Order with respect to deleting the references to rate schedules SPS and STOD is granted. 2. Appendices A and B to the Orders entered on October 5, 2018, and October 25, 2018, are amended to the limited extent that the references to rate schedules SPS and STOD DSM are deleted as set forth in Appendices A and B, attached hereto. 3. The rates and charges in Appendix A, attached hereto, are fair, just, and reasonable for KU to charge for service rendered on and after January 1, 2019. 4. The rates and charges in Appendix B, attached hereto, are fair, just, and reasonable for LG&E to charge for service rendered on and after January 1, 2019. 5. All other provisions of the Commission's October 5, 2018 and October 25, 2018 Orders shall remain in full force and effect through 2025 unless subsequently modified by the Commission upon finding good cause. 6. Within 20 days of the date of this Order, LG&E/KU shall file with this Commission, using the Commission's electronic Tariff Filing System, revised tariff sheets setting out the rates approved herein and reflecting that they were approved pursuant to this Order. 7. This case is closed and removed from the Commission's docket.


10/25/2018 2:13:27 PM

Order Entered nunc pro tunc that: 1. LG&E/KU's motion to correct the October 5, 2018 Order is granted in part and denied in part. 2. Appendices A and B to the October 5, 2018 Order are amended to the limited extent that the DSM balancing adjustments are revised as set forth in Appendices A and B, attached hereto. 3. The rates and charges in Appendix A, attached hereto, are fair, just, and reasonable for KU to charge for service rendered on and after January 1, 2019. 4. The rates and charges in Appendix B, attached hereto, are fair, just, and reasonable for LG&E to charge for service rendered on and after January 1, 2019. 5. LG&E/KU's request to delete references to rate schedules SPS and STOD in the DSM rates appended to the October 5, 2018 Order is denied without prejudice. 6. All other provisions of the Commission's October 5, 2018 Order shall remain in full force and effect through 2025 unless subsequently modified by the Commission upon finding good cause. 7. Within 20 days of the date of this Order, LG&E/KU shall file with this Commission, using the Commission's electronic Tariff Filing System, revised tariff sheets setting out the rates approved herein and reflecting that they were approved pursuant to this Order. 8. This case is closed and removed from the Commission's docket.


10/10/2018 4:58:07 PM

KU and LGE Motion to Correct Final Order


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

1-Read1st.pdf

Cover Letter

2-KU_LGE_Motion_to_Correct_Final_Order.pdf

KU and LG&E Motion to Correct Final Order

10/5/2018 8:22:37 AM

Final Order Entered: 1. LG&E/KU's opt-in AMS programs are modified to increase the customer cap from 5,000 LG&E and 5,000 KU residential and small commercial customers to 10,000 LG&E and 10,000 KU residential and small commercial customers. 2. LG&E/KU's SEMP is terminated. 3. All other provisions of LG&E/KU's proposed DSM/EE Program Plans are approved through 2025, unless subsequently modified by the Commission upon finding good cause. 4. LG&E/KU's request to reduce ROE to 10.2 percent for the capital portion of DSM/EE Program Plan is approved. 5. LG&E/KU shall continue encouraging participation in programs that help low-income customers to reduce energy consumption, thereby reducing monthly energy bills. 6. The proposed costs of DSM/EE Program Plan shall be included in the LG&E/KU's DSM surcharge rates effective for service rendered on and after January 1, 2019. 7. The rates and charges in Appendix A, attached hereto, are fair, just, and reasonable for KU to charge for service rendered on and after January 1, 2019. 8 . The rates and charges in Appendix B, attached hereto, are fair, just, and reasonable for LG&E to charge for service rendered on and after January 1, 2019. 9. Within 20 days of date of this Order, LG&E/KU shall file with Commission, using Commission's electronic Tariff Filing System, revised tariff sheets setting out rates approved herein and reflecting they were approved pursuant to this Order. 10. This case is closed and removed from the Commission's docket.


