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HomeMy WebLinkAboutPSE's Request for Correction and Response to Renton's Request for Limited Reconsideration - 2-27-2020 99640 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 PSE’S REQUEST FOR CORRECTION AND RESPONSE TO RENTON’S REQUEST FOR LIMITED CONSIDERATION - 1 719 Second Avenue Suite 1150 Seattle, WA 98104 (206) 623 -9372 The Honorable Phil Olbrechts BEFORE THE HEARING EXAMINER FOR THE CITY OF RENTON, WASHINGTON In re: Renton Land Use Matter LUA18-000055 Puget Sound Energy, Inc. Energize Eastside Conditional Use Permit File No. Renton Land Use Matter LUA18-000055 PUGET SOUND ENERGY, INC.’S REQUEST FOR CORRECTION [RMC 4-8-100.H.7]1 AND RESPONSE TO RENTON’S REQUEST FOR LIMITED RECONSIDERATION. I. REQUEST FOR CORRECTION Applicant Puget Sound Energy, Inc. (“PSE”) appreciates Hearing Examiner Olbrechts' thorough engagement of the considerable record on PSE’s conditional use permit (“CUP”) application for the construction of 4 miles of high voltage transmission lines in the City of Renton (“City”). As set forth in detail in PSE’s Hearing Memorandum, the more than six years of evaluation of the Energize Eastside project was searching and rigorous and resulted in key project changes along the way. We submit this limited request for correction to the Revised Findings of Fact, Conclusions of Law and Final Decision (HE Decision) to ensure that the decision addresses impacts of the project as proposed in 1 In the event that the Hearing Examiner is unable to resolve PSE’s Request for Correction before the February 28, 2020 deadline for motions for reconsideration, PSE asks that this request for correction be construed as a motion for reconsideration. 99640 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 PSE’S REQUEST FOR CORRECTION AND RESPONSE TO RENTON’S REQUEST FOR LIMITED CONSIDERATION - 2 719 Second Avenue Suite 1150 Seattle, WA 98104 (206) 623 -9372 PSE’s CUP application and fully reflects the record developed during the City’s permit review. EDM Report. On pages 4-6 and 9, the HE Decision summarizes EDM Services, Inc.’s Energize Eastside EIS Pipeline Safety Technical Report (“EDM Report”)2 findings with respect to potential safety risks of the Willow 2 route operating at two different voltages (115kV/230kV). Because the EDM Report was an appendix to the Phase I, Draft Environmental Impact Statement (“EIS”), it focuses exclusively on the potential impacts of PSE operating the Willow 2 route under 115/230kV operational parameters which was PSE’s preferred alternative at that time.3 As was presented at hearing and stated in the HE Decision, this is not the route or operational parameters that PSE proposed to construct in Renton in its permit application to Renton.4 Following analysis of the most effective means to reduce (and indeed eliminate) risks associated with A/C interference5 and consistent with the Final EIS, PSE changed its proposed alignment by electing to proceed with the Willow 1 route and, accordingly, sought a CUP that authorized construction and operation of both 2 Ex. 17 at Appendix I-5 (Phase II, Draft EIS, Appendix I-5, Energize Eastside EIS Pipeline Safety Technical Report). 3 Ex. 17 at p. 49-64 (assessing A/C interference of Willow 2); id. at 82-89 (individual risk assessment of collocating two Olympic pipelines with 115/230kV lines); 96-100 (societal risks associated with Willow 2/115/230kV lines). 4 HE Decision at 5 (“PSE had originally proposed to operate its two transmission lines at 115kV for one line and 230kV for the other line for the initial stages of operation but agreed to operate both lines at 230kV to avoid the corrosion and voltage risks identified in the DNV study.”). 5 See A.C. Interference Analysis 230kV Transmission Line Collocated with Olympic Pipelines OPL16 and OPL20 Study (“A.C. Interference Study”); Testimony of David Kemp. PSE notes that the EDM Report scrutinizes and ultimately relies upon DNV-GL’s A/C Interference Study. Ex. 17 at p. 49-50. 99640 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 PSE’S REQUEST FOR CORRECTION AND RESPONSE TO RENTON’S REQUEST FOR LIMITED CONSIDERATION - 3 719 Second Avenue Suite 1150 Seattle, WA 98104 (206) 623 -9372 transmission lines at 230/230kV from the outset of energization.6 This commitment to 230/230kV operational parameters is reflected both in the record and the Decision.7 The Hearing Examiner's conclusion that “the proposal will not materially increase the risk of unintentional pipeline release along the co-located Olympic Pipeline” is well supported in the HE Decision and the record.8 PSE respectfully requests, however, that all discussion regarding potential risks associated with the Willow 2 route under 115/230kV operational parameters be removed from the HE Decision. PSE did not submit a CUP application for the Willow 2 route or seek approval to operate at 115 