Kentucky Public Service Commission


View Case Filings for: 2018-00348


Case Number:2018-00348
Service Type:Electric
Filing Date:10/19/2018
Category:Regular
Utilities:

Kentucky Utilities Company , Louisville Gas and Electric Company


Electronic Case
Case Nature:

ELECTRONIC 2018 JOINT INTEGRATED RESOURCE PLAN OF LOUISVILLE GAS AND ELECTRIC COMPANY AND KENTUCKY UTILITIES COMPANY









Case Filings
FilingDocuments
10/2/2020 8:50:35 AM

Final Order Entered: 1. KU/LG&E shall file their next IRP no later than October 19, 2021. 2. This case is closed and removed from the Commission's docket.


9/30/2020 8:28:08 AM

Filing of Witness Verification for Post-Hearing Data Request Responses


Andrea M. Fackler Louisville Gas and Electric Company and Kentucky Utilities Company

1-Read_1st_Cover_Letter.pdf

Read 1st Filing Letter - 9-30-20 (CN 2018-00348)

2-Post-Hearing_DR_Verification.pdf

LG&E and KU Verification for Stuart A. Wilson

9/28/2020 12:43:06 PM

20200928_PSC Notice of Filing Hearing Documents.pdf


9/22/2020 2:36:45 PM

LGE and KU Response to Commission Staffs Post-Hearing Request for Information


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

1-Read1st.pdf

Cover Letter

2-LGE_KU_Response_to_PSC_Post-Hearing_DR.pdf

LG&E and KU Response to Commission Staff's Post-Hearing Request for Information

9/16/2020 3:49:07 PM

Data Request


9/14/2020 3:55:06 PM

LGE-KU Letter enclosing PPT presentation from informal conference


Kendrick R. Riggs of Stoll Keenon Ogden PLLC Louisville Gas and Electric Company and Kentucky Utilities Company

LGE-KU_Ltr_Attaching_Informal_Conference_Presentation_9-14-20.pdf

LGE-KU Ltr Attaching Informal Conference Presentation

9/14/2020 2:48:29 PM

LGE-KU Post-Informal Conference Data Response to Commission Staff


Kendrick R. Riggs of Stoll Keenon Ogden PLLC Louisville Gas and Electric Company and Kentucky Utilities Company

LGE-KU_Post-Informal_Conference_Data_Response_to_KPSC_9-14-20.pdf

LGE-KU Post-Informal Conference Data Response to KPSC

9/10/2020 4:57:01 PM

LGE Mtn to Deviate From Rules and Order, Proof of Publication


Kendrick R. Riggs of Stoll Keenon Ogden PLLC Louisville Gas and Electric Company

LGE_Mtn_to_Deviate_From_Rules_and_Order_9-10-20.pdf

LGE Mtn to Deviate From Rules and Order

9/10/2020 1:25:28 PM

20200910_PSC IC Memo.pdf


8/28/2020 12:03:29 PM

Order Entered: 1. LG&E/KU's motion to reschedule the August 26, 2020 informal conference is granted. 2. The August 26, 2020 informal conference shall be rescheduled to September 4, 2020, beginning at 12 p.m. 3. The informal conference shall be held by videoconference and Commission Staff shall contact participants by electronic mail to provide details for joining the videoconference.


8/26/2020 6:06:39 PM

LGE-KU Jt Mtn to Reschedule Informal Conference


Kendrick R. Riggs of Stoll Keenon Ogden PLLC Louisville Gas and Electric Company and Kentucky Utilities Company

8/7/2020 10:33:00 AM

Notice of Informal Conference


8/6/2020 7:29:42 AM

LGE and KU file Hearing Notice preparation documents


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

1-Read1st.pdf

Cover Letter

2-LGE_KU_Hearing_Notice_Req_KY_Press.pdf

LG&E and KU Hearing Notice Request

7/30/2020 3:48:08 PM

LGE-KU Comments


Kendrick R. Riggs of Stoll Keenon Ogden PLLC Louisville Gas and Electric Company and Kentucky Utilities Company

