Direct Testimony and Schedules John J. Reed Before
Transcription
Direct Testimony and Schedules John J. Reed Before
Direct Testimony and Schedules John J. Reed Before the Minnesota Public Utilities Commission State of Minnesota In the Matter of the Application of Northern States Power Company, a Minnesota corporation for Authority to Increase Rates for Electric Service in Minnesota Docket No. E002/GR-10-971 Exhibit___(JJR-1) Return on Equity November 3, 2010 Table of Contents I. Introduction and Qualifications 1 II. Purpose and Overview 2 III. Regulatory Guidelines and Financial Considerations 5 IV. Current Capital Market Environment 10 V. Proxy Group Selection 15 VI. Cost of Equity Estimation 26 VII. A. Constant Growth DCF Model 29 B. Dividend Yield for the DCF Model 30 C. Growth Rates for the DCF Model 31 D. Results for Constant Growth DCF Model 32 E. Flotation Adjustment 34 F. CAPM Analysis 38 G. Bond Yield Plus Risk Premium Analysis 42 Risk Factors 46 A. Capital Expenditures 46 VIII. Capital Structure 52 IX.. Conclusion and Recommendation 53 Schedules Statement of Qualifications Attachment A DCF Results and Summary Schedule 1 Flotation Cost Calculation Schedule 2 CAPM Results and Summary Schedule 3 Summary of Risk Premium Results Schedule 4 Capital Expenditure Comparison Comparison of the Company’s Proposed Capital Structure Relative to the Proxy Groups Schedule 5 i Schedule 6 1 I. INTRODUCTION AND QUALIFICATIONS 2 3 Q. PLEASE STATE YOUR NAME, AFFILIATION AND BUSINESS ADDRESS. 4 A. My name is John J. Reed. I am Chairman and Chief Executive Officer of 5 Concentric Energy Advisors, Inc. (“Concentric”), located at 293 Boston Post 6 Road West, Suite 500, Marlborough, Massachusetts 01752. 7 8 Q. ON WHOSE BEHALF ARE YOU SUBMITTING THIS TESTIMONY? 9 A. I am submitting this testimony on behalf of Northern States Power Company, 10 a Minnesota corporation (the “Company”) and wholly owned subsidiary of 11 Xcel Energy Inc. (“XEI”). 12 13 Q. PLEASE 14 15 DESCRIBE YOUR EXPERIENCE IN THE ENERGY AND UTILITY INDUSTRIES. A. I have more than 30 years of experience in the energy industry, having served 16 as an executive in energy consulting firms, including the position of Co-Chief 17 Executive Officer of the largest publicly-traded management consulting firm 18 in the U.S., and as Chief Economist for the largest gas utility in the U.S. I 19 have provided expert testimony on a wide variety of economic and financial 20 issues related to the energy and utility industry on numerous occasions before 21 administrative agencies, utility commissions, courts, arbitration panels, and 22 elected bodies across North America. A summary of my professional and 23 educational background is provided as Exhibit___(JJR-1), Attachment A. 24 1 Docket No. E002/GR-10-971 Reed Direct 1 Q. PLEASE 2 3 DESCRIBE CONCENTRIC’S ACTIVITIES IN ENERGY AND UTILITY ENGAGEMENTS. A. Concentric provides financial and economic advisory services to a large 4 number of energy and utility clients across North America. Our regulatory 5 economic and market analysis services include utility ratemaking and 6 regulatory advisory services; energy market assessments; market entry and exit 7 analysis; corporate and business unit strategy development; and energy 8 contract negotiations. 9 acquisition, and divestiture assignments; due diligence and valuation 10 assignments; project and corporate finance services; and transaction support 11 services. In addition, we provide litigation support services on a wide range 12 of financial and economic issues for clients throughout North America. Our financial advisory activities include merger, 13 14 II. PURPOSE AND OVERVIEW OF TESTIMONY 15 16 Q. WHAT IS THE PURPOSE OF YOUR TESTIMONY? 17 A. The purpose of my Direct Testimony in this proceeding is to present 18 evidence and provide a recommendation regarding the Company’s return on 19 equity (“ROE”) for its electric utility operations, and to provide an assessment 20 of the capital structure to be used for ratemaking purposes, as proposed in the 21 Direct Testimony of Company witness Mr. George E. Tyson II. My analysis 22 and recommendations are supported by the data presented in Exhibit___(JJR- 23 1), Schedules 1 through 6. 24 2 Docket No. E002/GR-10-971 Reed Direct 1 Q. WHAT 2 3 ARE YOUR CONCLUSIONS REGARDING THE APPROPRIATE COST OF EQUITY FOR THE COMPANY? A. My analyses indicate that the Company’s cost of equity currently is in the 4 range of 11.21 percent to 11.44 percent, which are the mean DCF results 5 depending on the stock price observation interval chosen (30, 90 and 180 6 days), based on the weighted average DCF results of the Electric Proxy 7 Group and Combination Proxy Group. 8 qualitative analyses discussed throughout my Direct Testimony, I conclude 9 that an ROE of 11.25 percent is reasonable and appropriate. With respect to 10 the Company’s capital structure, I conclude that the Company’s proposed test 11 year 2011 capital structure, consisting of 52.56 percent common equity, 46.30 12 percent long-term debt, and 1.14 percent short-term debt, is reasonable, and 13 my analysis of the appropriate ROE for the Company is based on that capital 14 structure. Based on the quantitative and 15 16 Q. PLEASE 17 18 PROVIDE A BRIEF OVERVIEW OF THE ANALYSIS THAT LED TO YOUR ROE RECOMMENDATION. A. Since equity analysts and investors tend to use multiple methodologies in 19 developing their return requirements, it is extremely important to consider the 20 results of different analytical approaches in determining the Company’s ROE. 21 Therefore, while my ROE recommendation is primarily based on the results 22 of the Constant Growth Discounted Cash Flow (“DCF”) model, I also 23 considered the results of the Capital Asset Pricing Model (“CAPM”), and the 24 Risk Premium approach. My specifications of the DCF model are based on 25 analysts’ earnings growth projections, current indicated annual dividends, and 26 actual stock price information. My recommended ROE includes the recovery 27 of flotation costs. 3 Docket No. E002/GR-10-971 Reed Direct 1 2 My CAPM analysis is specified using historical and projected market data with 3 respect to Treasury yields, Beta estimates from Bloomberg and Value Line, 4 and market risk premia data from Morningstar (formerly Ibbotson 5 Associates). Finally, my Risk Premium analysis is specified using the historical 6 relationship between the long-term Treasury bond yield and average allowed 7 ROEs for electric utilities. 8 9 In addition to the analyses discussed above, I considered the Company’s 10 capital expenditure program and the potential regulatory and financial risk 11 associated with this program and the absence of a decoupling mechanism or 12 other comparable rate stabilization mechanism in comparison to the proxy 13 companies that I used in my analysis. I did not include an explicit adjustment 14 for the other business and economic risks. I did, however, consider certain 15 unique aspects of the Company’s risk profile when determining where, within 16 a reasonable range, the Company’s ROE rightly falls. 17 18 In order to assess the reasonableness of the Company’s proposed capital 19 structure, I analyzed the capital structures of my electric and combination 20 proxy group companies over the past two years. Based on this review, I 21 found the Company’s recommendation to be well within the ranges observed 22 for my electric and combination company proxy groups. 23 24 Q. HOW IS THE REMAINDER OF YOUR DIRECT TESTIMONY ORGANIZED? 25 A. The remainder of my Direct Testimony is organized in seven sections: 26 • Section III discusses the regulatory guidelines and financial 27 considerations pertinent to the development of the cost of capital; 4 Docket No. E002/GR-10-971 Reed Direct 1 • Section IV briefly discusses recent market conditions and the effect 2 of those conditions on the Company’s ROE; 3 • Section V explains my selection of proxy groups of comparable 4 companies used to develop my analytical results; 5 • Section VI explains my analysis and the analytical basis for the 6 recommendation of the appropriate ROE for the Company; 7 • Section VII provides a discussion of specific risk factors that have a 8 direct bearing on the ROE to be authorized for the Company in this 9 case; 10 • Section VIII sets out the supporting analyses I performed to assess 11 the reasonableness of the Company’s proposed capital structure; and 12 • Section IX summarizes my conclusions regarding the ROE. 13 14 III. 15 REGULATORY GUIDELINES AND FINANCIAL CONSIDERATIONS 16 17 Q. PLEASE 18 19 DESCRIBE THE GUIDING PRINCIPLES TO BE USED IN ESTABLISHING THE COST OF CAPITAL FOR A REGULATED UTILITY. A. The United States Supreme Court’s precedent-setting Hope and Bluefield cases 20 established the standards for determining the fairness or reasonableness of a 21 utility’s allowed ROE. Among the standards established by the Court in those 22 cases are: (1) consistency with other businesses having similar or comparable 23 risks; (2) adequacy of the return to support credit quality and access to capital; 24 and (3) that the means of arriving at a fair return are not important, only that 25 the end result leads to just and reasonable rates.1 1 Bluefield Waterworks & Improvement Co., v. Public Service Commission of West Virginia, 262 U.S. 679 (1923); Federal Power Commission v. Hope Natural Gas Co., 320 U.S. 591 (1944). 5 Docket No. E002/GR-10-971 Reed Direct 1 2 Q. DOES MINNESOTA 3 4 STATUTE PROVIDE SIMILAR GUIDANCE IN ESTABLISHING THE APPROPRIATE RETURN ON EQUITY? A. Yes. Chapter 216B of the Minnesota Statutes states: 5 6 7 8 9 10 11 12 13 14 15 The commission [Minnesota Public Utilities Commission], in the exercise of its powers under this chapter to provide just and reasonable rates for public utilities, shall give due consideration to the public need for adequate, efficient, and reasonable service and to the need of the public utility for revenue sufficient to enable it to meet the cost of furnishing the service, including adequate provision for depreciation of its utility property used and useful in rendering service to the public, and to earn a fair and reasonable return upon the investment in such property.2 16 Based on these legal standards, the consequence of the Minnesota Public 17 Utilities Commission’s (the “Commission”) Order in this case should be to 18 provide the Company with the opportunity to earn an ROE that is: (i) 19 adequate to attract capital at reasonable terms, thereby enabling it to provide 20 safe, reliable service; (ii) sufficient to ensure the financial soundness of the 21 Company’s operations; and (iii) commensurate with returns on equity 22 investments in enterprises having comparable risks. The allowed ROE should 23 enable the Company to finance capital expenditures at reasonable rates and 24 maintain its financial flexibility over the period during which rates are 25 expected to remain in effect. 26 2 Minn. Stat. § 216B.16(6). 6 Docket No. E002/GR-10-971 Reed Direct 1 Q. WHY IS IT IMPORTANT FOR A UTILITY TO BE ALLOWED THE OPPORTUNITY TO 2 EARN A RETURN ADEQUATE TO ATTRACT EQUITY CAPITAL AT REASONABLE 3 TERMS? 4 A. There is a long history of precedent regarding the allowed ROE, the role of 5 capital structure, and the resulting cost of capital in the establishment of just 6 and reasonable rates for utility services. Among the themes common to many 7 Supreme Court, other Federal court, State court, and agency cases is the 8 principle that a utility’s cost of capital (including its capital structure and 9 allowed ROE) must be reflective of returns achieved by other enterprises 10 having comparable risks acting independently in the financial markets. As 11 noted elsewhere in my Direct Testimony, a return that is adequate to attract 12 capital at reasonable terms enables the Company to provide safe, reliable 13 service while maintaining its financial integrity. To the extent the Company is 14 provided the opportunity to earn its market-based cost of capital, neither 15 customers nor shareholders are disadvantaged. 16 17 While the “capital attraction” and “financial integrity” standards are important 18 principles in normal economic conditions, the practical implications of those 19 standards are even more pronounced in the current financial environment. 20 As discussed in more detail in Section IV, equity market uncertainty and the 21 high risk of interest rate increases has intensified the importance of 22 maintaining a strong financial profile. Consequently, the Commission’s Order 23 in this proceeding will have a greater consequence as it relates to the capital 24 attraction and financial integrity standards. 25 7 Docket No. E002/GR-10-971 Reed Direct 1 Q. HOW DOES THE REGULATORY ENVIRONMENT IN WHICH A UTILITY OPERATES 2 3 AFFECT ITS ACCESS TO AND COST OF CAPITAL? A. The regulatory environment in which a utility operates can significantly affect 4 both the access to, and the cost of capital in several ways. First, there is little 5 question that rating agencies consider the regulatory environment, including 6 the extent to which the presiding regulatory commission is supportive of 7 issues affecting credit quality, to be an important determinant of the subject 8 company’s credit profile. 9 example, considers the nature of regulation, including its effect on cost 10 recovery and cash flow generation, to be of such consequence that it 11 represents 50 percent of the factors analyzed in arriving at credit ratings.3 As 12 to the overall regulatory environment, Moody’s notes that “…the 13 predictability and supportiveness of the regulatory framework in which [a 14 regulated utility] operates is a key credit consideration and the one that 15 differentiates the industry from most other corporate sectors.”4 Moody’s 16 further explains: 17 18 19 20 21 22 23 24 25 26 27 28 29 Moody’s Investors Service (“Moody’s”), for For a regulated utility company, we consider the characteristics of the regulatory environment in which it operates. These include how developed the regulatory framework is; its track record for predictability and stability in terms of decision making; and the strength of the regulator’s authority over utility regulatory issues. A utility operating in a stable, reliable, and highly predictable regulatory environment will be scored higher on this factor than a utility operating in a regulatory environment that exhibits a high degree of uncertainty or unpredictability. Those utilities operating in a less developed regulatory framework or one that is characterized by a high degree of political intervention in the regulatory process will receive the lowest scores on this factor.5 3 4 5 Special Comment: Regulatory Frameworks – Ratings and Credit Quality for Investor-Owned Utilities, Moody’s Investors Service, June 18, 2010, at 3. Rating Methodology: Regulated Electric and Gas Utilities, Moody’s Investors Service, August 2009, at 7. Ibid., at 6. 8 Docket No. E002/GR-10-971 Reed Direct 1 2 Standard & Poor’s (“S&P”) notes that regulatory commissions should 3 eliminate, or at least greatly reduce, the issue of rate-case lag, especially when a 4 utility engages in a sizable capital expenditure program.6 Moody’s agrees that 5 timely cost recovery is an important determinant of credit quality, stating that 6 “[t]he ability to recover prudently incurred costs in a timely manner is perhaps 7 the single most important credit consideration for regulated utilities, as the 8 lack of timely recovery of such costs has caused financial stress for utilities on 9 several occasions”7 10 11 It also is important to note that regulatory decisions regarding the ROE and 12 capital structure have direct consequences for the subject utility’s internal cash 13 flow generation (sometimes referred to as “Funds Flow from Operations”, or 14 “FFO”). 15 financial obligations as they come due, the ability to generate the cash flows 16 required to meet those obligations (and to provide an additional amount for 17 unexpected events) is of critical importance to debt investors. Two of the 18 most important metrics used to assess that ability are the ratios of FFO to 19 debt, and FFO to interest expense, both of which are directly affected by 20 regulatory decisions regarding the appropriate ROE and capital structure. 6 7 Since credit ratings are intended to reflect the ability to meet Standard and Poor’s, Assessing Vertically Integrated Utilities’ Business Risk Drivers, U.S. Utilities and Power Commentary, November 2006, at 10. Moody’s, Global Infrastructure Finance, Regulated Electric and Gas Utilities, August 2009, at 7. 9 Docket No. E002/GR-10-971 Reed Direct 1 2 IV. CURRENT CAPITAL MARKET ENVIRONMENT Q. HOW 3 4 DO ECONOMIC CONDITIONS INFLUENCE THE COST OF CAPITAL AND ROE? A. The required cost of capital, including the ROE, is a function of prevailing 5 and expected market conditions. 6 decisions, the authorized ROE for a public utility should allow the company 7 to attract investor capital at reasonable cost under a variety of economic and 8 financial market conditions. The ability to attract capital on favorable terms is 9 especially important during a period in which utilities are being asked to 10 Consistent with the Hope and Bluefield enhance system reliability and expand system capacity. 11 12 Q. DOES 13 14 THE POTENTIAL FOR INCREASING INTEREST RATES REPRESENT A SOURCE OF RISK TO UTILITIES? A. Yes, it does. The financial community has consistently recognized that the 15 stock prices of companies which pay significant dividends (such as electric 16 utilities) have a negative correlation to interest rates. Value Line, for example, 17 establishes “price targets” based on the ratio of dividends per share to interest 18 rates; as interest rates increase, the price target declines, resulting in an 19 increased targeted dividend yield. Consistent with Value Line’s methodology, 20 as shown in Chart 1 (below), there is a strong, positive statistical relationship 21 between the proxy companies’ average dividend yield and the 30-year 22 Treasury yield. 23 10 Docket No. E002/GR-10-971 Reed Direct 1 Chart 1: Proxy Group Average Dividend Yield vs. 30-Year Treasury Yield 10.00% Proxy Group Average Dividend Yield 9.00% 8.00% 7.00% 6.00% y = 0.6882x + 0.0165 R² = 0.654 5.00% 4.00% 3.00% 2.00% 2.00% 3.00% 4.00% 5.00% 6.00% 7.00% 8.00% 9.00% 10.00% 30-year Treasury Yield 2 3 4 Q. WHAT IS THE SIGNIFICANCE OF THIS RELATIONSHIP TO THE COST OF EQUITY? 5 A. Given the currently low level of long-term Treasury rates (by historical 6 standards), it is reasonable to assume that on balance, long-term Treasury 7 rates are more likely to increase than decrease in the near to intermediate 8 term. In fact, the Blue Chip Financial Forecasts projects the 30-year Treasury 9 bond to yield 5.70 percent by 2013,8 while the 30-day average yield on 30-year 10 Treasury securities was approximately 3.73 percent as of September 30, 2010. 