7/9/2018 6:49:29 PM

Reply Brief of Metropolitan Housing Coalition


Tom FitzGerald Metropolitan Housing Coalition

ReadFirst8.pdf

(Read First)

ReplyBriefOfMetropolitanHousingCoalition.pdf

(Reply Brief of Metropolitan Housing Coalition)

7/9/2018 4:01:39 PM

LGE-KU Reply Brief


W. Duncan Crosby III of Stoll Keenon Ogden PLLC Kentucky Utilities Company and Louisville Gas and Electric Company

7/9/2018 3:46:32 PM

The Attorney Generals Reply Brief


Justin M. McNeil Office of the Attorney General

2017-00441_AG_Reply_Brief_Read1st_7-9-2018.pdf

The AG's Read1st File re: Reply Brief

7/9/2018 2:59:00 PM

Reply Brief of Wal-Mart Stores East, LP and Sams East, Inc., to the Initial Brief of Louisville Gas and Electric Company and Kentucky Utilities Company and the Initial Brief of the Office of Attorney General


Don C.A. Parker Wal-Mart Stores East, LP and Sams East, Inc.

6/26/2018 10:36:13 PM

Initial Brief of Metropolitan Housing Coalition


Tom FitzGerald Metropolitan Housing Coalition

InitialBriefOfMetropolitanHousingCoalition.pdf

(Initial Brief of Metropolitan Housing Coalition)

ReadFirst7.pdf

(Read First)

6/26/2018 5:42:20 PM

The Attorney Generals Initial Brief


Justin M. McNeil Office of the Attorney General

2017-00441_AG_Initial_Brief_Read1st_6-26-2018.pdf

The AG's Read1st File re: Initial Brief

6/26/2018 2:58:39 PM

Initial Brief of Wal-Mart Stores East, LP and Sams East, Inc.


Don C. A. Parker Wal-Mart Stores East, LP and Sams East, Inc.

6/26/2018 2:16:15 PM

Initial Brief of Louisville Gas and Electric Company and Kentucky Utilities Company


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

LGE_KU_Initial_Brief.pdf

LG&E and KU Initial Brief

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

6/14/2018 12:42:55 PM

Responses of LGE and KU to Wal-Mart Stores East, LP, and Sams East, Inc.s Requests for Information Regarding Rebuttal Testimony


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

Joint_Applicants_Response_to_Walmart_Rebuttal_DR.pdf

Responses to Walmart's Request for Information on Rebuttal Testimony

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

6/14/2018 12:39:26 PM

Responses to the Metro Housing Coalitions Data Requests regarding Louisville Gas and Electric Company Rebuttal Testimony


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

Joint_Applicants_Response_to_MHC_Rebuttal_DR.pdf

Responses to MHC's Data Request on Rebuttal Testimony

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

6/7/2018 2:46:36 PM

Wal-Marts Requests for Information to KU and LGE


Don C. A. Parker Wal-Mart Stores East, LP and Sams East, Inc.

Requests_for_Information.pdf

Wal-Mart's Requests for Information to KU and LG&E

6/6/2018 9:54:32 AM

METROPOLITAN HOUSING COALITION SUPPLEMENTAL DATA REQUEST TO LOUISVILLE GAS AND ELECTRIC REGARDING REBUTTAL TESTIMONY


Tom FitzGerald Metropolitan Housing Coalition

METROPOLITAN_HOUSING_COALITION_SUPPLEMENTAL_DATA_REQUEST_TO_LOUISVILLE_GAS_AND_ELECTRIC_REGARDING_REBUTTAL_TESTIMONY.pdf

(Metropolitan Housing Coalition Supplemental Data Request to LG&E Regarding Rebuttal Testimony)

ReadFirst6.pdf

(Read First)

5/31/2018 9:58:27 AM

Order Entered: 1. MHC's request for additional discovery and a briefing schedule is granted. 2. Requests for information to LG&E/KU on their rebuttal testimony shall be filed no later than June 7, 2018. 3. LG&E/KU shall file responses to requests for information on their rebuttal testimony no later than June 14, 2018. 4. Initial briefs, if any, shall be filed no later than June 26, 2018. 5. Reply briefs, if any, shall be filed no later than July 9, 2018.