7/30/2020 1:42:44 PM

Sierra Clubs Comments on Companies Joint Integrated Resource Plan


Joe F Childers Sierra Club and Individual Members

2020.7.30_Sierra_Club_Comments_on_Staff_Report.pdf

Sierra Club's Comments on Companies' Joint Integrated Resource Plan

7/30/2020 11:58:08 AM

OAGs Comments


Larry Cook Kentucky Attorney GeneralsOffice

7/20/2020 10:33:42 AM

Order Entered: 1. The Staff Report attached as an Appendix to this Order shall be entered into the record of this matter. 2. Any comments with respect to the Staff Report shall be filed within ten days from the date of the entry of this Order. 3. A hearing in this matter shall be held on September 15, 2020, at 9 a.m. Eastern Daylight Time, in the Richard Raff Hearing Room (Hearing Room 1) at the offices of the Public Service Commission at 211 Sower Boulevard, Frankfort, Kentucky. 4. LG&E/KU shall give notice of the hearing in compliance with 807 KAR 5:001, Section 9(2)(b). In addition, the notice of hearing shall include the following statement: "This hearing will be streamed live and may be viewed on the PSC website, psc.ky.gov"; and "Public comments may be made at the beginning of the hearing. Those wishing to make oral public comments may do so by following the instructions listed on the PSC website, psc.ky.gov." At the time the notice is mailed or publication is requested, LG&E/KU shall forward a duplicate of the notice and request to the Commission. 5. Pursuant to KRS 278.360 and 807 KAR 5:001, Section 9(9), a digital video transcript shall be made of the hearing. 6. On or before August 31, 2020, Commission Staff shall schedule an informal conference with the parties for the purpose of discussing the scope of the hearing and identifying witnesses who will offer testimony at the September 15, 2020 hearing.


6/17/2020 4:35:30 PM

LGE-KU Supplemental Response to AG and Joint Petition for Confidential Protection


Kendrick R. Riggs of Stoll Keenon Ogden PLLC Louisville Gas and Electric Company and Kentucky Utilities Company

LGE-KU_Jt_Ptn_for_Confidental_Protection_6-17-20.pdf

LGE-KU Joint Petition for Confidential Protection

LGE-KU_Suppl_Response_to_AG_2-1_6-17-20.pdf

LGE-KU Supplemental Data Response to AG

4/6/2020 10:15:18 AM

Order Entered: 1. Joint Movants' December 19, 2019 motion 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 Order of this Commission. 3. Use of the material in question in any Commission proceeding shall be in compliance with 807 KAR 5:001, Section 13(9). 4. Joint Movants shall inform the Commission if the material in question becomes publicly available or no longer qualifies for confidential treatment. 5. If a non-party to this proceeding requests to inspect the material granted confidential treatment by this Order and the period during which the material has been granted confidential treatment has not expired, Joint Movants shall have 30 days from receipt of written notice of the request to demonstrate that the material still falls within the exclusions from disclosure requirements established in KRS 61.878. If Joint Movants are unable to make such demonstration, the requested material shall be made available for inspection. Otherwise, the Commission shall deny the request for inspection. 6. The Commission shall not make the requested material available for inspection for 30 days following an Order finding that the material no longer qualifies for confidential treatment in order to allow Joint Movants to seek a remedy afforded by law.


4/3/2020 12:45:43 PM

Order Entered: 1. Joint Movants’ October 29, 2019 and October 31, 2019 motions for confidential protection are 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 Order of this Commission. 3. Use of the material in question in any Commission proceeding shall be in compliance with 807 KAR 5:001, Section 13(9). 4. Joint Movants shall inform the Commission if the material in question becomes publicly available or no longer qualifies for confidential treatment. 5. If a non-party to this proceeding requests to inspect the material granted confidential treatment by this Order and the period during which the material has been granted confidential treatment has not expired, Joint Movants shall have 30 days from receipt of written notice of the request to demonstrate that the material still falls within the exclusions from disclosure requirements established in KRS 61.878. If Joint Movants are unable to make such demonstration, the requested material shall be made available for inspection. Otherwise, the Commission shall deny the request for inspection. 6. The Commission shall not make the requested material available for inspection for 30 days following an Order finding that the material no longer qualifies for confidential treatment in order to allow Joint Movants to seek a remedy afforded by law.