11 This projected increase of approximately 197 basis points over a period of 12 three years represents a significant element of market risk. 13 8 Blue Chip Financial Forecasts, Vol. 29, No. 6, June 1, 2010, at 14. 11 Docket No. E002/GR-10-971 Reed Direct 1 Q. WHAT 2 3 ANALYSIS HAVE YOU CONDUCTED TO ASSESS CURRENT CAPITAL MARKET CONDITIONS? A. Because Treasury security interest rates remain at historically low levels, I 4 examined the relationship between the interest rate on ten-year Treasury 5 notes and the dividend yield of my proxy group over time. 6 7 Chart 2: Treasury Yield/Dividend Yield Inversion 9.00% 8.00% 7.00% Yield 6.00% 5.00% 4.00% 3.00% 2.00% 1.00% 0.00% 1/3/1995 8 1/3/1997 1/3/1999 1/3/2001 1/3/2003 Proxy Group Average Yield 12 1/3/2005 1/3/2007 1/3/2009 10-Year Treasury Yield Docket No. E002/GR-10-971 Reed Direct 1 2 As shown in Chart 2, the 2008 – 2009 financial dislocation created the first 3 inversion (wherein, as opposed to its typical relationship, the dividend yield 4 exceeded the Treasury yield) of the ten-year Treasury yield relative to the 5 proxy group average dividend yield in five years. The most recent period 6 during which these yields were significantly inverted was the period from mid- 7 2002 through mid-2003, which likewise was a period of credit and equity 8 valuation contraction. 9 10 Q. HAS THE SIGNIFICANCE OF THIS INVERSION BEEN NOTED? 11 A. Yes. In a 2009 article, The Wall Street Journal noted this same inverted 12 relationship between utility dividend yields and the ten-year Treasury yield, 13 noting that: 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 ...dividend yields have tended to track the yield on 10-year Treasurys closely. Since 1970, the spread of regulated utilities’ dividend yields over Treasury yields has averaged 0.24 percentage point. Today, with utilities yielding about 5.65%, the spread is 10 times that, having peaked in March at 3.75 percentage points. You have to go all the way back to the early 1980s for the last time it reached such heights. *** Regulated utilities’ dividend yields decoupled from Treasury yields in December 2007, as the U.S. recession began. After the initial flight to quality cut yields on Treasurys, particularly after Lehman Brothers collapsed in September 2008, the Federal Reserve’s policy of buying up government debt has helped keep them low.9 29 Significantly, that inversion of dividend yield relative to the ten-year Treasury 30 has continued unabated since that article was published, demonstrating the 9 A Short Circuit in the Stock Market, The Wall Street Journal, Liam Denning, October 23, 2009, at C10. 13 Docket No. E002/GR-10-971 Reed Direct 1 extraordinarily low level of Treasury yields discussed previously and the 2 continuing high level of capital market uncertainty that began in 2008. 3 4 Q. WHAT CONCLUSIONS DO YOU DRAW FROM THIS ANALYSIS? 5 A. These analyses demonstrate that the current capital market continues to 6 experience high levels of risk aversion, and uncertainty. The result, of course, 7 is an increased, not a decreased cost of equity. It is well established that utility 8 stock prices decline as interest rates increase. Such lower valuation levels 9 reflect increased costs of attracting the equity capital needed to fund the 10 Company’s capital investment program, and, therefore, reflect the need for a 11 commensurately higher ROE. 12 13 Furthermore, as noted in the June 2010 Federal Reserve Open Market 14 Committee (“FOMC”) Minutes, during the period from April to June 2010, 15 “[t]he spread between the staff’s estimate of the expected real return on 16 equities over the next 10 years and an estimate of the expected real return on 17 a 10-year Treasury note—a measure of the equity risk premium—increased 18 from its already elevated level.”10 19 20 It is also clear that the current market conditions are similar to the 2002-2003 21 market dislocation that affected all market segments, including utilities. As in 22 the current market, one outcome of the 2002-2003 market dislocation was a 23 renewed emphasis on capital market access, and the importance of 24 maintaining a strong financial profile, such strength and capital market access 25 are equally important in the current market environment. 26 10 Federal Open Market Committee, Minutes of the Meeting of June 22-23, 2010, at 6. 14 Docket No. E002/GR-10-971 Reed Direct 1 Q. HOW SHOULD CURRENT ECONOMIC CONDITIONS AND CAPITAL SPENDING 2 PLANS BE TAKEN INTO CONSIDERATION IN DETERMINING THE APPROPRIATE 3 ROE FOR THE COMPANY? 4 A. In my view, the authorized rate of return in this proceeding will provide a 5 signal to the financial community concerning the ability of the Company to 6 meet its capital needs during a period in which its capital investments are 7 increasing, and both debt and equity investors are requiring higher rates of 8 return. 9 evidenced by an allowed rate of return that compensates the Company at a 10 level commensurate with its risk, the Company should be able to attract equity 11 capital at a reasonable cost. If investors perceive a supportive regulatory environment, as 12 13 V. PROXY GROUP SELECTION 14 15 Q. PLEASE 16 17 EXPLAIN WHY YOU HAVE USED PROXY COMPANIES TO DETERMINE THE COST OF EQUITY FOR THE COMPANY. A. In this proceeding, we are focused on estimating the cost of equity for the 18 Company, a wholly owned subsidiary of XEI. Since the ROE is a market- 19 based concept, and given that the Company is not publicly traded, it is 20 necessary to establish one or more groups of companies that are both publicly 21 traded and comparable to the Company in certain fundamental business and 22 financial respects to serve as its “proxy” in the ROE estimation process. 23 24 Even if the Company were a publicly traded entity, it is possible that 25 transitory events could bias its market value in one way or another over a 26 given period of time. A significant benefit of using proxy groups, therefore, is 27 that it serves to dampen the effects of anomalous events that may be 15 Docket No. E002/GR-10-971 Reed Direct 1 associated with any one company. Furthermore, regulatory commissions and 2 analysts alike recognize the importance of developing proxy groups that 3 adequately represent the ongoing risks and prospects of the subject company. 4 5 Q. DOES THE SELECTION OF SIMILAR PROXY GROUPS SUGGEST THAT ANALYTICAL 6 RESULTS WILL BE TIGHTLY CLUSTERED AROUND AVERAGE 7 RESULTS? 8 A. Not necessarily. (I.E., MEAN) As discussed in greater detail in Section VI, the DCF 9 approach is based on the theory that a stock’s current price represents the 10 present value of its future expected cash flows. The Constant Growth form 11 of the DCF model is defined as the sum of the expected dividend yield and 12 projected long-term growth. Notwithstanding the care taken to ensure risk 13 comparability, market expectations with respect to future risks and growth 14 opportunities will vary from company to company. Therefore, even within a 15 group of similarly situated companies, it is common for analytical results to 16 reflect a seemingly wide range. At issue, then, is how to select an ROE 17 estimate in the context of that range. As discussed throughout my Direct 18 Testimony, that determination necessarily must be based on the informed 19 judgment and experience of the analyst. 20 21 Q. PLEASE PROVIDE A SUMMARY PROFILE OF THE COMPANY. 22 A. The Company provides electric utility service to approximately 1.4 million 23 customers and natural gas utility service to approximately 500,000 customers 24 in Minnesota, North Dakota, and South Dakota.11 Approximately 92 percent 25 of the Company’s retail electric net income was derived from operations in 26 Minnesota in 2009. As shown in Table 1, below, the Company has electric 11 Northern States Power Company, SEC Form 10-K for fiscal year 2009, at 16 and 18. 16 Docket No. E002/GR-10-971 Reed Direct 1 net plant of approximately $6.7 billion, and natural gas net plant of 2 approximately $861 million. Investors are aware that, while an investment in 3 the Company includes both gas and electric operations, its electric operations 4 are a far larger proportion of the Company’s overall business. 5 Company’s long-term issuer credit rating issued by Standard and Poor’s and 6 Fitch Ratings is A-, and by Moody’s Investor Services is A3. Table 1 provides 7 relevant financial and operating statistics for the Company for the most recent 8 three years. 9 The Table 1: Company Operating and Financial Results 2007 to 200912 ($ 000s) Electric Utility Net Income Net Property, Plant and Equipment Electric Utility Customers Total Energy Sold (millions of kWh) Capital Expenditures Utility Net Income Total Gas Plant in Service13 Natural Gas Distribution Customers Total Throughput (thousands of MMBtu) Capital Expenditures 2007 2008 Electric Utility Operations $246,086 $250,785 2009 $261,556 $6,202,365 $6,539,913 $6,680,083 1,370,930 1,382,047 1,387,010 40,726 39,898 38,654 $894,238 $731,023 $28,887 $835,345 $21,881 $860,774 469,632 475,176 478,000 89,012 97,242 92,675 $43,582 $45,215 $48,042 $911,142 Natural Gas Utility Operations $21,485 $800,872 10 11 Q. WHAT 12 13 CONCLUSIONS DO YOU DRAW REGARDING THE COMPANY’S ELECTRIC AND NATURAL GAS OPERATIONS FROM THAT DATA? A. 14 Based on the information presented in Table 1, it is clear that the Company’s primary focus is on its electric utility operations. For example, as of 2009, the 12 13 Northern States Power Company, SEC Form 10-K for fiscal year 2009, at 16, 19, 84. Northern States Power Company, 2008 and 2009 FERC Form 1, at 110. Northern States Power Company, 2008 and 2009 Gas LDC filings. 17 Docket No. E002/GR-10-971 Reed Direct 1 electric utility operations comprised over 88 percent of the Company’s total 2 net plant, over 92 percent of the Company’s total utility operating income and 3 over 74 percent of the Company’s total customers. 4 however, as noted in Table 1 (above), the Company’s capital expenditure 5 program has been concentrated in its electric utility operations over the last 6 three reporting years by an 18:1 margin. More importantly 7 8 Q. DO YOU EXPECT THAT THE COMPANY WILL CONTINUE TO FOCUS PRIMARILY 9 10 ON ITS ELECTRIC UTILITY OPERATIONS IN THE FUTURE? A. Yes. Based on the Company’s internal projections of rate base (see Table 2, 11 below), it is clear that the Company anticipates focusing its investment 12 program on its electric utility operations, increasing the concentration in the 13 Company’s electric utility operations. 14 Company’s natural gas operations’ rate base is projected to grow by 15 approximately 0.4 percent annually in the years 2010 through 2014, while the 16 Company’s electric utility operations is projected to grow by approximately 17 8.5 percent annually in the same time frame. Moreover, in 2014, the electric 18 operations will be approximately 94 percent of the Company’s rate base, while 19 the gas operations will be less than 6 percent. 18 As shown in Table 2 below, the Docket No. E002/GR-10-971 Reed Direct 1 Table 2: Company Projected Rate Base by Utility Operation14 2010 MN Gas Rate Base 2011 2012 2013 2014 CAGR15 447,698 447,161 451,466 455,145 455,019 0.4% MN Electric Rate Base 5,325,245 5,724,749 6,313,763 6,785,435 7,369,640 8.5% Total Average Rate Base 5,772,943 6,171,910 6,765,229 7,240,580 7,824,659 7.9% 92.24% 92.75% 93.33% 93.71% 94.18% 7.76% 7.25% 6.67% 6.29% 5.82% % of Rate Base in Electric Operations % of Rate Base in Natural Gas Operations 2 3 Q. HOW 4 5 DID YOU TAKE INTO CONSIDERATION THE FACT THAT THE COMPANY HAS BOTH GAS AND ELECTRIC OPERATIONS IN THIS CASE? A. My analysis recognizes that the purpose of this case is to establish the rates 6 for the Company’s electric utility operations. However, in the Commission’s 7 last Order establishing the authorized ROE for the Company’s electric utility 8 in Docket No. E002/GR-08-1065, the Commission recognized the 9 appropriateness of considering the returns on common equity of other 10 combined electric and gas utilities in setting the Company’s authorized ROE 11 for its electric operations: 12 13 14 15 16 17 18 19 20 21 While the returns on equity of electric – only utilities may be more probative than the returns of combined companies, the returns of combined companies provide important information and remain probative and relevant. The goal in setting an authorized return on equity is to reflect as accurately as possible the market situation the company faces. The situation Xcel faces is the situation of a combined gas and electric utility with its operations concentrated in the electric sector. Under these circumstances it was clearly reasonable and appropriate to include combined utilities as a comparison 14 15 Source: Company projections. Compound Average Growth Rate (“CAGR”). 19 Docket No. E002/GR-10-971 Reed Direct 1 2 3 group, while weighting the DCF results of the electric-only comparison group more heavily.16 4 In that case, the Commission approved an ROE for the Company’s electric 5 utility that was based on the weighted DCF results of an electric proxy group 6 and a combination company proxy group. Therefore, consistent with the 7 Commission’s decision in Docket No. E002/GR-08-1065, my analysis 8 considers the weighted ROE results of an integrated electric company proxy 9 group and a combination company proxy group, and I applied the same 10 weightings to maintain consistency with the Commission’s approach in that 11 docket. 12 13 Q. HOW DID YOU SELECT THE COMPANIES INCLUDED IN YOUR ELECTRIC UTILITY 14 15 PROXY GROUP? A. 16 The vertically integrated electric utility proxy group was selected based on the following criteria: 17 • I began with companies that Value Line classifies as Electric Utilities, 18 which includes a group of 54 domestic U.S. utilities. 19 • I excluded companies that have not been covered by at least two 20 generally recognized utility industry equity analysts. 21 • I excluded companies that had senior bond and/or corporate ratings 22 below BBB- or above AA. 23 • I excluded companies that do not pay cash dividends, because such 24 companies cannot be analyzed using the DCF model, which is the 25 primary method used in my analysis. 26 • I excluded companies that do not own regulated generation assets. 16 Docket Number E002/GR-08-1065, Findings of Fact, Conclusions of Law, and Order at 11, October 23, 20 Docket No. E002/GR-10-971 Reed Direct 1 • I excluded companies whose regulated revenues and net income 2 comprise less than 60 percent of the respective totals for the company. 3 • I excluded companies whose regulated electric revenues and net 4 income represented less than 90 percent of total regulated revenues and 5 net income to ensure a focus on companies whose revenues and net 6 income are derived primarily from electric operations. 7 Finally, I eliminated any companies that are currently known to be party to a 8 merger. 9 10 Q. BASED 11 12 ON YOUR CRITERIA WHAT WAS THE COMPOSITION OF YOUR PROXY GROUP? A. The criteria discussed above resulted in an initial electric proxy group 13 consisting of the following fourteen companies: American Electric Power, 14 Cleco Corp., DPL, Inc., Edison International, Great Plains Energy, Inc., 15 Hawaiian Electric, IDACORP, Inc, NextEra Energy, Inc., Northeast Utilities, 16 Pinnacle West Capital, Portland General, Progress Energy, Southern 17 Company, and Westar Energy. 18 19 Q. IS THIS YOUR FINAL PROXY GROUP? 20 A. No, it is not. I excluded two companies from this preliminary group Edison 21 International (“EIX”) and Northeast Utilities (“NU”). Edison International 22 (“EIX”) experienced significant unregulated operating losses in 2009; those 23 losses were in excess of 55 percent of EIX’s regulated utility operating 24 income. According to EIX’s SEC Form 10-K for the fiscal year ended 25 December 31, 2009, those significant operating losses were the result of a 2009. 21 Docket No. E002/GR-10-971 Reed Direct 1 global tax settlement and payment to the Internal Revenue Service (“IRS”), 2 which caused EIX’s unregulated marketing and trading segment to incur over 3 $1.0 billion in payments to settle a claim by the IRS.17 Given the extent of 4 those losses, it is difficult to assess the extent to which the regulated electric 5 utility operations would be expected to contribute to the company’s 6 consolidated financial performance in the near and longer terms. Further, the 7 scale of these losses (which arose from unregulated operations) could have a 8 significant effect on analysts’ expectations for EIX, which could also have an 9 effect on DCF analyses of EIX to be used in establishing the return for a 10 regulated utility. Consequently, I have excluded EIX from my final electric 11 proxy group (the “Electric Proxy Group”). 12 13 On October 18, 2010, Northeast Utilities and NStar announced a merger 14 agreement wherein NU would acquire NStar for $4.2 billion in stock. While 15 the analyses discussed in the remainder of my testimony are based on market 16 data through September 2010, and may not be affected by the merger 17 announcement, as a practical matter, NU would be excluded from all 18 subsequent analyses in this proceeding as a result of the merger. Therefore, I 19 eliminated NU from my final proxy group. 20 21 Q. WHAT 22 23 COMPANIES HAVE YOU INCLUDED IN YOUR FINAL ELECTRIC PROXY GROUP? A. 17 That group includes the following twelve companies: See, Edison International, SEC Form 10-K for the fiscal year ended December 31, 2009, at 129. 22 Docket No. E002/GR-10-971 Reed Direct 1 Table 3: Final Electric Proxy Group American Electric Power NextEra Energy, Inc Cleco Corp. Pinnacle West Capital DPL, Inc. Portland General Great Plains Energy, Inc. Progress Energy Hawaiian Electric Southern Company IDACORP, Inc Westar Energy 2 3 Q. HOW DID YOU DEVELOP THE COMBINATION COMPANY PROXY GROUP? 4 A. 5 6 7 The combination company proxy group was selected based on the following criteria: • I began with the group of 54 companies that currently are classified as Electric Utilities by Value Line; 8 • To select strictly combination gas and electric utilities, I have only 9 included companies with at least 10 percent of total regulated revenue 10 and net income derived from regulated natural gas distribution; 11 • To select companies that are primarily regulated utilities, I have only 12 included companies with over 60 percent of total revenue and net 13 operating income derived from regulated utility operations; 14 15 16 17 • I eliminated proxy companies that did not have senior bond and/or corporate credit ratings of BBB- to AA by Standard and Poor’s; • I eliminated companies that have a recent history of not paying dividends or do not have positive earnings growth projections; 18 • I eliminated companies that are party to a merger; and 19 • I eliminated the companies that are not covered by at least two utility 20 industry equity analysts. 