kV/230 kV., The Willow 2 discussion is not relevant to nor does it inform analysis of PSE’s Renton CUP application, which proposed the Willow 1 230/230kV configuration.9 Discussion in the HE Decision about a route/configuration that was not before the City is confusing at best and has the potential to mislead readers. Any action taken to seek review of the Decision based on a Willow 2 discussion is not pertinent to the actual project proposed to Renton and would be prejudicial to the applicant. Response to Comments. Page 6 of the HE Decision states that certain comments related the EDM Report were not addressed in the Draft and Final EISs, Appendices J and K. It is unclear from the HE Decision which comments, specifically, went unaddressed 6 Id. at p. 49-50. 7 Decision at 4; Ex. 18 at 2-11 (Final EIS explaining that “[t]he current plan for the Energize Eastside project is to operate both circuits at 230 kV. PSE proposes to power both transmission lines in the corridor at 230 kV instead of having one at 230 kV and one at high- capacity 115 kV (as was described in the Phase 2 Draft EIS). “); Ex. 14 (Conditional Use Justification; “Within Renton, approximately 4 miles of existing 115 kV lines (two) will be upgraded with two 230 kV lines beginning at the City’s northern boundary with Newcastle and ending at the existing Talbot Hill substation.”) 8 HE Decision at p. 4. 9See HE Decision at p. 4: 16-5: 10; p. 6:9-15; p. 9: 12-18 (applying EDM risk associated with 115/230kV parameters to PSE CUP application proposing the 230/230kV parameters which have no additional associated risk. This application was later correct on HE Decision p. 10 which identified no increase in risk.). 99640 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 PSE’S REQUEST FOR CORRECTION AND RESPONSE TO RENTON’S REQUEST FOR LIMITED CONSIDERATION - 4 719 Second Avenue Suite 1150 Seattle, WA 98104 (206) 623 -9372 (making it difficult for PSE to review the EIS record for responses). PSE understands this section was intended to mean that new comments raised by the public at hearing may not be fully addressed in EIS documents because those documents were finalized years before the Renton hearing. PSE respectfully requests that this section of the HE Decision be clarified as the Final EIS, Appendices J and K fully respond to all comments submitted during environmental review. Geotechnical Report. PSE respectfully requests that the HE Decision be corrected to reflect the fact that a geotechnical report was submitted as part of the record. Page 14, lines 14-15 of the HE Decision state that “the geotechnical report for the Renton section was not submitted into the record.” PSE respectfully disagrees, as this document is found in the City’s full permit file, a complete copy of which was submitted to the Hearing Examiner in its entirety on a thumb drive presented by PSE attorney Erin Anderson at the hearing and admitted as Exhibit 22.10 Leak Detection. On Page 16, the HE Decision discusses Olympic Pipeline’s leak detection system. As found in the HE Decision, with respect to pipeline incidents, “[n]o increased risk was assigned to the 230/230kV configuration because no AC interference was found to occur under this configuration as determined in the DNV report.”11 Olympic Pipeline’s leak detection system is not part of PSE’s CUP application and PSE has no legal authority to manage or operate Olympic Pipeline’s facilities. PSE respectfully requests that this section be removed from the HE Decision as Olympic Pipeline’s facilities are not part of the proposal under review. Alternatively, PSE requests that this section be clarified to re-state that substantial evidence in the record confirms that PSE’s 10 Geotechnical Engineering Services, Energize Eastside Project, Redmond to Renton, Washington for Puget Sound Energy (June 8, 2016) can be found in the folder entitled “Submittal Document v1.20180125,” which is on the thumb drive submitted as Ex. 22 to the HE Decision. 11 HE Decision at 10:9-11. 99640 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 PSE’S REQUEST FOR CORRECTION AND RESPONSE TO RENTON’S REQUEST FOR LIMITED CONSIDERATION - 5 719 Second Avenue Suite 1150 Seattle, WA 98104 (206) 623 -9372 proposal does not increase risk of pipeline leaks and that PSE bears no responsibility for leak detection of Olympic Pipeline’s facilities. Richards Creek Substation. PSE respectfully requests that the HE Decision at Page 33 be corrected to state that the Richards Creek substation will be located in the City of Bellevue and not Renton.12 230/230kV operation. Finally, PSE requests that HE Decision, Condition 11 be corrected to be consistent with the language in PSE’s City of Bellevue CUP to read, “PSE shall operate both transmission lines at equivalent voltage ratings, except as necessary to respond to emergency situations.” This approach ensures that the operational