3/24/2020 6:10:15 PM

The Attorney Generals Notice of Withdrawal and Substitution of Counsel


Justin M. McNeil Office of the Attorney General

McNeil_Electronic_AG_Withdrawal_and_Substitution_of_Counsel_3.24.20-signed.pdf

McNeil Notice of Withdrawal and Substitution of Counsel

2/17/2020 12:58:32 PM

LGE and KU submit responses to Sierra Clubs comments and public comments of SREA


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

1-Read1st.pdf

Cover Letter

2-LGE_KU_Response_to_Comments.pdf

LG&E and KU Response to Sierra Club comments and public comments of SREA

1/17/2020 4:13:57 PM

Comments


Joe F. Childers SIERRA CLUB, ALICE HOWELL, CARL VOGEL, AMY WATERS, AND JOE DUTKIEWICZ

Case_No_2018-00348_Sierra_Club_Comments_PUBLIC.pdf

Sierra Club, Public Comments with Exhibit A

12/17/2019 2:49:20 PM

LGE and KU Responses to the Supplemental Data Requests of the Sierra Club and a Petition for Confidential Protection


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

1-Read1st.pdf

Cover Letter

3-LGE_KU_Responses_to_SC_DR2.pdf

LG&E and KU Responses to Supplemental Data Requests of the Sierra Club

12/17/2019 2:45:46 PM

LGE and KU Responses to the Attorney Generals Supplemental Data Requests


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

1-Read1st.pdf

Cover Letter

2-LGE_KU_Responses_to_AG_DR2.pdf

LG&E and KU Responses to AG's Supplemental Data Requests

12/17/2019 2:42:05 PM

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


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

1-Read1st.pdf

Cover Letter

2-LGE_KU_Responses_to_PSC_DR_2.pdf

LG&E and KU Responses to Commission Staff's Second Request for Information

11/25/2019 2:15:18 PM

Data Request


11/25/2019 2:10:43 PM

Supplemental Data Requests Of Sierra Club, Alice Howell, Carl Vogel, Amy Waters, And Joe Dutkiewicz To Louisville Gas And Electric Company And Kentucky Utilities Company


Joe F. Childers SIERRA CLUB, ALICE HOWELL, CARL VOGEL, AMY WATERS, AND JOE DUTKIEWICZ

11/25/2019 10:00:14 AM

OAGs Supplemental Data Requests


Larry Cook Kentucky Attorney GeneralsOffice

DR-2_IRP.pdf

OAG's Supplemental Data Requests

11/15/2019 3:43:44 PM

Notice of Withdrawal


Larry Cook Kentucky Attorney GeneralsOffice

11/8/2019 2:04:54 PM

Attorney Generals Notice of Withdrawal of Counsel


Kent Chandler Kentucky Office of the Attorney General

AGs_Notice_of_Withdrawal_of_Counsel-_Kent_Chandler-_Nov._8,_2019.pdf

Attorney General's Notice of Withdrawal of Counsel

11/1/2019 10:46:56 AM

LGE-KU Amended Response to Attorney Generals Initial Data Requests dated October 4, 2019


Kendrick R. Riggs of Stoll Keenon Ogden PLLC Louisville Gas and Electric Company and Kentucky Utilities Company