21 23 Docket No. E002/GR-10-971 Reed Direct 1 Q. BASED 2 3 ON YOUR CRITERIA WHAT WAS THE COMPOSITION OF THE COMBINATION PROXY GROUP? A. The criteria discussed above resulted in a Combination Proxy Group 4 consisting of the following twelve companies: Alliant Energy Corp., Avista 5 Corp., Black Hills Corp., CenterPoint Energy, Consolidated Edison, DTE 6 Energy Co., PG&E Corp., SCANA Corp., TECO Energy, Inc., Vectren 7 Corp., Wisconsin Energy, and Xcel Energy Inc. 8 9 10 Q. DID YOU INCLUDE XEI IN YOUR FINAL PROXY GROUP? A. No, I did not. While the fact that the screening criteria indicate that Xcel 11 Energy Inc. is fundamentally comparable to the other combination company 12 proxy companies, in order to avoid the circular logic that otherwise would 13 arise, it has been my consistent practice to exclude the subject company from 14 my final Combination Proxy Group (the “Combination Proxy Group”). 15 16 Q. WHAT 17 18 COMPANIES HAVE YOU INCLUDED IN YOUR FINAL COMBINATION PROXY GROUP? A. My Combination Proxy Group includes the following eleven companies: 19 Table 4: Final Combination Proxy Group Alliant Energy Corp. PG&E Corp. Avista Corp. SCANA Corp. Black Hills Corp. TECO Energy, Inc. CenterPoint Energy Vectren Corp. Consolidated Edison Wisconsin Energy DTE Energy Co. 20 24 Docket No. E002/GR-10-971 Reed Direct 1 Q. HAVE 2 3 YOU TAKEN APPROPRIATE STEPS IN YOUR ANALYSIS TO ADDRESS THE IMPACT OF NRG ENERGY, INC. (“NRG”) ON NSP-MN’S COST OF EQUITY? A. Yes. I have eliminated any effects that NRG may have had on NSP-MN’s 4 ROE for ratemaking purposes by using the Electric Proxy Group and the 5 Combination Proxy Group utilities to calculate the ROE. The screening 6 process ensured that the companies used in my analyses included primarily 7 electric and combination utilities without significant interests in merchant 8 generation. My recommended ROE, therefore, excludes the effects of NRG 9 10 Q. DID 11 12 YOU TAKE THE COMPANY’S FUTURE RATE BASE PROJECTION INTO CONSIDERATION IN DEVELOPING YOUR RECOMMENDED ROE? A. Yes, I did. While my analytical results described below incorporate my 13 Combination Proxy Group, I recognize that the Company is viewed by debt 14 rating agencies and would be viewed by equity investors, were it publicly 15 traded, as primarily an electric utility.18 Because the natural gas business has a 16 marginal role in the performance and risk profile of the Company, it would be 17 reasonable to establish the ROE for the Company based entirely on the 18 results of my Electric Proxy Group. Therefore, while my analytical results 19 reflect the weighted average cost of equity calculations of both my Electric 20 Proxy Group and Combination Proxy Group, I have taken the Company’s 21 operating profile into consideration in the development of my recommended 22 ROE. 18 See, for example, Credit Opinion: Northern States Power Company (Minnesota), Moody’s Investor Service, December 8, 2009 25 Docket No. E002/GR-10-971 Reed Direct 1 2 VI. COST OF EQUITY ESTIMATION 3 4 Q. PLEASE 5 6 BRIEFLY DISCUSS THE ROE IN THE CONTEXT OF THE REGULATED RATE OF RETURN. A. Regulated utilities primarily use common stock and long-term debt to finance 7 their permanent property, plant and equipment. The rate of return (“ROR”) 8 for a regulated utility is based on its weighted average cost of capital, in which 9 the cost rates of the individual sources of capital, including the ROE, are 10 weighted by their respective book values. While the cost of debt can be 11 directly observed, the cost of equity is market-based and, therefore, must be 12 inferred from market-based information. 13 14 Q. HOW IS THE REQUIRED ROE DETERMINED? 15 A. The required ROE is estimated by using one or more analytical techniques 16 that rely on market-based data to quantify investor expectations regarding 17 required equity returns, adjusted for certain incremental costs and risks. I 18 then apply my informed judgment, based on the results of those analyses, to 19 determine where within the range of results the cost of equity for the 20 Company should rightly fall. The resulting adjusted cost of equity serves as 21 the recommended ROE for ratemaking purposes. As a general proposition, 22 the key consideration in determining the cost of equity is to ensure that the 23 methodologies employed reasonably reflect an investor’s view of the financial 24 markets in general, and the subject company’s common stock in particular. 25 26 Docket No. E002/GR-10-971 Reed Direct 1 Q. WHAT METHODS DID YOU USE TO DETERMINE THE COMPANY’S ROE? 2 A. I used the DCF model as the initial approach; I then considered the results of 3 the CAPM and a Bond Yield plus Risk Premium approach in assessing the 4 reasonableness of the DCF results and developing my ROE recommendation. 5 As discussed in more detail below, the use of a historical market risk premium 6 in the CAPM produces results that are entirely inconsistent with current 7 market conditions. 8 9 Q. WHY DO YOU BELIEVE IT IS IMPORTANT TO USE MORE THAN ONE ANALYTICAL 10 11 APPROACH? A. As noted above, the cost of equity is not directly observable and, therefore, 12 must be estimated based on both quantitative and qualitative information. As 13 a result, a number of models have been developed to estimate the cost of 14 equity. As a general proposition, when faced with the task of estimating the 15 cost of equity, analysts are inclined to gather and evaluate as many relevant 16 data as reasonably can be analyzed. 17 approaches to estimate the cost of equity used in performing valuations in the 18 context of our financial advisory and transaction practices. In addition, as a 19 practical matter, all of the models available to estimate the cost of equity are 20 subject to limiting assumptions or other methodological constraints. 21 Consequently, many finance texts recommend using multiple approaches 22 when estimating the cost of equity. 23 example, suggest using the CAPM and Arbitrage Pricing Theory model, while 19 For that reason, I use multiple Copeland, Koller and Murrin,19 for Tom Copeland, Tim Koller and Jack Murrin, Valuation: Measuring and Managing the Value of Companies, 3rd ed. (New York: McKinsey & Company, Inc., 2000), at 214. 27 Docket No. E002/GR-10-971 Reed Direct 1 Brigham and Gapenski20 recommend the CAPM, DCF and “bond yield plus 2 risk premium” approaches. 3 4 In essence, analysts and academics understand that ROE models simply are 5 tools to be used in the ROE estimation process and that strict adherence to 6 any single approach or the specific results of any single approach can lead to 7 flawed and irrelevant conclusions. That position is consistent with the Hope 8 and Bluefield findings that it is the analytical result, as opposed to the 9 methodology that is controlling in arriving at ROE determinations. Thus, a 10 reasonable ROE estimate appropriately considers alternate methodologies and 11 the reasonableness of their individual and collective results. 12 13 Thus, although we cannot directly observe the cost of equity, we can apply 14 the methods frequently used by analysts to arrive at their return requirements 15 and expectations. 16 approaches in developing their estimate of return requirements, each 17 methodology requires certain judgment with respect to the reasonableness of 18 assumptions and the validity of proxies in its application. 19 therefore, it is both prudent and appropriate to use multiple methodologies in 20 order to mitigate the effects of assumptions and inputs associated with relying 21 exclusively on any single approach. Such use, however, must be tempered 22 with due caution as to the results generated by each individual approach, 23 especially given the current, abnormal market conditions. 24 general reliance on the DCF model in regulatory proceedings, and in light of 25 the capital market conditions discussed above, the Constant Growth form of 20 While investors and analysts tend to use multiple In my view, Based on the Eugene Brigham, Louis Gapenski, Financial Management: Theory and Practice, 7th Ed. (Orlando: Dryden Press, 1994), at 341. See also How do CFOs make capital budgeting and capital structure decisions?, John 28 Docket No. E002/GR-10-971 Reed Direct 1 the DCF, supported by the results of the CAPM and Bond Yield Plus Risk 2 Premium analysis, is a reasonable methodological approach to establish the 3 Company’s cost of equity. 4 5 6 A. Q. ARE DCF MODELS WIDELY USED TO DETERMINE THE ROE FOR REGULATED 7 8 Constant Growth DCF Model UTILITIES? A. Yes. DCF models are widely used in regulatory proceedings and have sound 9 theoretical bases, although neither the DCF model nor any other model can 10 be applied without considerable judgment in the selection of data and the 11 interpretation of results. In its simplest form, the DCF model expresses the 12 cost of equity as the sum of the expected dividend yield and long-term growth 13 rate. 14 15 Q. PLEASE DESCRIBE THE DCF APPROACH. 16 A. The DCF approach is based on the theory that a stock’s current price 17 represents the present value of all expected future cash flows. In its most 18 general form, the DCF model is expressed as follows: P0 = 19 D1 D2 D∞ + + ... + 2 (1 + k ) (1 + k ) (1 + k ) ∞ [1] 20 Where P0 represents the current stock price, D1 … D∞ are all expected future 21 dividends, and k is the discount rate, or required ROE. Equation [1] is a 22 standard present value calculation that can be simplified and rearranged into 23 the familiar form: Graham and Campbell Harvey, Duke University, Journal of Applied Corporate Finance, Volume 15, Number 1, Spring 2002. 29 Docket No. E002/GR-10-971 Reed Direct k= 1 D (1 + g ) +g P0 [2] 2 Equation [2] is often referred to as the “Constant Growth DCF” model, in 3 which the first term is the expected dividend yield and the second term is the 4 expected long-term growth rate. 5 6 Q. WHAT ASSUMPTIONS ARE REQUIRED FOR THE DCF MODEL? 7 A. The DCF model requires the following assumptions: (1) a constant average 8 growth rate for earnings and dividends; (2) a stable dividend payout ratio; (3) 9 a constant price-to-earnings multiple; and (4) a discount rate greater than the 10 expected growth rate. To the extent that any of these assumptions are 11 violated, considered judgment and/or specific adjustments should be applied 12 to the results. 13 14 B. 15 Q. WHAT 16 17 Dividend Yield for the DCF Model MARKET DATA DID YOU USE TO CALCULATE THE DIVIDEND YIELD IN YOUR DCF MODEL? A. The dividend yield in my DCF model is based on the proxy companies’ 18 current annualized dividend and average closing stock prices over the 30, 90 19 and 180-trading days ended September 30, 2010. 20 21 Q. WHY DID YOU USE AVERAGING PERIODS OF 30, 90, AND 180-DAYS? 22 A. I believe it is important to use an average of recent trading days to calculate 23 the term P0 in the DCF model to ensure that the calculated ROE is not 24 skewed by anomalous events that may affect stock prices on any given trading 25 day. In that regard, the averaging period should be reasonably representative 26 of expected capital market conditions over the long term. At the same time, it 30 Docket No. E002/GR-10-971 Reed Direct 1 is important to reflect the extraordinary conditions that have defined the 2 financial markets over the recent past. In my view, considering 30, 90 and 3 180-day averaging periods reasonably balances those concerns 4 5 Q. PUTTING ASIDE THE ISSUE OF THE AVERAGING PERIOD, DID YOU MAKE ANY 6 ADJUSTMENTS TO THE DIVIDEND YIELD TO ACCOUNT FOR PERIODIC GROWTH 7 IN DIVIDENDS? 8 A. 9 Yes. Since utility companies tend to increase their quarterly dividends at different times throughout the year, it is reasonable to assume that dividend 10 increases will be evenly distributed over calendar quarters. Given that 11 assumption, it is reasonable to apply one-half of the expected annual dividend 12 growth for purposes of calculating the expected dividend yield component of 13 the DCF model. This adjustment ensures that the expected dividend yield is, 14 on average, representative of the coming twelve-month period, and does not 15 overstate the aggregated dividends to be paid during that time. Accordingly, 16 the DCF estimates provided in Exhibit___(JJR-1), Schedule 1 reflect one-half 17 of the expected growth in the dividend yield component of the model. 18 19 C. 20 Q. IS 21 22 Growth Rates for the DCF Model IT IMPORTANT TO SELECT APPROPRIATE MEASURES OF LONG-TERM GROWTH IN APPLYING THE DCF MODEL? A. Yes. In its constant growth form, the DCF model (i.e., Equation [2]) assumes 23 a single growth estimate in perpetuity. Accordingly, in order to reduce the 24 long-term growth rate to a single measure, (as noted earlier) one must assume 25 a constant payout ratio, and that earnings per share, dividends per share and 26 book value per share all grow at the same constant rate. Over the long run, 27 however, dividend growth can only be sustained by earnings growth. 31 Docket No. E002/GR-10-971 Reed Direct 1 Consequently, it is important to incorporate a variety of measures of long- 2 term earnings growth into the constant growth DCF model. This can be 3 accomplished by averaging those measures of long-term growth that tend to 4 be least influenced by capital allocation decisions that companies may make in 5 response to near-term changes in the business environment. Since such 6 decisions may directly affect near-term dividend payout ratios, estimates of 7 earnings growth are more indicative of long-term investor expectations than 8 are dividend growth estimates. Therefore, for the purposes of the Constant 9 Growth form of the DCF model, growth in earnings per share (“EPS”) 10 represents the appropriate measure of long-term growth. 11 12 D. Results for Constant Growth DCF Model 13 Q. PLEASE SUMMARIZE YOUR INPUTS TO THE CONSTANT GROWTH DCF MODEL. 14 A. 15 I applied the DCF model to the Electric Proxy Group and Combination Proxy Group using the following inputs for the price and dividend terms: 16 • The average daily closing prices for the 30-trading days, 90-trading 17 days, and 180-trading days ended September 30, 2010 for the term P0; 18 and 19 20 • The annualized dividend per share as of September 30, 2010 for the term D0. 21 I then calculated the DCF results using the average of the following growth 22 terms: 23 • The Zacks consensus long-term earnings growth estimates; 24 • The First Call consensus long-term earnings growth estimates; and 25 • The Value Line long-term earnings per share growth estimates. 26 32 Docket No. E002/GR-10-971 Reed Direct 1 Q. HOW DID YOU CALCULATE THE HIGH AND LOW DCF RESULTS? 2 A. I calculated the mean high DCF result using the maximum growth rate (i.e., 3 the maximum of the Value Line, Zack’s, and First Call EPS growth rates) in 4 combination with the dividend yield for each of the Electric Proxy Group and 5 Combination Proxy Group companies. Thus, the mean high result reflects 6 the average maximum DCF result for the proxy group. I used a similar 7 approach to calculate the mean low results, using the minimum growth rate 8 for each company. 9 10 Q. WHAT ARE THE RESULTS OF YOUR DCF ANALYSIS? 11 A. As noted in Exhibit__(JJR-1), Schedule 1 the mean DCF results for my 12 Electric Proxy Group, including flotation cost recovery, are 11.39 percent, 13 11.56 percent and 11.63 percent for the 30, 90, and 180-trading day periods, 14 respectively. 15 16 Q. DID 17 18 YOU CALCULATE THE DCF RESULTS FOR THE COMBINATION COMPANY PROXY GROUP? A. Yes. As noted in Exhibit__(JJR-1), Schedule 1 the mean DCF results, 19 including flotation cost recovery, for the Combination Proxy Group are 10.93 20 percent, 11.09 percent, and 11.15 percent for the 30, 90, and 180-trading day 21 periods, respectively. 22 23 Q. PLEASE 24 25 EXPLAIN HOW YOU CONSIDERED THE RESULTS FROM THESE TWO ANALYSES. A. Consistent with the methodology that was approved by the Commission to 26 establish the ROE for the Company’s electric utility in Docket No. 27 E002/GR-08-1065, I calculated a weighted average DCF result based on the 33 Docket No. E002/GR-10-971 Reed Direct 1 DCF results of the Electric Proxy Group and the Combination Proxy Group. 2 In that Order, the Commission approved an ROE that was estimated by 3 applying a 60.00 percent weighting to the DCF results for the Electric Proxy 4 Group and a 40.00 percent weighting to the DCF results of the Combination 5 Company Proxy Group. Applying these weightings to the results shown in 6 Exhibit ___(JJR-1), Schedule 1, the weighted mean DCF results for the 30, 7 90, and 180-day averaging periods were 11.21 percent, 11.37 percent, and 8 11.44 percent respectively, including flotation costs. 9 10 E. Flotation Cost Adjustment 11 Q. WHAT ARE FLOTATION COSTS? 12 A. Flotation costs are the costs associated with the sale of new issues of common 13 stock. These costs include out-of-pocket expenditures for the preparation, 14 filing, underwriting, and other costs of issuance of common stock. 15 16 Q. WHY 17 18 IS IT IMPORTANT TO RECOGNIZE FLOTATION COSTS IN THE ALLOWED ROE? A. In order to attract and retain new investors, a regulated utility must have the 19 opportunity to earn a return that is both competitive and compensatory. To 20 the extent that a company is denied the opportunity to recover prudently 21 incurred flotation costs, actual returns will fall short of required returns, 22 thereby diminishing its ability to attract adequate capital on reasonable terms. 23 24 Q. ARE FLOTATION COSTS PART OF THE UTILITY’S INVESTED COSTS OR PART OF 25 26 27 THE UTILITY’S EXPENSES? A. Flotation costs are part of the invested costs of the utility, which are properly reflected on the balance sheet of the utility under “paid in capital.” They are 34 Docket No. E002/GR-10-971 Reed Direct 1 not current expenses, and therefore are not reflected on the income 2 statement. Flotation costs, like investments in rate base or the issuance costs 3 of long-term debt, are incurred over time. As a result, the great majority of a 4 utility’s flotation costs is incurred prior to the test year, but remain part of the 5 cost structure that exists during the test year and beyond, and as such, should 6 be recognized for ratemaking purposes. 