4/30/2018 2:55:46 PM

LGE-KU letter in response to MHC request for amendment to procedural schedule


W. Duncan Crosby III of Stoll Keenon Ogden PLLC Louisville Gas and Electric Company and Kentucky Utilities Company

Response_of_LGE-KU_to_MHC_request_to_amend_procedural_schedule.pdf

LGE-KU Response to MHC Request to Amend Procedural Schedule

4/26/2018 10:32:15 PM

Letter from Metropolitan Housing Coalition in response to Commission Order, concerning scheduling of administrative hearing


Tom FitzGerald Metropolitan Housing Coalition

MHC_Letter_as_to_Hearing.pdf

(Letter of Metropolitan Housing Coalition in response to Commission Order, regarding scheduling of administrative hearing)

4/26/2018 5:07:14 PM

AGs Notice of Filing—Hearing Not Requested


Justin M. McNeil Office of the Attorney General

2017-441_AG_Notice_of_Filing—Hearing_Not_Requested.pdf

AG's Notice of Filing—Hearing Not Requested

4/26/2018 4:57:39 PM

Walmarts Letter stating it does not seek evidentiary hearings


Mark E. Heath Wal-Mart Stores East, LP and Sams East, Inc.

Read1st.pdf

Walmart's letter stating it does not seek evidentiary hearings

4/26/2018 11:24:13 AM

LGE and KU request for Commission decision in proceeding without a hearing


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

20180426_LGE_KU_Letter.pdf

LG&E and KU Request

4/24/2018 10:59:35 AM

LGE and KU Rebuttal Testimony


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

LGE_KU_Rebuttal_Testimony.pdf

LG&E and KU Rebuttal Testimony

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

4/19/2018 5:29:28 PM

Objections and Responses of Wal-Mart Stores East, LP and Sams East, Inc. to Commission Staffs Initial Data Requests and Petition for Confidential Protection


Mark E. Heath Wal-Mart Stores East, LP and Sams East, Inc.

2017-00441_-_Petition_for_Confidential_Protection.pdf

Petition for Confidential Protection

2017-00441_-_Walmarts_Objections_and_Responses_to_Staff_-_Set_1.pdf

Walmart's Objections and Responses to Commission Staff's Initial Data Requests

Read1st_-_Cover_Letter.pdf

Read1st - Cover Letter and Certificate of Service

4/9/2018 10:30:26 AM

Second revised response to Question No. 9 of the Metro Housing Coalitions Second Set of Data Requests to Louisville Gas and Electric Company


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

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

4/6/2018 10:31:52 AM

Data Request


4/3/2018 8:55:36 AM

Order Entered: 1 . The LG&E/KU joint motion to file rebuttal testimony is granted. 2. The procedural schedule established by the Commission's Order entered on January 4, 2018, is amended to the limited extent that LG&E/KU shall file rebuttal testimony, if any, in verified prepared form no later than April 24, 2018. 3. All other provisions of the Commission's Order entered on January 4, 2018, shall remain in full force and effect.


3/26/2018 4:58:31 PM

LGE-KU Joint Motion for Leave to File Rebuttal Testimony


W. Duncan Crosby III of Stoll Keenon Ogden PLLC Kentucky Utilities Company and Louisville Gas and Electric Company

3/21/2018 10:45:20 PM

Direct Testimony of Cathy Hinko, Director, Metropolitan Housing Coalition, with Exhibits and Affidavit


Tom FitzGerald Metropolitan Housing Coalition

Hinko_direct_testimony.pdf

(Direct Testimony of Cathy Hinko, Director, Metropolitan Housing Coalition)