parameters identified by DNV (and specifically the cross-cancelling benefits of running both lines at equivalent voltage ratings) are implemented without unnecessarily limiting PSE’s ability to manage its system. II. RESPONSE ON CITY’S REQUEST FOR LIMITED RECONSIDERATION On February 14, 2020, the City submitted a request for limited reconsideration asking 1) to change HE Decision, Condition #9 (relating to art poles) and 2) a correction of the name of the current Land Use Director for the City of Bellevue. PSE supports the request to correctly identify Liz Stead as Bellevue’s Land Use Director, but disagrees with changes proposed by the City with respect to Condition #9. The City requested the following changes to HE Decision, Condition #9: Individual art wraps for the transmission line poles shall be submitted to the Current Planning Project Manager for review and approval prior to the issuance of a Construction Permit. PSE will install art wraps at up to 12 15 transmission line pole locations (including those previously discussed and identified by the City at the Renton Technical College and on publicly 12 HE Decision at 33:12-13 (“The Seco letter points out that the Richards Creek substation, to be placed in Renton, embraces such new technology and that Renton has not benefitted from any similar facility”). 99640 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 PSE’S REQUEST FOR CORRECTION AND RESPONSE TO RENTON’S REQUEST FOR LIMITED CONSIDERATION - 6 719 Second Avenue Suite 1150 Seattle, WA 98104 (206) 623 -9372 visible PSE‐owned property). Artwork shall be installed prior to the energizing of the transmission line, or as otherwise approved by the Current Planning Project Manager, but at no point will art installation delay the transmission lines from being energized. The Current Planning Manager may require a cash security bond for completion of the artwork if it is not installed prior to energizing. PSE has no comment on the City’s first two requested deletions, but cannot comply with a requirement to delay the energization of the rebuilt transmission lines to install art. Any such a delay would run counter to PSE’s statutory duty to deliver safe, reliable power to its rate payers and federally-mandated reliability planning criteria. See RCW 80.28.010(2). As explained in PSE’s Hearing Memorandum, the Energize Eastside project “is a critical component of an approximately 16-mile electric system upgrade required to bring PSE’s system into compliance with federally-required planning criteria by increasing transmission reliability on the Eastside, including Renton.” Ex. 22 at 98. Compliance with these planning criteria is not elective and PSE cannot postpone energization of these lines to install art wraps for transmission line poles. To do so would potentially undermine the integrity of PSE’s system. PSE is, however, committed to implementing Condition #9 and so proposes addressing the City’s concerns about potential delays with the imposition of a bond: Individual art wraps for the transmission line poles shall be submitted to the Current Planning Project Manager for review and approval prior to the issuance of a Construction Permit. PSE will install art wraps at up to 12 15 transmission line pole locations (including those previously discussed and identified by the City at the Renton Technical College and on publicly visible PSE‐owned property). Artwork shall be installed prior to the energizing of the transmission line, or as otherwise approved by the Current Planning Project Manager, but at no point will art installation delay the transmission lines from being energized. The Current Planning Manager may require shall accept a cash security bond for completion of the artwork if it is not installed prior to energizing. 99640 1 2 3 4 5 6 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 CERTIFICATE OF SERVICE - 1 719 Second Avenue Suite 1150 Seattle, WA 98104 (206) 623 -9372 CERTIFICATE OF SERVICE I, I’sha Willis, declare as follows: That I am over the age of 18 years, not a party to this action, and competent to be a witness herein; That I, as a Legal Assistant in the office of Van Ness Feldman, caused true and correct copies of the following documents to be emailed to the Hearing Examiner and counsel of record as set forth below: 1. Puget Sound Energy, Inc.’s Request for Correction [RMC 4-8-100.H.7] and Response to Renton’s Request for Limited Consideration; 2. Certificate of Service; and that on February 27, 2020, I addressed said documents and deposited them for delivery as follows: City of Renton Hearing Examiner City of Renton Leslie Clark lclark@rentonwa.gov Jill Ding JDing@Rentonwa.gov Citizens for Sane Eastside Energy (CSEE) Larry G. Johnson larry.ede@gmail.com Coalition of Eastside Neighbors for Sensible Energy (CENSE) Rick Aramburu rick@aramburu-eustis.com Carol Cohoe carol@aramburu-eustis.com