7 appropriate even if no new issuances are planned in the near future because 8 failure to allow such an adjustment may deny the Company the opportunity to 9 earn its required rate of return in the future. Therefore, this adjustment is 10 11 Q. IS 12 13 THE NEED TO CONSIDER FLOTATION COSTS ELIMINATED BECAUSE THE COMPANY IS A WHOLLY OWNED SUBSIDIARY OF XEI? A. No. Although the Company is an operating subsidiary of XEI, it is 14 appropriate to consider flotation costs because the source of capital used by 15 the Company was the result of a public issuance by its parent organization, 16 which led to the issuance costs. To deny recovery of issuance costs associated 17 with the capital that is invested in the utility ultimately will penalize the 18 investors that fund the utility operations and will inhibit the utility’s ability to 19 obtain new equity capital at a reasonable cost. This is particularly important 20 in the case of the Company since it is planning significant capital expenditures 21 in the near term, and continued access to capital to fund such required 22 expenditures will be critical. 23 24 Q. DO 25 26 27 THE DCF AND CAPM MODELS ALREADY INCORPORATE INVESTOR EXPECTATIONS OF A RETURN THAT COMPENSATES FOR FLOTATION COSTS? A. No. All the models used to estimate the appropriate ROE assume no “friction” or transaction costs, as these costs are not reflected in the market 35 Docket No. E002/GR-10-971 Reed Direct 1 price (in the case of the DCF model) or risk premium (in the case of the 2 CAPM). 3 determining where within the range of reasonable returns the Company’s 4 return should fall. Therefore, it is appropriate to consider flotation costs in 5 6 Q. HAS 7 8 THE COMMISSION RECOGNIZED THE NEED TO RECOVER FLOTATION COSTS IN YEARS IN WHICH NO COMMON STOCK IS ISSUED? A. Yes. The Commission has recognized that common equity has an indefinite 9 life, and due to the indeterminate life of an equity issuance, flotation costs 10 should be recovered through a return adjustment, regardless of whether or 11 not an issuance occurs during or is planned for the test year.21 Moreover, the 12 Commission has authorized the recovery of flotation costs in several recent 13 cases.22 14 15 Q. HAS XEI INC. ISSUED EQUITY RECENTLY? 16 A. Yes. XEI Inc. closed on an equity issuance of approximately $483 million 17 (21,850,000 shares of common stock) on August 10, 2010. As Mr. Tyson has 18 explained, the Company will need to access the equity market in the next 19 several years on a more regular basis than in the past. 20 21 Q. HOW DID YOU CALCULATE THE FLOTATION COST ADJUSTMENT? 22 A. I modified the DCF calculation to provide a dividend yield that would 23 reimburse investors for issuance costs. 24 recognizes the costs of issuing equity that were incurred by the former 21 22 My flotation cost adjustment Docket No. E017/GR-07-1178, Findings of Fact, Conclusions of Law, and Order at 57-58; Docket No. G004/GR-04-1487, Findings of Fact, Conclusions of Law and Order at 11. Docket No. E002/GR-08-1065, Findings of Fact, Conclusions of Law, and Order at 10-11; Docket No. E017/GR-07-1178, Findings of Fact, Conclusions of Law, and Order at 57-58; Docket No. G004/GR-04- 36 Docket No. E002/GR-10-971 Reed Direct 1 Northern States Power Company because that equity is now invested in the 2 Company. 3 Schedule 2, I calculate a flotation cost adjustment for the Company of 0.22 4 percent (i.e., 22 basis points) using both the Electric Proxy Group and the 5 Combination Proxy Group DCF results. Based on the issuance costs provided in Exhibit__(JJR-1), 6 7 Q. IS 8 9 YOUR CALCULATION OF THE RECOVERY OF FLOTATION COSTS ALSO CONSISTENT WITH THE COMMISSION’S PRIOR DETERMINATIONS? A. Yes. The Commission described the method that it uses in the Great Plains 10 Natural Gas 2004 rate case, saying that: “The adjustment was made by 11 dividing the expected dividend yield by (1 – percentage flotation costs)”.23 My 12 calculation matches the methodology that was approved by the Commission 13 in that case and that has been applied in subsequent cases. 14 15 Q. PLEASE SUMMARIZE THE RESULTS OF YOUR ANALYSIS INCLUDING FLOTATION 16 17 COSTS. A. As shown in Table 5, the mean weighted average DCF results of the Electric 18 Proxy Group and Combination Proxy Group based on 30, 90 and 180-day 19 averaging periods are 11.21 percent, to 11.44 percent, depending on the 20 observation interval chosen. Considering that NSP has greater operating risk 21 than the Electric Proxy Group and Combination Proxy Group, my range 22 which is established as the mean results using the 60 percent Electric Proxy 23 Group and 40 percent Combination Proxy Group, is conservative. 23 1487, Findings of Fact, Conclusions of Law and Order at 1; Docket No. E015/GR-08-415, Findings of Fact, Conclusions of Law and Order at 37-39. Docket No. G004/GR-04-1487, Findings of Fact, Conclusions of Law and Order, at 12. 37 Docket No. E002/GR-10-971 Reed Direct 1 Table 5: DCF Results Adjusted for Flotation Costs24 Averaging Period Electric Proxy Group Mean Low Mean Mean High 30-Day Average 9.76% 11.39% 12.76% 90-Day Average 9.93% 11.56% 12.92% 180-Day Average 9.99% 11.63% 12.99% 30-Day Average 10.01% 10.93% 11.92% 90-Day Average 10.17% 11.09% 12.08% Combination Proxy Group 180-Day Average 10.23% 11.15% 12.14% Weighted Average DCF Result (60% Electric Proxy Group/40% Combination Proxy Group) 30-Day Average 9.86% 11.21% 12.42% 90-Day Average 10.02% 11.37% 12.58% 180-Day Average 10.09% 11.44% 12.65% 2 3 Q. DID 4 5 YOU UNDERTAKE ANY ADDITIONAL ANALYSES TO SUPPORT YOUR DCF MODEL RESULTS? A. 6 Yes, as also noted earlier, I considered the CAPM and the Risk Premium approach as a means of assessing the reasonableness of my DCF results. 7 8 9 10 F. CAPM Analysis Q. PLEASE BRIEFLY DESCRIBE THE CAPITAL ASSET PRICING MODEL. A. The CAPM is a risk premium approach that estimates the cost of equity for a 11 given security as a function of a risk-free return plus a risk premium (to 12 compensate investors for the non-diversifiable or “systematic” risk of that 24 If the Administrative Law Judge’s Decision in Docket No. D-G-002/GR-09-1153 is upheld by the Minnesota Public Service Commission, the application of the 79/21 percent weightings to my Electric Proxy Group and Combination Proxy Group respectively would result in a range of mean ROEs of 11.30% to 11.53% based on the 30, 90 and 180 day average results presented in Table 6 above. 38 Docket No. E002/GR-10-971 Reed Direct 1 security). As shown in Equation [3], the CAPM is defined by four 2 components, each of which theoretically must be a forward-looking estimate: 3 ke = rf + β(rm – rf) [3] 4 where: 5 ke = the required market ROE 6 β = Beta of an individual security 7 rf = the risk free rate of return 8 rm = the required return on the market as a whole. 9 10 In this specification, the term (rm – rf) represents the market risk premium. 11 According to the theory underlying the CAPM, since unsystematic risk can be 12 diversified away, investors should be concerned only with systematic or non- 13 diversifiable risk. Non-diversifiable risk is measured by Beta, which is defined 14 as: 15 β= Covariance (re , rm ) [4] Variance (rm ) 16 The variance of the market return, noted in Equation [4], is a measure of the 17 uncertainty of the general market, and the covariance between the return on a 18 specific security and the market reflects the extent to which the return on that 19 security will respond to a given change in the market return. Thus Beta 20 represents the risk of the security relative to the market. 21 22 Q. HOW HAS THE CAPM BEEN AFFECTED BY CURRENT ECONOMIC CONDITIONS? 23 A. Recent market conditions have affected the CAPM model in two important 24 ways. First, the extraordinary loss in equity values experienced in 2008 25 actually reduced the Market Risk Premium when measured on a historical 26 basis. As often applied in the CAPM, the Market Risk Premium represents 39 Docket No. E002/GR-10-971 Reed Direct 1 the difference in the arithmetic average total return on common stocks, and 2 the income-only return on long-term Government bonds, as reported by 3 Morningstar, Inc. (formerly, Ibbotson Associates). Consequently, the market 4 losses experienced in 2008 actually resulted in a decrease in the Risk Premium 5 from the prior year (as measured on a historical basis) from 7.10 percent to 6 6.50 percent. 7 Committee observations noted previously that the market risk premium has 8 increased in correspondence with a decrease in the Treasury bond yield. In 9 my view, the proposition that the premium required by equity investors would 10 decrease at the same time that equity market volatility was at historically high 11 levels is counter-intuitive. Indeed, the Commission noted in its recent Order 12 in Docket G007,011 /GR-08-835, that “…the CAPM model proved in this 13 case, as it has in the past, to be vulnerable to substantial and largely 14 inexplicable swings in outcome. When the OES attempted to repeat its earlier 15 CAPM analysis with updated data, the results pointed to an unreasonably low 16 return on equity, requiring the OES to substitute a different data source for a 17 critical input to yield a reasonable result.”25 That result is also contrary to the Federal Open Market 18 19 Second, as noted above, the risk free rate, “rf”, in the CAPM formula is 20 represented by the interest rate on long-term U.S. Treasury securities. Since 21 the 2008 financial dislocation, investors have reacted to market uncertainty by 22 investing in low-risk securities such as Treasury bonds. Consequently, the 23 first term in the model (i.e., the risk-free rate) is lower than it would have been 24 absent the elevated degree of risk aversion that has, at least in part, resulted in 25 historically low Treasury yields. 26 25 Docket No. G-007, 011/GR-08-835, Findings of Fact, Conclusions of Law, and Order, at 10-11. 40 Docket No. E002/GR-10-971 Reed Direct 1 Q. WITH THOSE QUALIFICATIONS IN MIND, WHAT ASSUMPTIONS DID YOU USE IN 2 3 YOUR CAPM MODEL? A. Since the DCF and CAPM models both assume long-term investment 4 horizons, I used the 30-day, 90-day, and 180-day average yield on 30-year 5 Treasury Bonds as my estimate of the risk-free rate. For the equity risk 6 premium, I relied on the historical risk premium calculated using the long- 7 term average of the total return on large company stocks over the income 8 only portion of long term government bonds as reported by Morningstar for 9 the period from 1926-2009.26 This calculation results in a risk premium of 10 6.70 percent. Finally, for the Beta term, I used Betas from Value Line and 11 Bloomberg, both of which adjust their Beta estimates based on an average of 12 the raw, historical Beta and 1.0. This adjustment addresses the tendency of 13 the CAPM to underestimate the cost of capital for companies with 14 “unadjusted” or “raw” Betas significantly less than 1.0. For relatively low raw 15 Beta companies, such as regulated utilities, failure to take such adjustments 16 into consideration will result in an understatement of required returns. The 17 mean results of this analysis, which are presented in Exhibit__(JJR-1), 18 Schedule 3 range from 8.59 percent to 9.12 percent for the Electric Proxy 19 Group, and 8.75 percent to 9.28 percent for the Combination Proxy Group, 20 before consideration of flotation costs, well below the range of results 21 produced by other calculation methodologies. 22 26 Morningstar Inc., 2009 Ibbotson Stocks, Bonds, Bills and Inflation, Valuation Yearbook, Appendix A: Risk Premia Over Time, Table A-1 (page 2 of 6), at 127. 41 Docket No. E002/GR-10-971 Reed Direct 1 Q. DOES YOUR RECOMMENDATION SUBSTANTIALLY RELY ON THE CAPM MODEL 2 3 YOU PRESENTED IN EXHIBITS__(JJR-1), SCHEDULE 3? A. No, it does not. While I have calculated the CAPM using the approach 4 discussed above, I did not give any particular weight to those results for the 5 reasons that I have explained above. 6 7 8 G. Bond Yield Plus Risk Premium Analysis Q. PLEASE 9 10 DESCRIBE THE BOND YIELD PLUS RISK PREMIUM APPROACH YOU EMPLOYED. A. In general terms, this approach is based on the fundamental principal that 11 equity investors bear the residual risk associated with ownership and therefore 12 require a premium over the return they would have earned as a bondholder. 13 That is, since returns to equity holders are more risky than the returns to 14 bondholders, equity investors must be compensated to bear that risk. Risk 15 premium approaches therefore estimate the cost of equity as the sum of the 16 equity risk premium and the yield on a particular class of bonds. As noted in 17 my discussion of the CAPM, since the equity risk premium is not directly 18 observable, it typically is estimated using a variety of approaches, some of 19 which incorporate an ex-ante, or forward-looking estimate of the cost of 20 equity, and others that consider historical or ex-post estimates. Since we are 21 concerned with estimating the cost of equity for the Company, an alternative 22 approach is to use actual authorized returns for integrated electric utilities as 23 the historical measure of the cost of equity to determine the Risk Premium. 24 42 Docket No. E002/GR-10-971 Reed Direct 1 Q. ARE 2 3 THERE OTHER CONSIDERATIONS THAT SHOULD BE ADDRESSED IN CONDUCTING THIS ANALYSIS? A. Yes. In addition, it is important to recognize both academic literature and 4 market evidence indicating that the equity risk premium (as used in this 5 approach) is inversely related to the level of interest rates. That is, as interest 6 rates increase (decrease), the equity risk premium decreases (increases). 7 Consequently, it is important to develop an analysis that: (1) reflects the 8 inverse relationship between interest rates and the equity risk premium; and 9 (2) is based on more recent market conditions. Such an analysis can be 10 developed based on a regression of the risk premium as a function of 11 Treasury yields. If we let authorized integrated electric utility ROEs serve as 12 the measure of required equity returns and define the yield on the long-term 13 Treasury bond as the relevant measure of interest rates, the risk premium 14 simply would be the difference between those two points.27 15 16 Q. WHAT DID YOUR BOND YIELD PLUS EQUITY RISK PREMIUM ANALYSIS REVEAL? 17 A. As shown on Chart 3, from 1992 through September 30, 2010 there was, in 18 fact, a strong negative relationship between risk premia and interest rates. To 19 estimate that relationship, I conducted a regression analysis using the 20 following equation: 21 RP = a + b(T) 22 [5] where: 23 RP = Risk Premium (difference between allowed ROEs and 30-Year 24 Treasury Bond Yield) 27 See e.g., S. Keith Berry, Interest Rate Risk and Utility Risk Premia during 1982-93, Managerial and Decision Economics, Vol. 19, No. 2 (March, 1998), in which the author used a methodology similar to the regression approach described below, including using allowed ROEs as the relevant data source, and came to similar conclusions regarding the inverse relationship between risk premia and interest rates. See also Robert S. 43 Docket No. E002/GR-10-971 Reed Direct 1 a = Intercept term 2 b = Slope term 3 T = 30-Year Treasury Bond Yield 4 5 Data regarding allowed ROEs was derived from 390 rate cases from 1992 6 through the September 30, 2010 as reported by Regulatory Research 7 Associates. This equation’s coefficients were statistically significant at the 99 8 percent level.28 9 Chart 3: Risk Premium vs. Interest Rates-Linear Regression 8.00% 7.00% y = -0.6449x + 0.0913 R² = 0.6943 Risk Premium 6.00% 5.00% 4.00% 3.00% 2.00% 3.00% 4.00% 5.00% 6.00% 7.00% 8.00% 9.00% 30-Year Treasury Bond Yield 10 11 As shown in Exhibit__(JJR-1), Schedule 4 would range from 10.63 percent to 12 11.19 percent using forecasted Treasury bond yields. It is important to note, 13 however, that this estimate does not include the effect of the Company’s 14 specific risk factors, as discussed in the following section of my direct 15 testimony. 16 28 Harris, Using Analysts’ Growth Forecasts to Estimate Shareholders Required Rates of Return, Financial Management, Spring 1986, at 66. In order to ensure that the regression coefficients were not biased as a result of serially correlated error terms, the equation presented in Exhibit___(JJR-1), Schedule 4 was also estimated using the Prais-Winsten corrective routine. That equation continues to produce a negative slope coefficient and a ROE estimate of approximately 10.64% to 11.19%. 44 Docket No. E002/GR-10-971 Reed Direct 1 Q. DID YOU CONSIDER OTHER SPECIFICATIONS OF THE RISK PREMIUM MODEL? 2 A. Yes, I did. As noted by Dr. Marlon Griffing in a recent case before the 3 Commission, it is possible that the relationship between the ROE and the risk 4 premium may be non-linear. Therefore, I also relied on the equation derived 5 from a logarithmic relationship. As shown in Chart 4 below, the R-squared of 6 the equation assuming the logarithmic relationship is approximately 0.68. 7 This value means that the equation explains approximately 68 percent of the 8 deviation from the regression line.29 As shown in Exhibit__(JJR-1), Schedule 9 4 would range from 10.68 percent to 11.12 percent using forecasted Treasury 10 bond yields. 11 12 Chart 4: Risk Premium vs. Interest Rates-Logarithmic Relationship 8.00% 7.00% y = -0.036ln(x) - 0.0491 R² = 0.6823 Risk Premium 6.00% 5.00% 4.00% 3.00% 2.00% 3.00% 4.00% 5.00% 6.00% 7.00% 8.00% 9.00% 30-Year Treasury Bond Yield 13 29 This alternative was suggested by Dr. Marlon Griffing in Docket No. E008/GR-08-1075. Please note that using a logarithmic approach to estimating the risk premium does not allow for the correction of serial correlation. 45 Docket No. E002/GR-10-971 Reed Direct 1 VII. RISK FACTORS 2 3 Q. DO THE MEAN DCF, CAPM, AND RISK PREMIUM RESULTS FOR THE ELECTRIC 4 PROXY GROUP AND COMBINATION PROXY GROUP PROVIDE AN APPROPRIATE 5 ESTIMATE OF THE COST OF EQUITY FOR THE COMPANY? 6 A. No, the mean results do not necessarily provide an appropriate estimate of 7 the Company’s cost of equity. In my view, the Company’s business and 8 financial risks must be taken into consideration when determining where the 9 Company’s cost of equity falls within the range of results. 10 11 Q. WHAT ARE THE COMPANY’S PRIMARY BUSINESS RISK FACTORS? 12 A. The principal business risks facing the Company are the effect of the 13 Company’s substantial capital expenditure plan as well as the financial and 14 regulatory risks related to this investment plan. 15 16 A. Capital Expenditures 17 Q. PLEASE SUMMARIZE THE COMPANY’S CAPITAL EXPENDITURE PLAN. 18 A. The Company’s current projections include approximately $4.9 billion in 19 capital investment for the four year period from 2011 to 2014, as explained in 20 the Direct Testimony of Mr. Tyson. The Company’s capital expenditure plan 21 includes Minnesota’s renewable portfolio standard30 as well as additional 22 transmission, distribution and generation investment. Minnesota’s renewable 23 portfolio standard requires a minimum of 30.00 percent of the Company’s 24 retail electric sales to be generated by eligible energy technologies by the end 25 of the year 2020. In addition, the Company has substantial investment plans 26 for transmission facilities in connection with the CapX 2020 initiative. 