LGE-KU_Data_Responses_to_AG_DR1_-_Amended_Public_Filing_11-1-19.pdf

LGE-KU Amended Response to AG 1st Data Requests - Public Version

10/31/2019 5:23:13 PM

LGE-KU Read1st to Jt Ptn for Confidential Protection


Kendrick R. Riggs of Stoll Keenon Ogden PLLC Louisville Gas and Electric Company and Kentucky Utilities Company

10/31/2019 5:04:36 PM

Joint Petition of LGE-KU for Confidential Protection


Kendrick R. Riggs of Stoll Keenon Ogden PLLC Louisville Gas and Electric Company and Kentucky Utilities Company

LGE-KU_Ptn_for_Confidential_Protection_10-31-19.pdf

LGE-KU Jt Ptn for Confidential Protection

10/25/2019 1:02:27 PM

LGE and KU Responses to the Initial Data Requests of the Sierra Club


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

1-Read1st.pdf

Cover Letter

2-LGE_KU_Responses_to_Sierra_Club_DR1.pdf

LG&E and KU Responses to Sierra Club's Initial Data Requests

10/25/2019 12:58:20 PM

LGE and KU Responses to the Attorney Generals Initial Data Requests


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

1-Read1st.pdf

Cover Letter

2-LGE_KU_Responses_to_AG_DR1.pdf

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

10/25/2019 12:54:20 PM

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


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

1-Read1st.pdf

Cover Letter

2-LGE_KU_Responses_to_PSC_DR1.pdf

LG&E and KU Responses to Commission Staff's First Request for Information

10/25/2019 12:50:40 PM

LGE and KU Petition for Confidential Protection regarding certain information pertaining to data-request responses the Companies filed on October 25, 2019


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

1-Read1st.pdf

Cover Letter

2-LGE_KU_Petition_for_Confidential_Protection.pdf

LG&E and KU Petition for Confidential Protection

10/22/2019 4:37:35 PM

Notice Regarding Ability to Accept Electronic Service


Joe F. Childers SIERRA CLUB, ALICE HOWELL, CARL VOGEL, AMY WATERS, AND JOE DUTKIEWICZ

10/4/2019 3:43:02 PM

Initial Data Requests on Behalf of SIERRA CLUB, ALICE HOWELL, CARL VOGEL, AMY WATERS, AND JOE DUTKIEWICZ


Joe F. Childers SIERRA CLUB, ALICE HOWELL, CARL VOGEL, AMY WATERS, AND JOE DUTKIEWICZ

10/4/2019 2:35:13 PM

Attorney Generals Initial Data Requests


LW Cook Kentucky Attorney GeneralsOffice

DR-1_LGE-KU_IRP_FINAL.pdf

Attorney General's Initial Data Requests

10/3/2019 9:28:35 AM

Data Request


9/19/2019 10:40:00 AM

Order Entered: 1. Alice Howell, Carl Vogel, Amy Waters, Joe Dutkiewicz, and the Sierra Club, Kentucky Chapter's joint motion to intervene is granted. 2. Alice Howell, Carl Vogel, Amy Waters, Joe Dutkiewicz, and the Sierra Club, Kentucky Chapter shall be entitled to the full rights of a party and shall be served with the Commission's Orders and with fi led testimony, exhibits, pleadings, correspondence, and all other documents submitted by parties after the date of this Order. 3. Alice Howell, Carl Vogel, Amy Waters, Joe Dutkiewicz, and the Sierra Club, Kentucky Chapter 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. Pursuant to 807 KAR 5:001, Section 8(9), within seven days of entry of this Order, Alice Howell, Carl Vogel, Amy Waters, Joe Dutkiewicz, and the Sierra Club, Kentucky Chapter shall file a written statement with the Commission that: a. Certifies that they, or their agent, possess the facilities to receive electronic transmissions; and b. Sets forth the electronic mail address to which all electronic notices and messages related to this proceeding should be served.