Hinko_Direct_Testimony_Affidavit.pdf

(Affidavit Of Cathy Hinko Regarding Direct Testimony)

Hinko_Direct_Testimony_Exhibit_1.pdf

(Exhibit 1 To Direct Testimony of Cathy Hinko, Metropolitan Housing Coalition)

Hinko_Direct_Testimony_Exhibit_2.pdf

(Exhibit 2 To Direct Testimony of Cathy Hinko, Metropolitan Housing Coalition)

Hinko_Direct_testimony_Exhibit_3.pdf

(Exhibit 3 To Direct Testimony of Cathy Hinko, Metropolitan Housing Coalition)

Hinko_Direct_Testimony_Exhibit_4.pdf

(Exhibit 4 To Direct Testimony of Cathy Hinko, Metropolitan Housing Coalition)

Hinko_Direct_Testimony_Exhibit_5.pdf

(Exhibit 5 To Direct Testimony of Cathy Hinko, Metropolitan Housing Coalition)

ReadFirst5.pdf

(Read First)

3/21/2018 3:23:39 PM

Direct Testimony and Exhibit of Kenneth E. Baker on behalf of Wal-Mart Stores East, LP and Sams East, Inc.


Don C.A. Parker Wal-Mart Stores East, LP and Sams East, Inc.

2017-00441_-_Walmart_Direct_Testimony_and_Exhibit_of_Baker.pdf

Direct Testimony and Exhibit of K. Baker on behalf of Walmart

3/9/2018 11:16:39 AM

LGE revised response to Question No. 9 of Metro Housing Coalitions Second Set of Data Requests


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

Joint_Applicants_Revised_Response_to_MHC_Question_No_2-9.pdf

LG&E Revised Response to MHC Question No. 2-9

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

3/9/2018 11:11:15 AM

KU and LGE revised response to Question No. 8 of the Attorney Generals Supplemental Data Requests


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

Joint_Applicants_Revised_Response_to_AG_Question_No_2-8.pdf

KU and LG&E Revised Response to AG Question No. 2-8

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

3/7/2018 12:31:38 PM

LGE Responses to Metro Housing Coalitionss Second Set of Data Requests


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

Joint_Applicants_Response_to_MHC_DR-2.pdf

LG&E Responses to MHC's 2nd Set of Data Requests

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

3/7/2018 12:26:48 PM

KU and LGE Responses to the Attorney Generals Supplemental Data Requests


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

Joint_Applicants_Response_to_AG_DR-2.pdf

KU and LG&E Responses to AGs Supplemental Data Request

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

3/7/2018 12:19:17 PM

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


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

Joint_Applicants_Response_to_PSC_DR-2.pdf

KU and LG&E Responses to PSC Staff's 2nd Request for Information

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

2/22/2018

Second Set of Data Requests


Tom FitzGerald Metropolitan Housing Coalition

MHCSecondSetOfDataRequestsToLGE.pdf

(Second Set of Data Requests to LG&E)

ReadFirst4.pdf

(Read First)

2/21/2018 3:27:28 PM

The Attorney Generals Supplemental Request for Information


Justin M. McNeil Office of the Attorney General

2017-441_AG_Supplemental_RFI_Read1st_2-21-2018.pdf

The AG's Read1st File re: Supplemental RFI

2/21/2018 2:48:26 PM

Data Request


2/20/2018 2:31:37 PM

Wal-Mart Stores East, LP and Sams East, Inc.s Written Statement in Response to the Commissions February 14, 2018 Order


Don C. A. Parker Wal-Mart Stores East, LP and Sams East, Inc.