30 Minn. Stat. § 216B.1691. 46 Docket No. E002/GR-10-971 Reed Direct 1 Through this initiative, the Company’s portion of this project is expected to 2 be approximately $900 million of investment that is scheduled to begin in 3 2010 and will continue over a three to five year period.31 The Company’s 4 capital investment plans are discussed further by Company witness Ms. Judy 5 M. Poferl and by Mr. Tyson. 6 7 Q. HOW 8 9 IS THE COMPANY’S RISK PROFILE AFFECTED BY THE SUBSTANTIAL INCREASE IN ITS PLANNED CAPITAL EXPENDITURES? A. As with any utility faced with a substantial capital expenditure plan, the 10 Company’s risk profile is adversely affected in two significant and related 11 ways: (1) the heightened level of investment increases the risk of under- 12 recovery, or the delayed recovery of the invested capital; and (2) an 13 inadequate authorized return would put downward pressure on key credit 14 metrics. 15 16 Q. 17 18 DO CREDIT RATING AGENCIES RECOGNIZE THE RISKS ASSOCIATED WITH INCREASED CAPITAL EXPENDITURES? A. Yes, they do. From a credit perspective, the additional pressure on cash flows 19 associated with high levels of capital expenditures exerts corresponding 20 pressure on credit metrics and, therefore, credit ratings. S&P noted several 21 long term challenges for utilities’ financial health including: heavy 22 construction programs to address demand growth, declining capacity margins, 23 and aging infrastructure and regulatory responsiveness to mounting requests 24 for rate increases. S&P further noted that: 25 26 27 To sustain their current credit quality in the face of these longlived challenges, utilities need to have established—and be able to maintain—a firm credit foundation. This will require a 31 Northern States Power Co., SEC Form 10-K, December 31, 2009, p.73. 47 Docket No. E002/GR-10-971 Reed Direct 1 2 3 4 5 6 7 8 9 strong and effective working relationship among management, regulators, and increasingly legislators and governors, in the planning and execution of strategies. A comprehensive vetting and understanding of the risks associated with the regulatory mechanisms under which the utility will recover its investment, which could include a cash return during construction and timely recognition of volatile costs, will be paramount in preserving creditworthiness.32 10 S&P specifically noted the risks associated with NSP’s capital expenditure 11 plan in its July 2010 rating of the Company. In that report, S&P noted that its 12 credit rating reflects in part the full cost recovery of larger construction 13 projects. In addition, S&P notes that the current stable outlook could be 14 revised to negative if construction projects are not completed on time and 15 budget or if expected rate recovery is less than expected.33 Therefore, to the 16 extent that the Company’s current regulatory structure cannot meet the 17 Company’s objectives, it will be necessary to change the structure to provide 18 the flexibility necessary to meet those objectives. 19 20 Q. ARE 21 22 YOU AWARE THAT THE COMPANY HAS REQUESTED THAT THE COMMISSION APPROVE A STEP-UP IN ITS 2012 REVENUE REQUIREMENT? A. Yes, I am aware of the Company’s proposal and have considered this 23 proposal in my recommended cost of equity. As discussed in greater detail in 24 the testimony of Company witness Mr. Richard A. Ostberg’s testimony, the 25 Company is proposing to increase its 2012 revenue requirement to recover 26 the costs of specific capital and operations and maintenance costs in lieu of 27 filing a general rate case at that time. 28 32 Standard & Poor’s RatingsDirect, Industry Report Card: Utility Sectors In the Americas Remain Stable, While Challenges Beset European, Australian, and New Zealand Counterparts, June 27, 2008, at 4. 48 Docket No. E002/GR-10-971 Reed Direct 1 Q. ARE 2 3 EQUITY INVESTORS ALSO CONCERNED WITH COMPARATIVELY HIGH LEVELS OF CAPITAL EXPENDITURES? A. Yes, equity investors also recognize the pressure on cash flows associated 4 with relatively high levels of capital expenditures. KeyBanc Capital Markets 5 (“KeyBanc”), for example, conducts a quarterly review of the electric utility 6 industry. In a recent report, KeyBanc noted that: 7 8 9 10 11 12 13 14 15 16 17 18 19 20 21 22 23 24 25 26 27 28 29 30 31 32 33 34 Much of the intermediate to long-term growth in the sector is tied to large capital growth programs earning regulated returns. During a period of lofty valuations and easy credit, investors viewed these programs positively. Recent market performance has made the equity and debt financing of these large projects less attractive. Although capital markets have improved since early 2009, liquidity and capital costs remain a concern, as costs for credit have generally become more expensive and available durations have shrunk. Higher interest costs will likely continue to pressure earnings until regulatory lag is better addressed. The compression of stock price valuation multiples in the sector has also negatively impacted the equity financing of capital expenditures, as many names are trading below book value. Credit and liquidity concerns have driven many companies to revisit capital spending plans and reassess operational efficiencies. The primary response has generally been to delay projects, as opposed to outright cancellation. Initially, reductions in capital programs were a function of lower growth, which eliminated the need for growth-related capital spending on items such as line extensions and new substations. However, as difficult economic conditions persist, the cuts have grown more extensive, with deferrals in non-core maintenance spending, reevaluating the costeffectiveness of running older inefficient power plants, and pursuing company restructurings or mergers.34 33 34 Standard & Poor’s Global Credit Portal RatingsDirect, Northern States Power Co., July 14, 2010, pp. 2-3. KeyBanc Capital Markets Inc. Equity Research, Electric Utilities Quarterly 1Q10, June 2010, at 7. 49 Docket No. E002/GR-10-971 Reed Direct 1 Q. HOW 2 3 DOES THE LEVEL OF THE COMPANY’S EXPECTED CAPITAL EXPENDITURES COMPARE TO THE PROXY GROUP? A. In order to reasonably make that comparison, as shown in Exhibit__(JJR-1), 4 Schedule 5, I calculated the ratio of expected capital expenditures to net 5 assets35 for each of the companies in the Electric Proxy Group. For the 6 projected period from 2010-2013, I performed that calculation using the 7 Company’s projected capital expenditures and its total net assets as of 8 December 31, 2009. As shown in Schedule 5, the Company’s relative level of 9 capital expenditures is between 1.4 and 2.7 times the projected investments of 10 the Electric Proxy Group. 11 expenditures of the Company and my Electric Proxy Group. 35 Chart 5 compares the projected capital Source: Value Line and Xcel and the Company 2008 SEC Forms 10-K. 50 Docket No. E002/GR-10-971 Reed Direct 1 Chart 5: Comparison of Capital Expenditures36 2009-2013 Projected CAPEX/Net Plant 120.00% 100.00% 80.00% 60.00% 40.00% 20.00% 0.00% Source: Value Line and Company Data 2 3 4 Q. WHAT ARE YOUR CONCLUSIONS REGARDING THE EFFECT OF THE COMPANY’S 5 6 CAPITAL SPENDING PLANS ON ITS RISK PROFILE? A. It is clear that on a relative basis, the Company’s capital expenditure program 7 is significant. This program, which is necessary to maintain system reliability, 8 meet environmental legislation, and support future growth, could materially 9 dilute the Company’s current earnings and cash flows. It also is clear that the 10 financial community recognizes the additional risks associated with substantial 11 capital expenditures and that those risks are reflected in market valuation 12 multiples. In my view, these factors suggest a comparatively high level of risk 13 vis-à-vis the Electric Proxy Group and the Combination Proxy Group. 14 36 Source: Proxy group data based on Value Line, Company data based on 2009 10K and Company provided information. 51 Docket No. E002/GR-10-971 Reed Direct 1 VIII. CAPITAL STRUCTURE 2 3 Q. WHAT IS THE COMPANY’S PROJECTED CAPITAL STRUCTURE? 4 A. The Company’s projected 2011 Test Year capital structure consists of 52.56 5 percent common equity, 46.30 percent long-term debt and 1.14 percent short- 6 term debt.37 As discussed in greater detail in the Direct Testimony of Mr. 7 Tyson, the Company’s capital structure finances both its electric and gas 8 utility operations. 9 10 Q. PLEASE DISCUSS YOUR ANALYSIS OF THE CAPITAL STRUCTURES OF THE PROXY 11 12 GROUP COMPANIES. A. In order to assess the reasonableness of the Company’s proposed capital 13 structure, I also reviewed the capitalization ratios of the individual utility 14 operating companies owned and operated (and for which separate financial 15 information is available) by the respective Electric Proxy Group and 16 Combination Proxy Group companies. 17 18 I calculated the average capital structure for each of the companies on a 19 quarterly basis for the eight quarters for the period beginning with the third 20 quarter of 2008 through the second quarter of 2010, using the capital 21 structures of the operating utility companies owned and operated by each of 22 my Electric and Combination Proxy Group. I then calculated a range of 23 weighted average equity ratios based on the mean, mean high and mean low 24 equity ratios of the Electric Proxy Group and the Combination Proxy 25 Groups. 26 37 See Exhibit __(GET-1), Schedule 2. 52 Docket No. E002/GR-10-971 Reed Direct 1 As noted previously, I considered my assessment of the Company’s 2 proposed capital structure and equity ratio in my analysis and 3 recommendation of the Company’s ROE. 4 5 Q. PLEASE SUMMARIZE THE RESULTS OF YOUR ANALYSIS. 6 A. As shown in Exhibit__(JJR-1), Schedule 6, the Company’s proposed equity 7 ratio of 52.56 percent is within the range of the equity ratios established by 8 my Electric and Combination Proxy Groups. Furthermore, the Company’s 9 long-term and short-term debt ratios of 46.30 percent and 1.14 percent 10 respectively are well within the range of the ratios for the Electric Proxy 11 Group and Combination Proxy Group companies. 12 Company’s proposed capital structure is within the range established by my 13 proxy groups. Thus, overall, the 14 15 IX. CONCLUSION AND RECOMMENDATION 16 17 Q. WHAT IS YOUR CONCLUSION REGARDING A FAIR RETURN ON EQUITY FOR THE 18 19 COMPANY? A. My recommended ROE considers the results of the DCF and Risk Premium 20 models, summarized in Table 6 below, as well as the costs associated with the 21 issuance of common stock. As discussed previously, I have considered the 22 fact that investors are aware that the Company is a combination electric and 23 gas utility that derives more than 90 percent of its net income from its electric 24 operations and that the Commission recognized this fact and considered the 25 results of combination companies in the Company’s recent electric rate case. 26 In developing my recommendation of the appropriate ROE for the Company, 27 I considered the results of both my Electric Proxy Group and my 53 Docket No. E002/GR-10-971 Reed Direct 1 Combination Proxy Group. Consistent with the Commission’s determination 2 in Docket No. E002/GR-08-1065, I applied a greater weight to the Electric 3 Proxy Group. 4 5 Investors are also aware of the Company’s very extensive investment plans 6 and that the Company is focused primarily on its electric operations, along 7 with the financial risks associated with these plans. 8 consideration the regulatory environment of utilities, particularly in a time of 9 increased financial risk posed by substantial investments. The Company’s 10 substantial investment plans increase the risk of the Company relative to both 11 the Electric Proxy Group and the Combination Proxy Group. Investors take into 12 13 The DCF results presented in the remainder of my Direct Testimony indicate 14 that a conservative range of the cost of equity for NSP is from 11.21 percent 15 to 11.44 percent, depending on the observation interval chosen (30, 90 and 16 180 days), based on the weighted average DCF results of the Electric Proxy 17 Group and the Combination Proxy Group. This range, which is established 18 based on my mean DCF results, is conservative when considering the 19 increased operating risk of NSP as compared with the proxy group 20 companies. Based on these factors, an 11.25 percent ROE represents a 21 conservative estimate of the return required to invest in a utility with a risk 22 profile comparable to the Company. 54 Docket No. E002/GR-10-971 Reed Direct 1 Table 6: Summary of Analytical Results Mean Low Mean Mean High 11.39% 11.56% 12.76% 12.92% 11.63% 12.99% 10.93% 11.09% 11.92% 12.08% Electric Proxy Group (including flotation costs) Constant Growth DCF – 30-Day Average 9.76% 9.93% Constant Growth DCF – 90-Day Average Constant Growth DCF – 180-Day Average 9.99% Combination Proxy Group(including flotation costs) Constant Growth DCF – 30-Day Average 10.01% 10.17% Constant Growth DCF – 90-Day Average Constant Growth DCF – 180-Day Average 10.23% 11.15% 12.14% Weighted Average DCF result (60% Electric Proxy Group 40% Combination Proxy Group) Constant Growth DCF – 30-Day Average 9.86% 11.21% 12.42% Constant Growth DCF – 90-Day Average 10.02% 11.37% 12.58% Constant Growth DCF – 180-Day Average 10.09% 11.44% 12.65% 2 3 Q. DOES THIS CONCLUDE YOUR TESTIMONY? 4 A. Yes, it does. 55 Docket No. E002/GR-10-971 Reed Direct Statement of Qualifications Docket No. E002/GR-10-971 Exhibit___(JJR-1), Attachment A John J. Reed Chairman and Chief Executive Officer John J. Reed is a financial and economic consultant with more than 30 years of experience in the energy industry. Mr. Reed has also been the CEO of an NASD member securities firm, and Co-CEO of the nation’s largest publicly traded management consulting firm (NYSE: NCI). He has provided advisory services in the areas of mergers and acquisitions, asset divestitures and purchases, strategic planning, project finance, corporate valuation, energy market analysis, rate and regulatory matters and energy contract negotiations to clients across North and Central America. Mr. Reed’s comprehensive experience includes the development and implementation of nuclear, fossil, and hydroelectric generation divestiture programs with an aggregate valuation in excess of $20 billion. Mr. Reed has also provided expert testimony on financial and economic matters on more than 150 occasions before the FERC, Canadian regulatory agencies, state utility regulatory agencies, various state and federal courts, and before arbitration panels in the United States and Canada. After graduation from the Wharton School of the University of Pennsylvania, Mr. Reed joined Southern California Gas Company, where he worked in the regulatory and financial groups, leaving the firm as Chief Economist in 1981. He served as executive and consultant with Stone & Webster Management Consulting and R.J. Rudden Associates prior to forming REED Consulting Group (RCG) in 1988. RCG was acquired by Navigant Consulting in 1997, where Mr. Reed served as an executive until leaving Navigant to join Concentric as Chairman and Chief Executive Officer. REPRESENTATIVE PROJECT EXPERIENCE Executive Management As an executive-level consultant, worked with CEOs, CFOs, other senior officers, and Boards of Directors of many of North America’s top electric and gas utilities, as well as with senior political leaders of the U.S. and Canada on numerous engagements over the past 25 years. Directed merger, acquisition, divestiture, and project development engagements for utilities, pipelines and electric generation companies, repositioned several electric and gas utilities as pure distributors through a series of regulatory, financial, and legislative initiatives, and helped to develop and execute several “roll-up” or market aggregation strategies for companies seeking to achieve substantial scale in energy distribution, generation, transmission, and marketing. Financial and Economic Advisory Services Retained by many of the nation’s leading energy companies and financial institutions for services relating to the purchase, sale or development of new enterprises. These projects included major new gas pipeline projects, gas storage projects, several non-utility generation projects, the purchase and sale of project development and gas marketing firms, and utility acquisitions. Specific services provided include the development of corporate expansion plans, review of acquisition candidates, establishment of divestiture standards, due diligence on acquisitions or financing, market entry or expansion studies, competitive assessments, project financing studies, and negotiations relating to these transactions. Litigation Support and Expert Testimony Provided expert testimony on more than 150 occasions in administrative and civil proceedings on a wide range of energy and economic issues. Clients in these matters have included gas distribution utilities, gas pipelines, gas producers, oil producers, electric utilities, large energy consumers, governmental and regulatory agencies, trade associations, independent energy project developers, engineering firms, and gas and power marketers. Testimony has focused on issues ranging from broad regulatory and economic policy to virtually Statement of Qualifications Docket No. E002/GR-10-971 Exhibit___(JJR-1), Attachment A all elements of the utility ratemaking process. Also frequently testified regarding energy contract interpretation, accepted energy industry practices, horizontal and vertical market power, quantification of damages, and management prudence. Have been active in regulatory contract and litigation matters on virtually all interstate pipeline systems serving the U.S. Northeast, Mid-Atlantic, Midwest, and Pacific regions. Also served on FERC Commissioner Terzic’s Task Force on Competition, which conducted an industry-wide investigation into the levels of and means of encouraging competition in U.S. natural gas markets. Represented the interests of the gas distributors (the AGD and UDC) and participated actively in developing and presenting position papers on behalf of the LDC community. Resource Procurement, Contracting and Analysis On behalf of gas