8/28/2019 4:39:52 PM

Motion for Full Intervention


Joe F. Childers SIERRA CLUB, ALICE HOWELL, CARL VOGEL, AMY WATERS, AND JOE DUTKIEWICZ

4/10/2019 10:44:00 AM

Order Entered nunc pro tunc, that: 1 . The first sentence in ordering paragraph 4 is stricken and is replaced with the following language: Any motion to intervene filed after September 16, 2019, shall show a basis for intervention and good cause for being untimely. 2. All other provisions of the Commission's October 30, 2018 Order that are not in conflict with the terms of this Order shall remain in effect.


12/20/2018 10:02:32 AM

LGE and KU file proof of publication for the 2018 IRP


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

1_-_Readfirst.pdf

Cover Letter

2_-_KU-LGE_Proof_of_Publication.pdf

LG&E and KU 2018 IRP Proof of Publication

11/16/2018 9:57:22 AM

Order Entered: LG&E/KU 's petition for confidential protection for the designated material is granted. 2. The designated material shall not be placed in the public record or made available for public inspection for a period of five years or until further Order of this Commission. 3. Use of the material in question 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 material in question becomes publicly available or no longer qualifies for confidential treatment. 5. If a non-party to this proceeding requests to inspect the material granted confidential treatment by this Order and the period during which the material has been granted confidential treatment has not expired, LG&E/KU shall have 20 days from receipt of written notice of the request to demonstrate that the material still falls within the exclusions from disclosure requirements established in KRS 61.878. If LG&E/KU are unable to make such demonstration, the requested material shall be made available for inspection. Otherwise, the Commission shall deny the request for inspection. 6. The Commission shall not make the requested material available for inspection for 20 days following an Order finding that the material no longer qualifies for confidential treatment in order to allow LG&E/KU to seek a remedy afforded by law.


10/30/2018 9:51:48 AM

Order Entered: 1. The procedural schedule set forth in the Appendix to this Order shall be followed in this proceeding. 2. a. Responses to requests for information in paper medium shall be appropriately bound, tabbed, and indexed. Electronic documents shall be in portable document format (PDF), shall be searchable and shall be appropriately bookmarked. Each response shall include the name of the witness responsible for responding to questions related to the information provided, with an original 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 an 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. A party shall make timely amendment to any prior response if it obtains information that 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.


10/29/2018 9:29:45 AM

OAGs Notice of Waiver of Service by U.S. Mail


LW Cook Office of the Attorney General

Notice_of_Waiver_of_Service.pdf

OAG Waiver of Service by U.S. Mail

10/26/2018 12:10:14 PM

Order Entered: 1. The motion of the Attorney General to intervene 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 and with filed testimony, exhibits, pleadings, correspondence, and all other documents submitted by parties after the date of this Order. 3. The Attorney General 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. 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 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 messages related to this proceeding should be served.


10/23/2018 1:54:22 PM

Attorney Generals Motion to Intervene


LW Cook Office of the Attorney General

AG_MOT_Interv.pdf

Attorney General's Motion to Intervene

10/19/2018 10:31:53 AM

Pursuant to 807 KAR 5:058 and Ordering Paragraph 1 in the April 13, 2016 Order in Case No. 2014-00131, KU and LGEE file the 2018 Joint Integrated Resource Plan


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

1-Read1st.pdf

Cover Letter

2-LGE_KU_Petition_for_Confidential_Protection.pdf

LG&E and KU Petition for Confidential Protection

3-LGE_KU_2018_IRP-Volume_I.pdf

LG&E and KU 2018 IRP - Volume I

4-LGE_KU_2018_IRP-Volume_II.pdf

LG&E and KU 2018 IRP - Volume II

5-LGE_KU_2018_IRP-Volume_III.pdf

LG&E and KU 2018 IRP - Volume III

10/12/2018 4:02:54 PM

20181012_PSC Acknowledgment Letter.pdf


10/12/2018

LGE and KUs Notice of Intent to File 2018 Integrated Resource Plan Using Electronic Filing Procedures


20181012_LGE and KUs Notice of Intent and Election.pdf

LGE and KUs Notice of Intent and Election