2017-00441_-_Walmarts_Written_Statement.pdf

Wal-Mart Stores East, LP and Sam's East, Inc.'s Written Statement

2/14/2018 2:56:54 PM

Order Entered: 1. The motion of Walmart to intervene is granted. 2. Walmart shall be entitled to the full rights of a party and shall be served with the Commission's Orders and with filed testimony, exhibits, pleadings, correspondence, and all other documents submitted by parties after the date of this Order. 3. Walmart 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. Walmart shall adhere to the procedural schedule set forth in the Commission's January 4, 2018 Order and as amended by subsequent Orders. 5. Pursuant to 807 KAR 5:001, Section 8(9), within seven days of entry of this Order, Walmart shall file a written statement, with a copy to parties of record, that: a. Affirms that 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.


2/7/2018 1:04:55 PM

Responses of KU and LGE to the Metro Housing Coalitions s First Set of Data Requests


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

Joint_Applicants_Response_to_MHC_DR-1.pdf

KU and LG&E Responses to MHC's First Set of Data Requests

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

2/7/2018 12:59:21 PM

Responses of KU and LGE to the Attorney Generals Initial Data Requests


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

2017-00441_Attachment_to_AG_1-4.xlsx

Attachment to AG Question No. 4

Joint_Applicants_Response_to_AG_DR-1.pdf

KU and LG&E Responses to AG's Initial Data Request

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

2/7/2018 12:54:17 PM

Responses of KU and LGE to the Commission Staffs First Request for Information


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

2017-00441_PSC_Attach_to_Q1_-_KU_Supporting_Calcs_Attachment_1.xlsx

Attachment 1 to PSC Question No. 1 - KU Supporting Calcs

2017-00441_PSC_Attach_to_Q1_-_LGE_Elec_Supporting_Calcs_Attachment_2.xlsx

Attachment 2 to PSC Question No. 1 - LG&E Electric Supporting Calcs

2017-00441_PSC_Attach_to_Q1_-_LGE_Gas_Supporting_Calcs_Attachment_3.xlsx

Attachment 3 to PSC Question No. 1 - LG&E Gas Supporting Calcs

2017-00441_PSC_Attach_to_Q14_-_KU_Supporting_Calcs.xlsx

Attachment to PSC Question No. 14 - KU Supporting Calcs

2017-00441_PSC_Attach_to_Q15_-_LGE_Elec_Supporting_Calcs.xlsx

Attachment to PSC Question No. 15 - LG&E Electric Supporting Calcs

2017-00441_PSC_Attach_to_Q16_-_LGE_Gas_Supporting_Calcs.xlsx

Attachment to PSC Question No. 16 - LG&E Gas Supporting Calcs

Joint_Applicants_Response_to_PSC_DR-1.pdf

KU and LG&E Responses to PSC Staff's First Req for Infor

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

2/5/2018 4:03:04 PM

20180205_PSC Letter Regarding Raff Participation.pdf


1/29/2018 3:12:22 PM

Kentucky Industrial Utility Customers, Inc. (KIUC) Written Statement


Michael L. Kurtz, Esq. Kentucky Industrial Utility Customers, Inc. (KIUC)

Cover_Ltr__2017-00441_(2).pdf

Cover Ltr - Read 1st

KIUC_Statement__2017-00441.pdf

KIUC Written Statement

1/25/2018 3:40:18 PM

Statement Regarding Receipt of Electronic Transmissions


Tom FitzGerald Metropolitan Housing Coalition, Inc.

MHCStatementReElectronicTransmissions.pdf

(Statement Of Metropolitan Housing Coalition, Inc., Regarding Receipt of Electronic Transmissions)

ReadFirst3.pdf

(Cover Letter Regarding Statement of MHC Regarding Electronic Transmissions)

1/24/2018 10:30:13 PM

First Set of Data Requests To LGE


Tom FitzGerald Metropolitan Housing Coalition

MHCFirstSetOfDataRequestsToLGE.pdf

(Metropolitan Housing Coalition First Set of Data Requests to LG&E)

ReadFirst2.pdf

(Read First regarding First Set of Data Requests to LG&E)