distributors, gas pipelines, gas producers, electric utilities, and independent energy project developers, personally managed or participated in the negotiation, drafting, and regulatory support of hundreds of energy contracts, including the largest gas contracts in North America, electric contracts representing billions of dollars, pipeline and storage contracts, and facility leases. These efforts have resulted in bringing large new energy projects to market across North America, the creation of hundreds of millions of dollars in savings through contract renegotiation, and the regulatory approval of a number of highly contested energy contracts. Strategic Planning and Utility Restructuring Acted as a leading participant in the restructuring of the natural gas and electric utility industries over the past fifteen years, as an adviser to local distribution companies (LDCs), pipelines, electric utilities, and independent energy project developers. In the recent past, provided services to many of the top 50 utilities and energy marketers across North America. Managed projects that frequently included the redevelopment of strategic plans, corporate reorganizations, the development of multi-year regulatory and legislative agendas, merger, acquisition and divestiture strategies, and the development of market entry strategies. Developed and supported merchant function exit strategies, marketing affiliate strategies, and detailed plans for the functional business units of many of North America’s leading utilities. PROFESSIONAL HISTORY Concentric Energy Advisors, Inc. (2002 – Present) Chairman and Chief Executive Officer CE Capital Advisors (2004 – Present) Chairman, President, and Chief Executive Officer Navigant Consulting, Inc. (1997 – 2002) President, Navigant Energy Capital (2000 – 2002) Executive Director (2000 – 2002) Co-Chief Executive Officer, Vice Chairman (1999 – 2000) Executive Managing Director (1998 – 1999) President, REED Consulting Group, Inc. (1997 – 1998) REED Consulting Group (1988 – 1997) Chairman, President and Chief Executive Officer R.J. Rudden Associates, Inc. (1983 – 1988) Vice President Statement of Qualifications Docket No. E002/GR-10-971 Exhibit___(JJR-1), Attachment A Stone & Webster Management Consultants, Inc. (1981 – 1983) Senior Consultant Consultant Southern California Gas Company (1976 – 1981) Corporate Economist Financial Analyst Treasury Analyst EDUCATION AND CERTIFICATION B.S., Economics and Finance, Wharton School, University of Pennsylvania, 1976 Licensed Securities Professional: NASD Series 7, 63, and 24 Licenses BOARDS OF DIRECTORS (PAST AND PRESENT) Concentric Energy Advisors, Inc. Navigant Consulting, Inc. Navigant Energy Capital Nukem, Inc. New England Gas Association R. J. Rudden Associates REED Consulting Group AFFILIATIONS National Association of Business Economists International Association of Energy Economists American Gas Association New England Gas Association Society of Gas Lighters Guild of Gas Managers Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR Alaska Public Utilities Commission Chugach Electric Chugach Electric Chugach Electric Chugach Electric California Energy Commission Southern California Gas Co. California Public Utility Commission Southern California Gas Co. Pacific Gas Transmission Co. Pacific Gas Transmission Co. Colorado Public Utilities Commission AMAX Molybdenum AMAX Molybdenum Xcel Energy CT Dept. of Public Utilities Control Connecticut Natural Gas United Illuminating Southern Connecticut Gas Southern Connecticut Gas Southern Connecticut Gas Southern Connecticut Gas DATE CASE/APPLICANT DOCKET NO. SUBJECT 12/86 6/87 12/87 2/88 Chugach Electric Enstar Natural Gas Company Enstar Natural Gas Company Chugach Electric Docket No. U-86-11 Docket No. U-87-2 Docket No. U-87-42 Docket No. U-87-35 Cost Allocation Tariff Design Gas Transportation Cost of Capital 8/80 Southern California Gas Co. Docket No. 80-BR-3 Gas Price Forecasting 3/80 10/91 7/92 Southern California Gas Co. Pacific Gas & Electric Co. Southern California Gas Co. TY 1981 G.R.C. App. 89-04-033 A. 92-04-031 Cost of Service, Inflation Rate Design Rate Design 2/90 11/90 8/04 Commission Rulemaking Commission Rulemaking Xcel Energy Docket No. 89R-702G Docket No. 90R-508G Docket No. 031-134E Gas Transportation Gas Transportation Cost of Debt 12/88 3/99 2/04 4/05 5/06 Connecticut Natural Gas United Illuminating Southern Connecticut Gas Southern Connecticut Gas Southern Connecticut Gas Gas Purchasing Practices Nuclear Plant Valuation Gas Purchasing Practices LNG/Trunkline LNG/Trunkline 8/08 Southern Connecticut Gas Docket No. 88-08-15 Docket No. 99-03-04 Docket No. 00-12-08 Docket No. 05-03-17 Docket No. 05-0317PH01 Docket No. 06-05-04 CONCENTRIC ENERGY ADVISORS, INC. PAGE 1 Peaking Service Agreement Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR DATE CASE/APPLICANT DOCKET NO. SUBJECT Divestiture of Gen. Assets & Purchase Power Contracts (Direct) Divestiture of Gen. Assets & Purchase Power Contracts (Supplemental Direct) Divestiture of Gen. Assets & Purchase Power Contracts (Rebuttal) District Of Columbia PSC Potomac Electric Power Company 3/99 Potomac Electric Power Company Docket No. 945 Potomac Electric Power Company 5/99 Potomac Electric Power Company Docket No. 945 Potomac Electric Power Company 7/99 Potomac Electric Power Company Docket No. 945 Fed’l Energy Regulatory Commission Safe Harbor Water Power Corp. 8/82 Safe Harbor Water Power Corp. Western Gas Interstate Company 5/84 Southern Union Gas 4/87 Western Gas Interstate Company El Paso Natural Gas Company Connecticut Natural Gas 11/87 Penn-York Energy Corporation AMAX Magnesium 12/88 Questar Pipeline Company Western Gas Interstate Company 6/89 Western Gas Interstate Company Associated CD Customers 12/89 CNG Transmission Utah Industrial Group 9/90 Questar Pipeline Company CONCENTRIC ENERGY ADVISORS, INC. Docket No. RP84-77 Docket No. RP87-16000 Docket No. RP87-78000 Docket No. RP88-93000 Docket No. RP89-179000 Docket No. RP88-211000 Docket No. RP88-93000, Phase II PAGE 2 Wholesale Electric Rate Increase Load Fcst. Working Capital Take-or-Pay Costs Cost Alloc./Rate Design Cost Alloc./Rate Design Cost Alloc./Rate Design, Open-Access Transportation Cost Alloc./Rate Design Cost Alloc./Rate Design Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR DATE CASE/APPLICANT DOCKET NO. SUBJECT Gas Markets, Rate Design, Cost of Capital, Capital Structure Electric Generation Markets Iroquois Gas Trans. System 8/90 Iroquois Gas Transmission System Docket No. CP89-634000/001; CP89-815-000 Boston Edison Company 1/91 Boston Edison Company Cincinnati Gas and Electric Co., Union Light, Heat and Power Company, Lawrenceburg Gas Company Ocean State Power II 7/91 Texas Gas Transmission Corp. Docket No. ER91-243000 Docket No. RP90-104000, RP88-115-000, RP90-192-000 7/91 Ocean State Power II ER89-563-000 Brooklyn Union/PSE&G 7/91 Texas Eastern RP88-67, et al Northern Distributor Group 9/92 RP92-1-000, et al Canadian Association of Petroleum Producers and Alberta Pet. Marketing Comm. Colonial Gas, Providence Gas 10/92 Northern Natural Gas Company Lakehead Pipe Line Co. L.P. IS92-27-000 Rate Case Analysis Cost of Service 7/93 Algonquin Gas Transmission RP93-14 Colonial Gas, Providence Gas 8/93 Algonquin Gas Transmission RP93-14 – Rebuttal Iroquois Gas Transmission RP94-72-000 Transcontinental Gas Pipeline Corporation Pacific Gas Transmission Docket No. RP92-137000 Docket No. RP94-149000 Cost Allocation, Rate Design Cost Allocation, Rate Design Cost of Service and Rate Design Rate Design, Firm to Wellhead Rolled-In vs. Incremental Rates Iroquois Gas Transmission 94 Transco Customer Group 1/94 Pacific Gas Transmission 2/94 CONCENTRIC ENERGY ADVISORS, INC. PAGE 3 Cost Alloc./Rate Design Comparability of Svc. Competitive Market Analysis, Self-dealing Market Power, Comparability of Service Cost of Service Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR DATE CASE/APPLICANT DOCKET NO. SUBJECT Docket Nos. RP93-151000, RP94-39-000, RP94-197-000, RP94309-000 RP94-149-000 Docket Nos. RP93-151000, RP94-39-000, RP94-197-000, RP94309-000 RP93-151 GSR Costs RP92-18-000 RP97-126-000 Stranded Costs Cost of Service, Rate Design Market Power Analysis – Merger Tennessee GSR Group 1/95 Tennessee Gas Pipeline Company Pacific Gas Transmission Tennessee GSR Customer Group 2/95 3/95 Pacific Gas Transmission Tennessee Gas Pipeline Company ProGas and Texas Eastern 1/96 Tennessee Gas Pipeline Company El Paso Natural Gas Company Iroquois Gas Transmission System, L.P. Boston Edison Company/ Commonwealth Energy System PG&E and SoCal Gas Iroquois Gas Transmission System, L.P. 96 97 BEC Energy - Commonwealth Energy System 2/99 Central Hudson Gas & Electric, Consolidated Co. of New York, Niagara Mohawk Power Corporation, Dynegy Power Inc. 10/00 Wyckoff Gas Storage Indicated Shippers/Producers 12/02 10/03 Central Hudson Gas & Electric, Consolidated Co. of New York, Niagara Mohawk Power Corporation, Dynegy Power Inc. Wyckoff Gas Storage Northern Natural Gas Maritimes & Northeast Pipeline 6/04 Maritimes & Northeast Pipeline ISO New England 8/04 ISO New England Transwestern Pipeline Company, LLC 9/06 Transwestern Pipeline Company, LLC CONCENTRIC ENERGY ADVISORS, INC. EC99-___-000 Rate Design GSR Costs Declaration Docket No. EC00-___ Market Power 203/205 Filing CP03-33-000 Docket No. RP98-39029 Docket No. RP04-360000 Docket No. ER03-563030 Docket No. RP06-614000 Need for Storage Project Ad Valorem Tax Treatment PAGE 4 Rolled-In Rates Cost of New Entry Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR DATE CASE/APPLICANT DOCKET NO. SUBJECT Market Assessment, natural gas transportation; rate setting Business risks; extraordinary and non-recurring events pertaining to discretionary revenues Affidavit re: Impact of Preferential Rate Portland Natural Gas Transmission System 6/08 Portland Natural Gas Transmission System Docket No. RP08-306000 Portland Natural Gas Transmission System 5/10 Portland Natural Gas Transmission System Docket No. RP10-729000 Morris Energy 7/10 Morris Energy Docket No. RP10- Florida Public Service Commission Florida Power and Light Co. Florida Power and Light Co. Florida Power and Light Co. 10/07 5/08 3/09 Florida Power & Light Co. Florida Power & Light Co. Florida Power & Light Co. Docket No. 070650-EI Docket No. 080009-EI Docket No. 080677-EI Florida Power and Light Co. Florida Power and Light Co. 3/09 Florida Power & Light Co. 3/10; 5/10, Florida Power & Light Co. 8/10 Florida Senate Committee on Communication, Energy and Utilities Florida Power and Light Co. 2/09 Florida Power & Light Co. Hawaii Public Utility Commission Hawaiian Electric Light Company, Inc. 6/00 Hawaiian Electric Light (HELCO) Company, Inc. Indiana Utility Regulatory Commission Northern Indiana Public Service Company 10/01 Northern Indiana Public Service Company Docket No. 090009-EI Docket No. 100009-EI Northern Indiana Public Service Company 01/08 Cause No. 43396 Northern Indiana Public Service Company 08/08 Northern Indiana Public Service Company Northern Indiana Public Service Company CONCENTRIC ENERGY ADVISORS, INC. Need for new nuclear plant New Nuclear cost recovery Benchmarking in support of ROE New Nuclear cost recovery New Nuclear cost recovery Securitization Cause No. 41746 Standby Charge Docket No. 99-0207 Direct Testimony, Valuation of Electric Generating Facilities Asset Valuation Cause No. 43526 PAGE 5 Fair Market Value Assessment Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR Iowa Utilities Board Interstate Power and Light DATE 7/05 CASE/APPLICANT DOCKET NO. SUBJECT Docket No. SPU-05-15 Sale of Nuclear Plant Docket No. SPU-06-5 Docket No. SPU-06-6 Docket No. SPU-06-10 Docket No. SPU-06-8 Docket No. SPU-06-7 Public Benefits Public Benefits Public Benefits Public Benefits Public Benefits Interstate Power and Light Interstate Power and Light Interstate Power and Light Interstate Power and Light Interstate Power and Light Maine Public Utility Commission Northern Utilities 5/07 5/07 5/07 5/07 5/07 Interstate Power and Light and FPL Energy Duane Arnold, LLC City of Everly, Iowa City of Kalona, Iowa City of Wellman, Iowa City of Terril, Iowa City of Rolfe, Iowa 5/96 Granite State and PNGTS Docket No. 95-480, 95481 Transportation Service and PBR Maryland Public Service Commission Eastalco Aluminum Potomac Electric Power Company 3/82 8/99 Potomac Edison Potomac Electric Power Company Docket No. 7604 Docket No. 8796 Cost Allocation Stranded Cost & Price Protection (Direct) Mass. Department of Public Utilities Haverhill Gas 5/82 Haverhill Gas Docket No. DPU #1115 Cost of Capital New England Energy Group Energy Consortium of Mass. 1/87 9/87 Commission Investigation Commonwealth Gas Company Mass. Institute of Technology Energy consortium of Mass. PG&E Bechtel Generating Co./ Constellation Holdings Coalition of Non-Utility Generators 12/88 3/89 10/91 Middleton Municipal Light Boston Gas Commission Investigation Docket No. DPU-87122 DPU #88-91 DPU #88-67 DPU #91-131 Cambridge Electric Light Co. & Commonwealth Electric Co. DPU 91-234 EFSC 91-4 CONCENTRIC ENERGY ADVISORS, INC. PAGE 6 Gas Transportation Rates Cost Alloc./Rate Design Cost Alloc./Rate Design Rate Design Valuation of Environmental Externalities Review Integrated Resource Management Filing Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR DATE CASE/APPLICANT DOCKET NO. SUBJECT DPU #92-154 Gas Purchase Contract Approval DPU #92-130 DPU #92-146 Least Cost Planning RFP Evaluation DPU #92-142 DPU #92-167 DPU #92-153 DPU #92-166 DPU #92-144 DPU #93-187 RFP Evaluation RFP Evaluation RFP Evaluation RFP Evaluation RFP Evaluation Gas Purchase Contract Approval Docket No. 93-129 Integrated Resource Planning Surplus Capacity Stranded Costs – Direct Unbundled Rates Holding Company Corporate Structure Regulatory Issues Marketing for divestiture of its generation business. Fossil Generation Divestiture Nuclear Generation Divestiture The Berkshire Gas Company Essex County Gas Company Fitchburg Gas and Elec. Light Co. 5/92 Boston Edison Company Boston Edison Company 7/92 7/92 Boston Edison Company Boston Edison Company Boston Edison Company Boston Edison Company Boston Edison Company The Berkshire Gas Company Colonial Gas Company Essex County Gas Company Fitchburg Gas and Electric Company Bay State Gas Company 7/92 7/92 7/92 7/92 7/92 11/93 10/93 The Berkshire Gas Company Essex County Gas Company Fitchburg Gas & Elec. Light Co. Boston Edison The Williams/Newcorp Generating Co. West Lynn Cogeneration L’Energia Corp. DLS Energy, Inc. CMS Generation Co. Concord Energy The Berkshire Gas Company Colonial Gas Company Essex County Gas Company Fitchburg Gas and Electric Co. Bay State Gas Company Boston Edison Company Hudson Light & Power Department Essex County Gas Company Boston Edison Company 94 4/95 5/96 8/97 Boston Edison Hudson Light & Power Dept. Essex County Gas Company Boston Edison Company DPU #94-49 DPU #94-176 Docket No. 96-70 D.P.U. No. 97-63 Berkshire Gas Company Eastern Edison Company 6/98 8/98 Berkshire Gas Mergeco Gas Co. Montaup Electric Company D.T.E. 98-87 D.T.E. 98-83 Boston Edison Company 98 Boston Edison Company D.T.E. 97-113 Boston Edison Company 98 Boston Edison Company D.T.E. 98-119 CONCENTRIC ENERGY ADVISORS, INC. PAGE 7 Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR CASE/APPLICANT DOCKET NO. SUBJECT 12/98 9/07, 12/07 Montaup Electric Company NStar, Bay State Gas, Fitchburg G&E, NE Gas, W. MA Electric D.T.E. 99-9 DPU 07-50 Sale of Nuclear Plant Decoupling Mass. Energy Facilities Siting Council Mass. Institute of Technology Boston Edison Company Silver City Energy Ltd. Partnership 1/89 9/90 11/91 M.M.W.E.C. Boston Edison Silver City Energy EFSC-88-1 EFSC-90-12 D.P.U. 91-100 Least-Cost Planning Electric Generation Mkts State Policies; Need for Facility Michigan Public Service Commission Detroit Edison Company 9/98 Detroit Edison Company Case No. U-11726 Consumers Energy Company Minnesota Public Utilities Commission Xcel Energy/No. States Power 8/06 Consumers Energy Company Case No. U-14992 Market Value of Generation Assets Sale of Nuclear Plant 9/04 Xcel Energy/No. States Power Interstate Power and Light 8/05 Northern States Power Company d/b/a Xcel Energy Northern States Power Company d/b/a Xcel Energy Northern States Power Company d/b/a Xcel Energy Northern States Power 11/05 Interstate Power and Light and FPL Energy Duane Arnold, LLC Northern States Power Company NSP v. Excelsior Docket No. G002/GR04-1511 Docket No. E001/PA05-1272 Northern States Power 11/09 Eastern Edison Company NStar DATE 09/06 11/06 11/08 Northern States Power Company Northern States Power Company Northern States Power Company CONCENTRIC ENERGY ADVISORS, INC. Docket No. E002/GR05-1428 Docket No. E6472/M05-1993 Docket No. G002/GR06-1429 Docket No. E002/GR08-1065 Docket No. G002/GR09-1153 PAGE 8 NRG Impacts Sale of Nuclear Plant NRG Impacts on Debt Costs Industry Norms and Financial Impacts Return on Equity Return on Equity Return on Equity Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR DATE CASE/APPLICANT DOCKET NO. SUBJECT Gas Purchasing Practices; Prudence Cost of Capital, Capital Structure Missouri Public Service Commission Missouri Gas Energy 1/03 Missouri Gas Energy Case No. GR-2001-382 Aquila Networks 2/04 Aquila-MPS, Aquila_L&P Aquila Networks 2/04 Aquila-MPS, Aquila_L&P Missouri Gas Energy 11/05 Missouri Gas Energy Case Nos. ER-20040034 HR-2004-0024 Case No. GR-20040072 Case Nos. GR-2002348 GR-2003-0330 10/82 Great Falls Gas Company Docket No. 82-4-25 Gas Rate Adjust. Clause 2/87 Docket No. GH-1-87 Gas Export Markets Docket No. GH-2-87 Docket No. GH-5-89 RH-2-91 RH3-93 Gas Export Markets Gas Export Markets Pipeline Valuation, Toll Cost of Capital Market Study Market Study Natural Gas Demand Analysis Segmented Service Market Study Montana Public Service Commission Great Falls Gas Company Nat. Energy Board of Canada Alberta-Northeast Alberta-Northeast Alberta-Northeast Indep. Petroleum Association of Canada The Canadian Association of Petroleum Producers Alliance Pipeline L.P. Maritimes & Northeast Pipeline Maritimes & Northeast Pipeline 11/87 1/90 1/92 11/93 Alberta Northeast Gas Export Project TransCanada Pipeline TransCanada Pipeline Interprovincial Pipe Line, Inc. Transmountain Pipe Line 6/97 97 2/02 Alliance Pipeline L.P. Sable Offshore Energy Project Maritimes & Northeast Pipeline GH-3-97 GH-6-96 GH-3-2002 TransCanada Pipelines Brunswick Pipeline TransCanada Pipelines Ltd. 8/04 9/06 3/07 TransCanada Pipelines Brunswick Pipeline TransCanada Pipelines Ltd.: Gros Cacouna Receipt Point Application RH-3-2004 GH-1-2006 RH-1-2007 CONCENTRIC ENERGY ADVISORS, INC. PAGE 9 Cost of Capital, Capital Structure Capacity