1/24/2018 5:49:58 PM

The Attorney Generals Initial Data Requests


Justin M. McNeil Office of the Attorney General

2017-441_AGs_Initial_RFI.pdf

The AG's Initial Data Requests

2017-441_AGs_Initial_RFI_Read1st_1-24-2018.pdf

The AG's Read1st File re: Initial Data Requests

1/24/2018 5:28:07 PM

The Attorney Generals Email Service Response to Commission Order


Justin M. McNeil Office of the Attorney General

2017-441_AG_Email_Service_Response.pdf

The AG's Email Service Response

2017-441_AG_Email_Service_Response_Read_1st_1-24-2018.pdf

The AG's Read1st File re: Email Service Response

1/23/2018 2:13:07 PM

Data Request


1/23/2018 9:05:50 AM

Order Entered: 1. The motion of the AG to intervene is granted. 2. The AG shall be entitled to the full rights of a party and shall be served with the Commission's Order and with filed testimony, exhibits, pleadings, correspondence, and all other documents submitted by parties after the date of this Order. 3. The AG shall comply with all provisions of the Commission's regulations, 807 KAR 5:001, Section 8, related to the service and electronic filing of documents. 4. The AG shall adhere to the procedural schedule set forth in the Commission's January 4, 2018 Order and as amended by any subsequent Orders. 5. Pursuant to 807 KAR 5:001, Section 8(9) , within seven days of entry of this Order, the AG shall file a written statement with the Commission that: a. Certifies that it, or its agent, possesses the facilities to receive electronic transmissions; and b. Sets forth the electronic mail address to which all electronic notices and message related to this proceeding should be served.


1/23/2018 9:00:28 AM

Order Entered: 1. The motion of KlUC to intervene is granted. 2. KIUC shall be entitled to the full rights of a party and shall be served with the Commission's Order and with filed testimony, exhibits, pleadings, correspondence, and all other documents submitted by parties after the date of this Order. 3. KIUC shall comply with all provisions of the Commission's regulations, 807 KAR 5:001, Section 8, related to the service and electronic filing of documents. 4. KIUC shall adhere to the procedural schedule set forth in the Commission's January 4, 2018 Order and as amended by any subsequent Orders. 5. Pursuant to 807 KAR 5:001, Section 8(9), within seven days of entry of this Order, KIUC shall file a written statement with the Commission that: a. Certifies that it, or its agent, possesses the facilities to receive electronic transmissions; and b. Sets forth the electronic mail address to which all electronic notices and message related to this proceeding should be served.


1/23/2018 8:54:36 AM

Order Entered: 1. The motion of MHC to intervene is granted. 2. MHC shall be entitled to the full rights of a party and shall be served with the Commission's Order and with filed testimony, exhibits, pleadings, correspondence, and all other documents submitted by parties after the date of this Order. 3. MHC shall comply with all provisions of the Commission's regulations, 807 KAR 5:001, Section 8, related to the service and electronic filing of documents. 4. MHC shall adhere to the procedural schedule set forth in the Commission's January 4, 2018 Order and as amended by any subsequent Orders. 5. Pursuant to 807 KAR 5:001, Section 8(9), within seven days of entry of this Order, MHC shall file a written statement with the Commission that: a. Certifies that it, or its agent, possesses the facilities to receive electronic transmissions; and b. Sets forth the electronic mail address to which all electronic notices and message related to this proceeding should be served.


1/22/2018 4:06:39 PM

Reply of Wal-Mart Stores East, LP and Sams East, Inc. to Kentucky Utilities Company and Louisville Gas and Electric Companys Response to Motion to Intervene


Don C. A. Parker

2017-00441_-_Reply_of_Walmart_to_KU-LGE_Response_to_Motion_to_Intervene.PDF

Reply of Walmart to Response of KU and LGE to Motion to Intervene

1/19/2018 2:22:23 PM

Filing the Certificate of Completed Notice of Louisville Gas and Electric Company and Kentucky Utilities Company and a Petition to Deviate from Public Notice Publication Requirements


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

01_-_Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

02_-_Certificate_of_Completed_Notice.pdf

Certificate of Completed Notice

1/16/2018 12:54:36 PM

LGE-KU Response to Motion to Intervene of Wal-Mart Stores East, LP and Sam’s East, Inc.