Planning Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR DATE CASE/APPLICANT DOCKET NO. SUBJECT 3/08 Repsol Energy Canada Ltd GH-1-2008 Market Study 1/08 Atlantic Wallboard/JD Irving Co. Atlantic Wallboard/Flakeboard MCTN #298600 Rate Setting for EGNB Maritimes & Northeast Pipeline File OF-Tolls-Group1M124-2010-01 01 Ratemaking treatment of Escrow Account 6/89 5/90 6/90 12/90 7/90 P.S. Co. of New Hampshire Northeast Utilities Eastern Utilities Associates EnergyNorth Natural Gas EnergyNorth Natural Gas Docket No. DR89-091 Docket No. DR89-244 Docket No. DF89-085 Docket No. DE90-166 Docket No. DR90-187 Northern Utilities, Inc. New Jersey Board of Public Utilities 12/91 Commission Investigation Docket No. DR91-172 Fuel Costs Merger & Acq. Issues Merger & Acq. Issues Gas Purchasing Practices Special Contracts, Discounted Rates Generic Discounted Rates Hilton/Golden Nugget Golden Nugget New Jersey Natural Gas New Jersey Natural Gas New Jersey Natural Gas 12/83 3/87 2/89 1/91 8/91 Atlantic Electric Atlantic Electric New Jersey Natural Gas New Jersey Natural Gas New Jersey Natural Gas B.P.U. 832-154 B.P.U. No. 837-658 B.P.U. GR89030335J B.P.U. GR90080786J B.P.U. GR91081393J New Jersey Natural Gas South Jersey Gas 4/93 4/94 New Jersey Natural Gas South Jersey Gas New Jersey Utilities Association Morris Energy Group New Jersey American Water Co. 9/96 11/09 4/10 Commission Investigation Morris Energy Group New Jersey American Water Co. B.P.U. GR93040114J BRC Dock No. GR080334 BPU AX96070530 BPU GR 09050422 BPU WR 1040260 Repsol Energy Canada Ltd New Brunswick Energy and Utilities Board Atlantic Wallboard/JD Irving Co Atlantic Wallboard/Flakeboard Maritimes and Northeast Pipeline NH Public Utilities Commission Bus & Industry Association Bus & Industry Association Eastern Utilities Associates EnergyNorth Natural Gas EnergyNorth Natural Gas 09/09, 6/10, 7/10 7/10 CONCENTRIC ENERGY ADVISORS, INC. Rate Setting for EGNB PAGE 10 Line Extension Policies Line Extension Policies Cost Alloc./Rate Design Cost Alloc./Rate Design Rate Design; Weather Norm. Clause Cost Alloc./Rate Design Revised levelized gas adjustment PBOP Cost Recovery Discriminatory Rates Tariff Rates and Revisions Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR DATE CASE/APPLICANT DOCKET NO. SUBJECT New Mexico Public Service Commission Gas Company of New Mexico 11/83 Public Service Co. of New Mexico Docket No. 1835 Cost Alloc./Rate Design New York Public Service Commission Iroquois Gas. Transmission 12/86 Case No. 70363 Gas Markets Brooklyn Union Gas Company 8/95 Iroquois Gas Transmission System Brooklyn Union Gas Company Case No. 95-6-0761 Central Hudson, ConEdison and Niagara Mohawk 9/00 Central Hudson, ConEdison and Niagara Mohawk Panel on Industry Directions Section 70 Central Hudson, New York State Electric & Gas, Rochester Gas & Electric 5/01 Rochester Gas & Electric Rochester Gas & Electric 12/03 01/04 Joint Petition of NiMo, NYSEG, RG&E, Central Hudson, Constellation and Nine Mile Point Rochester Gas & Electric Rochester Gas & Electric Rochester Gas and Electric and NY State Electric & Gas Corp 2/10 Rochester Gas & Electric NY State Electric & Gas Corp Oklahoma Corporation Commission Oklahoma Natural Gas Company 6/98 Oklahoma Gas & Electric Company 9/05 Oklahoma Gas & Electric Company 03/08 Oklahoma Natural Gas Company Oklahoma Gas & Electric Company Oklahoma Gas & Electric Company CONCENTRIC ENERGY ADVISORS, INC. Case No. 96-E-0909 Case No. 96-E-0897 Case No. 94-E-0098 Case No. 94-E-0099 Case No. 01-E-0011 Section 70, Rebuttal Testimony Case No. 03-E-1231 Case No. 03-E-0765 Case No. 02-E-0198 Case No. 03-E-0766 Case No. 09-E-0715 Case No. 09-E-0716 Case No. 09-E-0717 Case No. 09-E-0718 Sale of Nuclear Plant Sale of Nuclear Plant; Ratemaking Treatment of Sale Depreciation policy Case PUD No. 980000177 Cause No. PUD 200500151 Cause No. PUD 200800086 Evaluate their use of storage PAGE 11 Prudence of McLain Acquisition Acquisition of Redbud generating facility Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR DATE CASE/APPLICANT DOCKET NO. SUBJECT Ontario Energy Board Market Hub Partners Canada, L.P. 5/06 Natural Gas Electric Interface Roundtable File No. EB-2005-0551 Market-based Rates For Storage Pennsylvania Public Utility Commission ATOC 4/95 Equitrans Tariff Changes ATOC 3/96 Equitrans Docket No. R00943272 Docket No. P00940886 Rhode Island Public Utilities Commission Newport Electric South County Gas New England Energy Group Providence Gas 7/81 9/82 7/86 8/88 Newport Electric South County Gas Providence Gas Company Providence Gas Company Docket No. 1599 Docket No. 1671 Docket No. 1844 Docket No. 1914 1/01 Providence Gas Company and The Valley Gas Company New England Gas Company Docket No. 1673 and 1736 Docket No. 3459 Rate Attrition Cost of Capital Cost Alloc./Rate Design Load Forecast., Least-Cost Planning Gas Cost Mitigation Strategy Cost of Capital Docket No. 9300 Cost of Capital, CWIP Gas Purchasing Practices Providence Gas Company and The Valley Gas Company The New England Gas Company Texas Public Utility Commission Southwestern Electric P.U.C. General Counsel 5/83 11/90 Oncor Electric Delivery Company 8/07 Oncor Electric Delivery Company 6/08 3/03 Southwestern Electric Texas Utilities Electric Company Oncor Electric Delivery Company Oncor Electric Delivery Company CONCENTRIC ENERGY ADVISORS, INC. Docket No. 34040 Docket No.35717 PAGE 12 Rate Service - Direct Rate Filing Package; Regulatory Policy, Rate of Return, Return of Capital and Consolidated Tax Adjustment Rate Filing Exhibit___(JJR-1), Attachment A Expert Testimony of John J. Reed SPONSOR DATE CASE/APPLICANT DOCKET NO. SUBJECT Docket No. 35665 Competitive Renewable Energy Zone Docket No. 38339 Cost of Service Rate Adjustment Oncor Electric Delivery Company 10/08 CenterPoint Energy 6/10 10/10 Oncor, TCC, TNC, ETT, LCRA TSC, Sharyland, STEC, TNMP CenterPoint Energy/Houston Electric 5/85 8/10 Southern Union Gas Company Atmos Pipeline Texas G.U.D. 1891 GUD 10000 Cost of Service Ratemaking Policy 1/88 4/88 7/90 9/90 8/90 12/07 Mountain Fuel Supply Company Utah P&L/Pacific P&L Mountain Fuel Supply Utah Power & Light Utah Power & Light Questar Gas Company Case No. 86-057-07 Case No. 87-035-27 Case No. 89-057-15 Case No. 89-035-06 Case No. 90-035-06 Docket No. 07-057-13 Cost Alloc./Rate Design Merger & Acquisition Gas Transportation Rates Energy Balancing Account Electric Service Priorities Benchmarking in support of ROE Texas Railroad Commission Southern Union Gas AtmosPipeline Texas Utah Public Service Commission AMAX Magnesium AMAX Magnesium Utah Industrial Group AMAX Magnesium AMAX Magnesium Questar Gas Company Vermont Public Service Board Green Mountain Power Green Mountain Power Green Mountain Power Green Mountain Power Wisconsin Public Service Commission WEC & WICOR 8/82 12/97 7/98 9/00 Green Mountain Power Green Mountain Power Green Mountain Power Green Mountain Power Docket No. 4570 Docket No. 5983 Docket No. 6107 Docket No. 6107 Rate Attrition Tariff Filing Direct Testimony Rebuttal Testimony 11/99 WEC Approval to Acquire the Stock of WICOR Wisconsin Electric Power Company 1/07 Wisconsin Electric Power Co. Wisconsin Electric Power Company 10/09 Wisconsin Electric Power Co. Docket No. 9401-YO100 Docket No. 9402-YO101 Docket No. 6630-EI113 Docket No. 6630-CE302 CONCENTRIC ENERGY ADVISORS, INC. PAGE 13 Sale of Nuclear Plant CPCN Application ATTACHMENT A EXPERT TESTIMONY OF JOHN J. REED SPONSOR DATE CASE/APPLICANT American Arbitration Association Michael Polsky 3/91 M. Polsky vs. Indeck Energy ProGas Limited 7/92 Attala Generating Company 12/03 ProGas Limited v. Texas Eastern Attala Generating Co v. Attala Energy Co. Nevada Power Company 4/08 DOCKET NO. SUBJECT Arbitration Panel Corporate Valuation, Damages Gas Contract Arbitration Case No. 16-Y-19800228-03 Power Project Valuation; Breach of Contract; Damages Power Purchase Agreement C.A. No. 4452 Damages Quantification Case No. 00CV129-A Partnership Fiduciary Duties C.A. No. 1669-N Bond Indenture Covenants Docket No. 97 CH 07291 Breach of Contract; Power Plant Valuation 2001/2002 Arbitration Gas Price Arbitration 2002/2003 Arbitration Gas Price Arbitration 2003/2004 Arbitration Gas Price Arbitration Nevada Power v. Nevada Cogeneration Assoc. #2 Commonwealth of Massachusetts, Suffolk Superior Court John Hancock 1/84 Trinity Church v. John Hancock State of Colorado District Court, County of Garfield Questar Corporation, et al 11/00 Questar Corporation, et al. State of Delaware, Court of Chancery, New Castle County Wilmington Trust Company 11/05 Calpine Corporation vs. Bank Of New York and Wilmington Trust Company Illinois Appellate Court, Fifth Division Norweb, plc 8/02 Indeck No. America v. Norweb Independent Arbitration Panel Alberta Northeast Gas Limited 2/98 ProGas Ltd., Canadian Forest Oil Ltd., AEC Oil & Gas Ocean State Power 9/02 Ocean State Power vs. ProGas Ltd. Ocean State Power 2/03 Ocean State Power vs. ProGas Ltd. Ocean State Power 6/04 Ocean State Power vs. ProGas Ltd. Shell Canada Limited 7/05 Shell Canada Limited and Nova Scotia Power Inc. CONCENTRIC ENERGY ADVISORS, INC. Gas Contract Price Arbitration PAGE 14 ATTACHMENT A EXPERT TESTIMONY OF JOHN J. REED SPONSOR DATE International Court of Arbitration Wisconsin Gas Company, Inc. CASE/APPLICANT DOCKET NO. SUBJECT Wisconsin Gas Co. vs. PanAlberta Minnegasco vs. Pan-Alberta Case No. 9322/CK Contract Arbitration Case No. 9357/CK Contract Arbitration Utilicorp vs. Pan-Alberta IES vs. Pan-Alberta Case No. 9373/CK Case No. 9374/CK Contract Arbitration Contract Arbitration IMO Industries Inc. vs. Transamerica Corp., et. al. Docket No. L-2140-03 Breach-Related Damages, Enterprise Value Steel Los II, LP & Associated Brook, Corp v. Power Authority of State of NY Index No. 5662/05 Property seizure 5/07 Cargill Gas Marketing Ltd. vs. Alberta Northeast Gas Limited Action No. 050103291 Gas Contracting Practices 5/87 Laroche vs. Newport Least-Cost Planning 5/85 State of Texas vs. Western Gas Case No. 14,843 Interstate Co. Cost of Service 1/07 USA Power & Spring Canyon Energy vs. PacifiCorp. et. al. Civil No. 050903412 Breach-Related Damages EUA Power Corporation Case No. BK-9110525-JEY Pre-Petition Solvency Ponderosa Pine Energy Partners, Ltd. Case No. 05-21444 Forward Contract Bankruptcy Treatment 2/97 Minnegasco, A Division of NorAm Energy 3/97 Corp. Utilicorp United Inc. 4/97 IES Utilities 97 State of New Jersey, Mercer County Superior Court Transamerica Corp., et. al. 7/07 State of New York, Nassau County Supreme Court Steel Los III, LP 6/08 Province of Alberta, Court of Queen’s Bench Alberta Northeast Gas Limited State of Rhode Island, Providence City Court Aquidneck Energy State of Texas Hutchinson County Court Western Gas Interstate State of Utah Third District Court PacifiCorp & Holme, Roberts & Owen, LLP U.S. Bankruptcy Court, District of New Hampshire EUA Power Corporation 7/92 U.S. Bankruptcy Court, District Of New Jersey Ponderosa Pine Energy Partners, Ltd. 7/05 U.S. Bankruptcy Court, No. District of New York CONCENTRIC ENERGY ADVISORS, INC. PAGE 15 ATTACHMENT A EXPERT TESTIMONY OF JOHN J. REED SPONSOR DATE Cayuga Energy, NYSEG Solutions, The Energy Network CASE/APPLICANT DOCKET NO. SUBJECT Cayuga Energy, NYSEG Solutions, The Energy Network Case No. 06-60073-6sdg Going concern Enron Energy Mktg. v. Johns Manville; Enron No. America v. Johns Manville Case No. 01-16034 (AJG) Breach of Contract; Damages Mirant Corporation, et al. v. SMECO Case No. 03-4659; Adversary No. 044073 PPA Interpretation; Leasing Boston Edison v. Department of Energy Consolidated Edison of New York, Inc. and subsidiaries v. United States Consolidated Edison Company v. United States Vermont Yankee Nuclear Power Corporation No. 99-447C No. 03-2626C No. 06-305T Spent Nuclear Fuel Litigation Leasing Litigation No. 04-0033C SNF Expert Report No. 03-2663C SNF Expert Report KN Energy vs. Colorado GasMark, Inc. Case No. 92 CV 1474 Gas Contract Interpretation Norcen Energy Resources Limited Case No. C94-0911 VRW Fraud Claim 12/04 Constellation Power Source, Inc. v. Select Energy, Inc. Civil Action 304 CV 983 (RNC) ISO Structure, Breach of Contract 3/94 NECO Enterprises Inc. vs. Eastern Utilities Associates Civil Action No. 9210355-RCL Seabrook Power Sales 09/09 U.S. Bankruptcy Court, So. District Of New York Johns Manville 5/04 U.S. Bankruptcy Court, Northern District Of Texas Southern Maryland Electric Cooperative, Inc. 11/04 and Potomac Electric Power Company U. S. Court of Federal Claims Boston Edison Company 7/06 Consolidated Edison of New York 08/07 Consolidated Edison Company 2/08 Vermont Yankee Nuclear Power Corporation 6/08 U. S. District Court, Boulder County, Colorado KN Energy, Inc. 3/93 U. S. District Court, Northern California Pacific Gas & Electric Co./PGT PG&E/PGT Pipeline Exp. Project U. S. District Court, District of Connecticut Constellation Power Source, Inc. U. S. District Court, Massachusetts Eastern Utilities Associates & Donald F. Pardus 4/97 CONCENTRIC ENERGY ADVISORS, INC. PAGE 16 ATTACHMENT A EXPERT TESTIMONY OF JOHN J. REED SPONSOR U. S. District Court, Montana KN Energy, Inc. U.S. District Court, New Hampshire Portland Natural Gas Transmission and Maritimes & Northeast Pipeline DATE CASE/APPLICANT DOCKET NO. SUBJECT 9/92 KN Energy v. Freeport MacMoRan Docket No. CV 91-40BLG-RWA Gas Contract Settlement 9/03 Public Service Company of New Hampshire vs. PNGTS and M&NE Pipeline Docket No. C-02-105B Impairment of Electric Transmission Right-ofWay Central Hudson v. Riverkeeper, Inc., Robert H. Boyle, John J. Cronin Central Hudson v. Riverkeeper, Inc., Robert H. Boyle, John J. Cronin Consolidated Edison v. Northeast Utilities Merrill Lynch v. Allegheny Energy, Inc. Civil Action 99 Civ 2536 (BDP) Expert Report, Shortnose Sturgeon Case Civil Action 99 Civ 2536 (BDP) Revised Expert Report, Shortnose Sturgeon Case Case No. 01 Civ. 1893 (JGK) (HP) Civil Action 02 CV 7689 (HB) Industry Standards for Due Diligence Due Diligence, Breach of Contract, Damages VPEM v. Aquila, Inc. Civil Action 304 CV 411 Breach of Contract, Damages CIT Financial vs. ACEC Maine Combustion Eng. vs. Miller Hydro Docket No. 90-0304-B Project Valuation Docket No. 89-0168P Output Modeling; Project Valuation File No. 70-8034 Value of EUA Power Bill 13-284 Utility restructuring U. S. District Court, Southern District of New York Central Hudson Gas & Electric 11/99 Central Hudson Gas & Electric 8/00 Consolidated Edison 3/02 Merrill Lynch & Company 1/05 U. S. District Court, Eastern District of Virginia Aquila, Inc. 1/05 U. S. District Court, Portland Maine ACEC Maine, Inc. et al. 10/91 Combustion Engineering 1/92 U.S. Securities and Exchange Commission Eastern Utilities Association 10/92 EUA Power Corporation Council of the District of Columbia Committee on Consumer and Regulatory Affairs Potomac Electric Power Co. 7/99 Potomac Electric Power Co. CONCENTRIC ENERGY ADVISORS, INC. PAGE 17 Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 1 Page 1 of 7 30 DAY CONSTANT GROWTH DCF - ELECTRIC PROXY GROUP Company American Electric Power Cleco Corp. DPL, Inc. NextEra Energy, Inc. Great Plains Energy Inc. Hawaiian Electric IDACORP, Inc. Pinnacle West Capital Portland General Progress Energy Southern Co. Westar Energy AEP CNL DPL NEE GXP HE IDA PNW POR PGN SO WR [1] [2] [3] Annualized Stock Dividend Dividend Price Yield $1.68 $35.96 4.67% $1.00 $28.87 3.46% $1.21 $25.65 4.72% $2.00 $54.14 3.69% $0.83 $18.78 4.42% $1.24 $23.39 5.30% $1.20 $35.32 3.40% $2.10 $40.57 5.18% $1.04 $20.13 5.17% $2.48 $43.61 5.69% $1.82 $36.90 4.93% $1.24 $23.97 5.17% PROXY GROUP MEAN 4.65% [4] Expected Dividend Yield 4.76% 3.58% 4.87% 3.81% 4.64% 5.56% 3.47% 5.34% 5.32% 5.79% 5.05% 5.39% 4.80% [5] Zacks EPS Growth 4.30% 7.00% NA 6.40% 13.00% 9.80% 4.00% 6.80% 9.60% 4.00% 5.10% 8.00% 7.09% [6] Value Line EPS Growth 3.00% 9.50% 7.00% 5.00% 4.50% 11.50% 5.50% 6.00% 3.00% 3.50% 4.50% 7.50% 5.88% [7] First Call 4.38% 3.00% 5.90% 6.83% 13.00% 7.43% 4.00% 6.50% 5.40% 3.63% 5.07% 9.28% 6.20% [8] Average Growth Rate 3.89% 6.50% 6.45% 6.08% 10.17% 9.58% 4.50% 6.43% 6.00% 3.71% 4.89% 8.26% 6.37% Flotation Adjustment Adjusted Mean DCF Notes [1] Source: Bloomberg [2] Source: Bloomberg. Based on indicated number of days historical average. [3] Equals Col. [1]/Col. [2] [4] Equals (Col. [1] x (1+(0.5 x Col. [8])))/Col. [2] [5] Source: Zacks [6] Source: Value Line [7] Source: First Call [8] Equals Avg (Col. [5], [6], [7]) [9] Equals (Col. [3] x (1 + (0.5 x Minimum (Col. [5], [6], [7])))) + Minimum (Col. [5], [6], [7]) [10] Equals Col. [4] + Col. [8] [11] Equals (Col. [3] x (1 + (0.5 x Maximum (Col. [5], [6], [7])))) + Maximum (Col. [5], [6], [7]) [9] Low DCF 7.74% 6.52% 10.76% 8.79% 9.02% 12.93% 7.47% 11.33% 8.24% 9.29% 9.54% 12.87% 9.54% [10] Mean DCF 8.66% 10.08% 11.32% 9.88% 14.81% 15.13% 7.97% 11.78% 11.32% 9.50% 9.94% 13.65% 11.17% [11] High DCF 9.15% 13.13% 11.88% 10.65% 17.71% 17.11% 8.99% 12.15% 15.02% 9.80% 10.16% 14.69% 12.54% 0.22% 9.76% 0.22% 11.39% 0.22% 12.76% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 1 Page 2 of 7 90 DAY CONSTANT GROWTH DCF - ELECTRIC PROXY GROUP Company American Electric Power Cleco Corp. DPL, Inc. NextEra Energy, Inc. Great Plains Energy Inc. Hawaiian Electric IDACORP, Inc. Pinnacle West Capital Portland General Progress Energy Southern Co. Westar Energy AEP CNL DPL NEE GXP HE IDA PNW POR PGN SO WR [1] [2] [3] Annualized Stock Dividend Dividend Price Yield $1.68 $34.72 4.84% $1.00 $27.90 3.58% $1.21 $25.31 4.78% $2.00 $52.24 3.83% $0.83 $18.04 4.60% $1.24 $23.28 5.33% $1.20 $34.71 3.46% $2.10 $38.52 5.45% $1.04 $19.39 5.36% $2.48 $41.55 5.97% $1.82 $35.25 5.16% $1.24 $23.21 5.34% PROXY GROUP MEAN 4.81% [4] Expected Dividend Yield 4.93% 3.70% 4.94% 3.94% 4.84% 5.58% 3.54% 5.63% 5.53% 6.08% 5.29% 5.56% 4.96% [5] Zacks EPS Growth 4.30% 7.00% NA 6.40% 13.00% 9.80% 4.00% 6.80% 9.60% 4.00% 5.10% 8.00% 7.09% [6] Value Line EPS Growth 3.00% 9.50% 7.00% 5.00% 4.50% 11.50% 5.50% 6.00% 3.00% 3.50% 4.50% 7.50% 5.88% [7] First Call 4.38% 3.00% 5.90% 6.83% 13.00% 7.43% 4.00% 6.50% 5.40% 3.63% 5.07% 9.28% 6.20% [8] Average Growth Rate 3.89% 6.50% 6.45% 6.08% 10.17% 9.58% 4.50% 6.43% 6.00% 3.71% 4.89% 8.26% 6.37% Flotation Adjustment Adjusted Mean DCF Notes [1] Source: Bloomberg [2] Source: Bloomberg. Based on indicated number of days historical average. [3] Equals Col. [1]/Col. [2] [4] Equals (Col. [1] x (1+(0.5 x Col. [8])))/Col. [2] [5] Source: Zacks [6] Source: Value Line [7] Source: First Call [8] Equals Avg (Col. [5], [6], [7]) [9] Equals (Col. [3] x (1 + (0.5 x Minimum (Col. [5], [6], [7])))) + Minimum (Col. [5], [6], [7]) [10] Equals Col. [4] + Col. [8] [11] Equals (Col. [3] x (1 + (0.5 x Maximum (Col. [5], [6], [7])))) + Maximum (Col. [5], [6], [7]) [9] Low