W. Duncan Crosby III Kentucky Utilities Company and Louisville Gas and Electric Company

LGE-KU_Read1st_cover_letter_1-16-2018.pdf

LG&E-KU Read1st Cover Letter 1-16-2018

LGE-KU_Response_to_Walmart_Motion_to_Intervene_1-16-2018.pdf

LG&E-KU Response to Motion to Intervene of Wal-Mart Stores East, LP and Sam’s East, Inc.

1/10/2018 7:35:28 PM

Motion for Intervention


Tom FitzGerald Metropolitan Housing Coalition

MHCInterventionDSM2017.pdf

(Motion for Intervention)

ReadFirst1.pdf

(Read First)

1/10/2018 5:12:45 PM

The Attorney Generals Motion to Intervene


Justin M. McNeil Office of the Attorney General

2017-441_AG_MTI_Read_1st_1-10-2018.pdf

AG's Read1st File re: Motion to Intervene

2017-441_Motion_to_Intervene.pdf

AG's Motion to Intervene

1/10/2018 4:43:05 PM

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


Michael L. Kurtz Kentucky Industrial Utility Customers, Inc. (KIUC)

Cover_Ltr__2017-00441.pdf

Cover Ltr - Read 1st

1/10/2018 2:44:49 PM

Motion to Intervene of Wal-Mart Stores East, LP and Sams East, Inc.


Don C. A. Parker Wal-Mart Stores East, LP and Sams East, Inc.

Read1st.pdf

Read1st - Letter

1/4/2018 11:01:28 AM

Order Entered: 1. The Companies' proposed tariffs are suspended for five months from January 5, 2018, up to and including June 4, 2018. 2. The procedural schedule set forth in the Appendix to this Order shall be followed. 3. a. Responses to requests for information in paper medium 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 an original and six copies in paper medium, and an electronic version 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 that party shall provide a written explanation of the specific grounds for its failure to completely and precisely respond.


12/6/2017 5:08:27 PM

Louisville Gas and Electric Companys and Kentucky Utilities Companys Joint Application seeking approval of the proposed 2019-2025 Demand-Side Management and Energy Efficiency Program Plan and the proposed cost recovery tariffs.


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

LGE_KU_Application.pdf

Joint Application

LGE_KU_Petition_for_Confidential_Protection.pdf

Petition for Confidential Protection

Read_1st-Cover_Letter.pdf

Read 1st - Cover Letter

11/20/2017 3:15:14 PM

Order Entered: 1. All future correspondence or filings in connection with this case shall reference the above case number. 2. All documents submitted in this proceeding shall comply with the Commission’s rules of procedure as set forth in 807 KAR 5:001 and any deviation from these rules shall be submitted in writing to the Commission for consideration. 3. Any party filing a paper shall upload an electronic version using the Commission's E-Filing System and shall file an original and six copies in paper medium, except that only two copies in paper medium shall be filed of maps, plans, specifications, and drawings pursuant to 807 KAR 5:001, Section 15(2)(d). 4. Any request for confidential treatment of material submitted shall conform to the requirements in 807 KAR 5:001(13). 5. Materials submitted to the Commission which do not comply with the rules of procedure or that do not have an approved deviation are subject to rejection pursuant to 807 KAR 5:001, Section 3.


11/20/2017

Louisville Gas and Electric Company and Kentucky Utilities Company Notice of Intent and Election to file Application of Review, Modification, and Continuation of Certain Existing Demand-Side Management and Energy Efficiency Programs Using the Electronic Fi


20171120_Louisville Gas and Electric Company and Kentucky Utilities Company Notice of Intent and Election.pdf

Louisville Gas and Electric Company and Kentucky Utilities Company Notice of Intent and Election