DCF 7.91% 6.64% 10.82% 8.92% 9.21% 12.96% 7.53% 11.61% 8.44% 9.57% 9.78% 13.04% 9.70% [10] Mean DCF 8.83% 10.20% 11.39% 10.02% 15.00% 15.16% 8.04% 12.06% 11.53% 9.79% 10.18% 13.82% 11.33% [11] High DCF 9.32% 13.25% 11.95% 10.79% 17.90% 17.13% 9.05% 12.44% 15.22% 10.09% 10.39% 14.87% 12.70% 0.22% 9.93% 0.22% 11.56% 0.22% 12.92% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 1 Page 3 of 7 180 DAY CONSTANT GROWTH DCF - ELECTRIC PROXY GROUP Company American Electric Power Cleco Corp. DPL, Inc. NextEra Energy, Inc. Great Plains Energy Inc. Hawaiian Electric IDACORP, Inc. Pinnacle West Capital Portland General Progress Energy Southern Co. Westar Energy AEP CNL DPL NEE GXP HE IDA PNW POR PGN SO WR [1] [2] [3] Annualized Stock Dividend Dividend Price Yield $1.68 $34.35 4.89% $1.00 $27.17 3.68% $1.21 $26.25 4.61% $2.00 $50.60 3.95% $0.83 $18.23 4.55% $1.24 $22.54 5.50% $1.20 $34.33 3.50% $2.10 $37.79 5.56% $1.04 $19.40 5.36% $2.48 $40.34 6.15% $1.82 $34.21 5.32% $1.24 $22.75 5.45% PROXY GROUP MEAN 4.88% [4] Expected Dividend Yield 4.99% 3.80% 4.76% 4.07% 4.78% 5.77% 3.57% 5.74% 5.52% 6.26% 5.45% 5.67% 5.03% [5] Zacks EPS Growth 4.30% 7.00% NA 6.40% 13.00% 9.80% 4.00% 6.80% 9.60% 4.00% 5.10% 8.00% 7.09% [6] Value Line EPS Growth 3.00% 9.50% 7.00% 5.00% 4.50% 11.50% 5.50% 6.00% 3.00% 3.50% 4.50% 7.50% 5.88% [7] First Call 4.38% 3.00% 5.90% 6.83% 13.00% 7.43% 4.00% 6.50% 5.40% 3.63% 5.07% 9.28% 6.20% [8] Average Growth Rate 3.89% 6.50% 6.45% 6.08% 10.17% 9.58% 4.50% 6.43% 6.00% 3.71% 4.89% 8.26% 6.37% Flotation Adjustment Adjusted Mean DCF Notes [1] Source: Bloomberg [2] Source: Bloomberg. Based on indicated number of days historical average. [3] Equals Col. [1]/Col. [2] [4] Equals (Col. [1] x (1+(0.5 x Col. [8])))/Col. [2] [5] Source: Zacks [6] Source: Value Line [7] Source: First Call [8] Equals Avg (Col. [5], [6], [7]) [9] Equals (Col. [3] x (1 + (0.5 x Minimum (Col. [5], [6], [7])))) + Minimum (Col. [5], [6], [7]) [10] Equals Col. [4] + Col. [8] [11] Equals (Col. [3] x (1 + (0.5 x Maximum (Col. [5], [6], [7])))) + Maximum (Col. [5], [6], [7]) [9] Low DCF 7.96% 6.74% 10.64% 9.05% 9.15% 13.14% 7.57% 11.72% 8.44% 9.75% 9.94% 13.15% 9.77% [10] Mean DCF 8.88% 10.30% 11.21% 10.15% 14.95% 15.34% 8.07% 12.17% 11.52% 9.97% 10.34% 13.93% 11.40% [11] High DCF 9.38% 13.35% 11.77% 10.92% 17.85% 17.32% 9.09% 12.55% 15.22% 10.27% 10.56% 14.98% 12.77% 0.22% 9.99% 0.22% 11.63% 0.22% 12.99% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 1 Page 4 of 7 30 DAY CONSTANT GROWTH DCF - COMBINATION PROXY GROUP Company Alliant Energy Corp. Avista Corp. Black Hills Corp. Center Point Energy Consolidated Edison DTE Energy Co. PG&E Corp SCANA Corp. TECO Energy, Inc. Vectren Corp. Wisconsin Energy LNT AVA BKH CNP ED DTE PCG SCG TE VVC WEC [1] [2] [3] Annualized Stock Dividend Dividend Price Yield $1.58 $35.78 4.42% $1.00 $20.85 4.80% $1.44 $30.54 4.72% $0.78 $15.13 5.15% $2.38 $47.90 4.97% $2.24 $46.66 4.80% $1.82 $46.14 3.94% $1.90 $39.72 4.78% $0.82 $17.07 4.80% $1.36 $24.98 5.44% $1.60 $56.96 2.81% PROXY GROUP MEAN 4.60% [4] Expected Dividend Yield 4.58% 4.93% 4.86% 5.29% 5.06% 4.93% 4.08% 4.88% 4.96% 5.57% 2.94% 4.74% [5] Zacks EPS Growth 5.00% 4.70% 6.00% 6.00% 4.50% 5.00% 6.80% 4.30% 5.30% 5.00% 8.70% 5.57% [6] Value Line EPS Growth 7.00% 8.50% 6.50% 4.50% 2.50% 6.50% 7.00% 3.50% 8.00% 4.50% 9.50% 6.18% [7] First Call 9.90% 4.00% 6.00% 5.70% 4.47% 5.00% 6.88% 4.90% 6.68% 4.85% 9.53% 6.17% [8] Average Growth Rate 7.30% 5.73% 6.17% 5.40% 3.82% 5.50% 6.89% 4.23% 6.66% 4.78% 9.24% 5.98% Flotation Adjustment Adjusted Mean DCF Notes [1] Source: Bloomberg [2] Source: Bloomberg. Based on indicated number of days historical average. [3] Equals Col. [1]/Col. [2] [4] Equals (Col. [1] x (1+(0.5 x Col. [8])))/Col. [2] [5] Source: Zacks [6] Source: Value Line [7] Source: First Call [8] Equals Avg (Col. [5], [6], [7]) [9] Equals (Col. [3] x (1 + (0.5 x Minimum (Col. [5], [6], [7])))) + Minimum (Col. [5], [6], [7]) [10] Equals Col. [4] + Col. [8] [11] Equals (Col. [3] x (1 + (0.5 x Maximum (Col. [5], [6], [7])))) + Maximum (Col. [5], [6], [7]) [9] Low DCF 9.53% 8.89% 10.86% 9.77% 7.53% 9.92% 10.88% 8.37% 10.23% 10.07% 11.63% 9.79% [10] Mean DCF 11.88% 10.67% 11.03% 10.69% 8.89% 10.43% 10.97% 9.12% 11.62% 10.36% 12.18% 10.71% [11] High DCF 14.54% 13.50% 11.37% 11.31% 9.58% 11.46% 11.08% 9.80% 13.00% 10.58% 12.47% 11.70% 0.22% 10.01% 0.22% 10.93% 0.22% 11.92% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 1 Page 5 of 7 90 DAY CONSTANT GROWTH DCF - COMBINATION PROXY GROUP Company Alliant Energy Corp. Avista Corp. Black Hills Corp. Center Point Energy Consolidated Edison DTE Energy Co. PG&E Corp SCANA Corp. TECO Energy, Inc. Vectren Corp. Wisconsin Energy LNT AVA BKH CNP ED DTE PCG SCG TE VVC WEC [1] [2] [3] Annualized Stock Dividend Dividend Price Yield $1.58 $34.26 4.61% $1.00 $20.47 4.89% $1.44 $30.24 4.76% $0.78 $14.33 5.44% $2.38 $45.91 5.18% $2.24 $46.68 4.80% $1.82 $44.06 4.13% $1.90 $38.25 4.97% $0.82 $16.40 5.00% $1.36 $24.39 5.58% $1.60 $53.89 2.97% PROXY GROUP MEAN 4.76% [4] Expected Dividend Yield 4.78% 5.03% 4.91% 5.59% 5.28% 4.93% 4.27% 5.07% 5.17% 5.71% 3.11% 4.90% [5] Zacks EPS Growth 5.00% 4.70% 6.00% 6.00% 4.50% 5.00% 6.80% 4.30% 5.30% 5.00% 8.70% 5.57% [6] Value Line EPS Growth 7.00% 8.50% 6.50% 4.50% 2.50% 6.50% 7.00% 3.50% 8.00% 4.50% 9.50% 6.18% [7] First Call 9.90% 4.00% 6.00% 5.70% 4.47% 5.00% 6.88% 4.90% 6.68% 4.85% 9.53% 6.17% [8] Average Growth Rate 7.30% 5.73% 6.17% 5.40% 3.82% 5.50% 6.89% 4.23% 6.66% 4.78% 9.24% 5.98% Flotation Adjustment Adjusted Mean DCF Notes [1] Source: Bloomberg [2] Source: Bloomberg. Based on indicated number of days historical average. [3] Equals Col. [1]/Col. [2] [4] Equals (Col. [1] x (1+(0.5 x Col. [8])))/Col. [2] [5] Source: Zacks [6] Source: Value Line [7] Source: First Call [8] Equals Avg (Col. [5], [6], [7]) [9] Equals (Col. [3] x (1 + (0.5 x Minimum (Col. [5], [6], [7])))) + Minimum (Col. [5], [6], [7]) [10] Equals Col. [4] + Col. [8] [11] Equals (Col. [3] x (1 + (0.5 x Maximum (Col. [5], [6], [7])))) + Maximum (Col. [5], [6], [7]) [9] Low DCF 9.73% 8.98% 10.91% 10.07% 7.75% 9.92% 11.07% 8.55% 10.43% 10.20% 11.80% 9.95% [10] Mean DCF 12.08% 10.76% 11.08% 10.99% 9.11% 10.43% 11.17% 9.31% 11.83% 10.49% 12.35% 10.87% [11] High DCF 14.74% 13.59% 11.42% 11.61% 9.80% 11.45% 11.28% 9.99% 13.20% 10.72% 12.64% 11.86% 0.22% 10.17% 0.22% 11.09% 0.22% 12.08% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 1 Page 6 of 7 180 DAY CONSTANT GROWTH DCF - COMBINATION PROXY GROUP Company Alliant Energy Corp. Avista Corp. Black Hills Corp. Center Point Energy Consolidated Edison DTE Energy Co. PG&E Corp SCANA Corp. TECO Energy, Inc. Vectren Corp. Wisconsin Energy LNT AVA BKH CNP ED DTE PCG SCG TE VVC WEC [1] [2] [3] Annualized Stock Dividend Dividend Price Yield $1.58 $33.61 4.70% $1.00 $20.70 4.83% $1.44 $29.80 4.83% $0.78 $14.27 5.47% $2.38 $45.05 5.28% $2.24 $45.87 4.88% $1.82 $43.49 4.18% $1.90 $37.74 5.03% $0.82 $16.16 5.08% $1.36 $24.21 5.62% $1.60 $52.01 3.08% PROXY GROUP MEAN 4.82% [4] Expected Dividend Yield 4.87% 4.97% 4.98% 5.61% 5.38% 5.02% 4.33% 5.14% 5.24% 5.75% 3.22% 4.96% [5] Zacks EPS Growth 5.00% 4.70% 6.00% 6.00% 4.50% 5.00% 6.80% 4.30% 5.30% 5.00% 8.70% 5.57% [6] Value Line EPS Growth 7.00% 8.50% 6.50% 4.50% 2.50% 6.50% 7.00% 3.50% 8.00% 4.50% 9.50% 6.18% [7] First Call 9.90% 4.00% 6.00% 5.70% 4.47% 5.00% 6.88% 4.90% 6.68% 4.85% 9.53% 6.17% [8] Average Growth Rate 7.30% 5.73% 6.17% 5.40% 3.82% 5.50% 6.89% 4.23% 6.66% 4.78% 9.24% 5.98% Flotation Adjustment Adjusted Mean DCF Notes [1] Source: Bloomberg [2] Source: Bloomberg. Based on indicated number of days historical average. [3] Equals Col. [1]/Col. [2] [4] Equals (Col. [1] x (1+(0.5 x Col. [8])))/Col. [2] [5] Source: Zacks [6] Source: Value Line [7] Source: First Call [8] Equals Avg (Col. [5], [6], [7]) [9] Equals (Col. [3] x (1 + (0.5 x Minimum (Col. [5], [6], [7])))) + Minimum (Col. [5], [6], [7]) [10] Equals Col. [4] + Col. [8] [11] Equals (Col. [3] x (1 + (0.5 x Maximum (Col. [5], [6], [7])))) + Maximum (Col. [5], [6], [7]) [9] Low DCF 9.82% 8.93% 10.98% 10.09% 7.85% 10.01% 11.13% 8.62% 10.51% 10.24% 11.91% 10.01% [10] Mean DCF 12.17% 10.70% 11.15% 11.01% 9.21% 10.52% 11.22% 9.37% 11.90% 10.53% 12.46% 10.93% [11] High DCF 14.83% 13.54% 11.49% 11.63% 9.90% 11.54% 11.33% 10.06% 13.28% 10.76% 12.75% 11.92% 0.22% 10.23% 0.22% 11.15% 0.22% 12.14% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 1 Page 7 of 7 SUMMARY OF DCF RESULTS Mean Results (not including flotation cost) 30 Day Average Electric Proxy Group Combination Proxy Group 60% Electric 40% Combination Company Mean Low 9.54% 9.79% 9.64% Mean 11.17% 10.71% 10.99% Mean High 12.54% 11.70% 12.20% 90 Day Average Electric Proxy Group Combination Proxy Group 60% Electric 40% Combination Company 9.70% 9.95% 9.80% 11.33% 10.87% 11.15% 12.70% 11.86% 12.36% 180 Day Average Electric Proxy Group Combination Proxy Group 60% Electric 40% Combination Company 9.77% 10.01% 9.87% 11.40% 10.93% 11.21% 12.77% 11.92% 12.43% Flotation Cost (not reflected in above results) Electric Proxy Group Combination Proxy Group 0.22% 0.22% Mean Results (including flotation cost) 30 Day Average Electric Proxy Group Combination Proxy Group 60% Electric 40% Combination Company Mean Low 9.76% 10.01% 9.86% Mean 11.39% 10.93% 11.21% Mean High 12.76% 11.92% 12.42% 90 Day Average Electric Proxy Group Combination Proxy Group 60% Electric 40% Combination Company 9.93% 10.17% 10.02% 11.56% 11.09% 11.37% 12.92% 12.08% 12.58% 180 Day Average Electric Proxy Group Combination Proxy Group 60% Electric 40% Combination Company 9.99% 10.23% 10.09% 11.63% 11.15% 11.44% 12.99% 12.14% 12.65% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 2 Page 1 of 3 FLOTATION COST ADJUSTMENT Flotation Costs from Inception to Date Date 11/16/1949 6/4/1952 4/14/1954 2/29/1956 7/22/1959 7/28/1965 1/22/1969 10/21/1970 7/26/1972 10/10/1973 11/20/1974 8/14/1975 6/3/1976 5/31/1993 9/23/1997 9/29/1997 2/25/2002 9/9/2008 8/10/2010 Shares Issued 1,584,238 1,108,966 1,219,856 670,920 952,033 772,008 1,080,811 1,729,298 1,902,228 2,092,451 2,300,000 1,750,000 2,000,000 3,041,955 4,500,000 400,000 20,000,000 15,000,000 21,850,000 Market Price Offering Price $10.750 $10.500 $15.250 $17.825 $23.375 $35.250 $29.000 $23.125 $25.000 $25.825 $17.625 $23.000 $24.000 $44.125 $49.938 $50.500 $22.950 $20.860 $22.100 Weighted Average Flotation Costs $10.250 $10.500 $14.000 $16.750 $22.000 $33.000 $27.000 $21.500 $23.500 $24.500 $17.500 $23.000 $24.000 $43.625 $49.563 $49.563 $22.500 $20.200 $21.500 Underwriting Discount $0.124 $0.098 $0.060 $0.050 $0.069 $0.092 $0.119 $0.175 $0.129 $0.128 $0.910 $0.740 $0.720 $1.200 $1.230 $1.230 $0.730 $0.100 $0.065 Offering Expense $0.137 $0.162 $0.124 $0.221 $0.191 $0.225 $0.187 $0.149 $0.166 $0.153 $0.069 $0.077 $0.064 $0.048 $0.133 $0.133 $0.015 $0.005 $0.027 Net Proceeds $9.989 $10.240 $13.816 $16.479 $21.740 $32.683 $26.694 $21.176 $23.205 $24.219 $16.521 $22.183 $23.216 $42.377 $48.200 $48.200 $21.755 $20.095 $21.408 Total Flotation Costs $1,205,605 $288,331 $1,749,274 $903,058 $1,556,574 $1,981,745 $2,492,350 $3,370,402 $3,414,499 $3,360,476 $2,539,200 $1,429,750 $1,568,000 $5,317,337 $7,821,000 $920,000 $23,900,000 $11,475,000 $15,119,325 $90,411,926 Gross Equity Issue before Costs Net Proceeds $17,030,559 $11,644,143 $18,602,804 $11,959,149 $22,253,771 $27,213,282 $31,343,519 $39,990,016 $47,555,700 $54,037,547 $40,537,500 $40,250,000 $48,000,000 $134,226,264 $224,721,000 $20,200,000 $459,000,000 $312,900,000 $482,885,000 $2,044,350,255 $15,824,953 $11,355,812 $16,853,530 $11,056,091 $20,697,197 $25,231,537 $28,851,169 $36,619,614 $44,141,201 $50,677,071 $37,998,300 $38,820,250 $46,432,000 $128,908,927 $216,900,000 $19,280,000 $435,100,000 $301,425,000 $467,765,675 $1,953,938,328 Flotation Cost Percentage 7.079% 2.476% 9.403% 7.551% 6.995% 7.282% 7.952% 8.428% 7.180% 6.219% 6.264% 3.552% 3.267% 3.961% 3.480% 4.554% 5.207% 3.667% 3.131% 4.423% The flotation adjustment is derived by dividing the dividend yield by 1-F (where F = flotation costs expressed in percentage terms), or by 0.9518, and adding that result to the constant growth rate to determine the cost of equity. Using the formulas shown previously in my testimony, the Constant Growth DCF calculation is modified as follows to accommodate an adjustment for flotation costs: k= D × (1 + .5 g ) +g P × (1 − F ) Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 2 Page 2 of 3 FLOTATION COST ADJUSTMENT Flotation Cost Adjustment - Electric Proxy Group [1] American Electric Power Cleco Corp. DPL, Inc. NextEra Energy, Inc. Great Plains Energy Inc. Hawaiian Electric IDACORP, Inc. Pinnacle West Capital Portland General Progress Energy Southern Co. Westar Energy MEAN AEP CNL DPL NEE GXP HE IDA PNW POR PGN SO WR Stock Price $35.96 $28.87 $25.65 $54.14 $18.78 $23.39 $35.32 $40.57 $20.13 $43.61 $36.90 $23.97 [2] [3] [4] Annualized Expected Dividend Dividend Yield Dividend Yield $1.68 4.67% 4.76% $1.00 3.46% 3.58% $1.21 4.72% 4.87% $2.00 3.69% 3.81% $0.83 4.42% 4.64% $1.24 5.30% 5.56% $1.20 3.40% 3.47% $2.10 5.18% 5.34% $1.04 5.17% 5.32% $2.48 5.69% 5.79% $1.82 4.93% 5.05% $1.24 5.17% 5.39% 4.65% 4.80% MEAN UNADJUSTED CONSTANT GROWTH DCF MEAN DIFFERENCE (FLOTATION COST ADJUSTMENT) [1] Source: Bloomberg, 30 day average price [2] Bloomberg [3] = [1] / [2] or [Annualized Dividend] / [Price] [4] = [3] x [1+ .5g] or [Dividend Yield] x [1 + (.5 x average growth rate)] [5] = [Expected Dividend Yield] / [1- Flotation Cost Percentage] [6] Source: Zacks [7] Source Value Line [8] Source: First Call [9] Average of columns [6], [7], [8] [10] = (Column [4] + Column [9] [11] = (Column [5] + Column [9] [12] Equals Mean Adjusted DCF, Column [11] - Mean Unadjusted DCF, Column [10] [5] [6] [7] [8] [9] Expected Dividend Yield Proj EPS Adjusted for Growth Proj EPS Growth Proj EPS Growth Average Growth Flotation Costs (Zacks) (V.L.) (First Call) Estimate 4.98% 4.30% 3.00% 4.38% 3.89% 3.74% 7.00% 9.50% 3.00% 6.50% 5.10% NA 7.00% 5.90% 6.45% 3.98% 6.40% 5.00% 6.83% 6.08% 4.86% 13.00% 4.50% 13.00% 10.17% 5.81% 9.80% 11.50% 7.43% 9.58% 3.63% 4.00% 5.50% 4.00% 4.50% 5.59% 6.80% 6.00% 6.50% 6.43% 5.57% 9.60% 3.00% 5.40% 6.00% 6.06% 4.00% 3.50% 3.63% 3.71% 5.29% 5.10% 4.50% 5.07% 4.89% 5.64% 8.00% 7.50% 9.28% 8.26% 7.09% 5.88% 6.20% [10] DCF k(e) 8.66% 10.08% 11.32% 9.88% 14.81% 15.13% 7.97% 11.78% 11.32% 9.50% 9.94% 13.65% 11.17% [12] [11] Flotation Adjusted DCF k(e) 8.88% 10.24% 11.55% 10.06% 15.03% 15.39% 8.13% 12.02% 11.57% 9.77% 10.18% 13.90% 11.39% 11.39% 11.17% 0.22% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 2 Page 3 of 3 FLOTATION COST ADJUSTMENT Flotation Cost Adjustment - Combination Proxy Group [1] Alliant Energy Corp. Avista Corp. Black Hills Corp. Center Point Energy Consolidated Edison DTE Energy Co. PG&E Corp SCANA Corp. TECO Energy, Inc. Vectren Corp. Wisconsin Energy MEAN LNT AVA BKH CNP ED DTE PCG SCG TE VVC WEC Stock Price $35.78 $20.85 $30.54 $15.13 $47.90 $46.66 $46.14 $39.72 $17.07 $24.98 $56.96 [2] [3] [4] Annualized Expected Dividend Dividend Yield Dividend Yield $1.58 4.42% 4.58% $1.00 4.80% 4.93% $1.44 4.72% 4.86% $0.78 5.15% 5.29% $2.38 4.97% 5.06% $2.24 4.80% 4.93% $1.82 3.94% 4.08% $1.90 4.78% 4.88% $0.82 4.80% 4.96% $1.36 5.44% 5.57% $1.60 2.81% 2.94% 4.60% 4.74% MEAN UNADJUSTED CONSTANT GROWTH DCF MEAN DIFFERENCE (FLOTATION COST ADJUSTMENT) [1] Source: Bloomberg, 30 day average price [2] Bloomberg [3] = [1] / [2] or [Annualized Dividend] / [Price] [4] = [3] x [1+ .5g] or [Dividend Yield] x [1 + (.5 x average growth rate)] [5] = [Expected Dividend Yield] / [1- Flotation Cost Percentage] [6] Source: Zacks [7] Source Value Line [8] Source: First Call [9] Average of columns [6], [7], [8] [10] = (Column [4] + Column [9] [11] = (Column [5] + Column [9] [12] Equals Mean Adjusted DCF, Column [11] - Mean Unadjusted DCF, Column [10] [5] [6] [7] [8] [9] Expected Dividend Yield Proj EPS Adjusted for Growth Proj EPS Growth Proj EPS Growth Average Growth Flotation Costs (Zacks) (V.L.) (First Call) Estimate 4.79% 5.00% 7.00% 9.90% 7.30% 5.16% 4.70% 8.50% 4.00% 5.73% 5.09% 6.00% 6.50% 6.00% 6.17% 5.54% 6.00% 4.50% 5.70% 5.40% 5.30% 4.50% 2.50% 4.47% 3.82% 5.16% 5.00% 6.50% 5.00% 5.50% 4.27% 6.80% 7.00% 6.88% 6.89% 5.11% 4.30% 3.50% 4.90% 4.23% 5.19% 5.30% 8.00% 6.68% 6.66% 5.83% 5.00% 4.50% 4.85% 4.78% 3.08% 8.70% 9.50% 9.53% 9.24% 5.57% 6.18% 6.17% [10] DCF k(e) 11.88% 10.67% 11.03% 10.69% 8.89% 10.43% 10.97% 9.12% 11.62% 10.36% 12.18% 10.71% [12] [11] Flotation Adjusted DCF k(e) 12.09% 10.90% 11.25% 10.94% 9.12% 10.66% 11.16% 9.34% 11.85% 10.62% 12.32% 10.93% 10.93% 10.71% 0.22% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 3 Page 1 of 6 ELECTRIC PROXY GROUP - CAPM 30-DAY AVERAGE 30 YEAR TREASURY YIELD [1] [2] Adjusted Betas Company American Electric Power Cleco Corp. DPL, Inc. NextEra Energy, Inc. Great Plains Energy Inc. Hawaiian Electric IDACORP, Inc. Pinnacle West Capital Portland General Progress Energy Southern Co. Westar Energy AEP CNL DPL NEE GXP HE IDA PNW POR PGN SO WR MEAN Value Line Bloomberg 0.70 0.83 0.65 0.72 0.60 0.70 0.75 0.79 0.75 0.92 0.70 0.80 0.70 0.75 0.75 0.85 0.75 0.75 0.60 0.69 0.55 0.56 0.75 0.81 0.69 0.76 [3] [4] [5] Market 30-Yr Risk Treasury Mean Premium Yield Beta 3.72% 6.70% 0.76 3.72% 6.70% 0.69 3.72% 6.70% 0.65 3.72% 6.70% 0.77 3.72% 6.70% 0.83 3.72% 6.70% 0.75 3.72% 6.70% 0.72 3.72% 6.70% 0.80 3.72% 6.70% 0.75 3.72% 6.70% 0.64 3.72% 6.70% 0.56 3.72% 6.70% 0.78 0.73 Notes [1] Source: Bloomberg [2] Source: Bloomberg [3] Equals mean of Cols. [1], [2] [4] Source: Bloomberg. Based on indicated number of days historical average. [5] Source: Ibboston Associates [6] Equals Col [4] + (Min (Cols [1], [2]) x Col [5]) [7] Equals Col. [4] +(Col. [3] x Col [5]) [8] Equals Col [4] + (Max (Cols [1], [2]) x Col [5]) [6] Low CAPM 8.41% 8.08% 7.74% 8.75% 8.75% 8.41% 8.41% 8.75% 8.75% 7.74% 7.41% 8.75% 8.33% [7] CAPM k(e) 8.85% 8.32% 8.09% 8.87% 9.32% 8.77% 8.56% 9.09% 8.75% 8.03% 7.46% 8.96% 8.59% [8] High CAPM 9.28% 8.57% 8.44% 9.00% 9.88% 9.12% 8.72% 9.42% 8.75% 8.32% 7.50% 9.17% 8.85% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 3 Page 2 of 6 ELECTRIC PROXY GROUP - CAPM 90-DAY AVERAGE 30 YEAR TREASURY YIELD [1] [2] Adjusted Betas Company American Electric Power Cleco Corp. DPL, Inc. NextEra Energy, Inc. Great Plains Energy Inc. Hawaiian Electric IDACORP, Inc. Pinnacle West Capital Portland General Progress Energy Southern Co. Westar Energy AEP CNL DPL NEE GXP HE IDA PNW POR PGN SO WR MEAN Value Line Bloomberg 0.70 0.83 0.65 0.72 0.60 0.70 0.75 0.79 0.75 0.92 0.70 0.80 0.70 0.75 0.75 0.85 0.75 0.75 0.60 0.69 0.55 0.56 0.75 0.81 0.69 0.76 [3] [4] [5] Market 30-Yr Risk Treasury Mean Premium Yield Beta 3.94% 6.70% 0.76 3.94% 6.70% 0.69 3.94% 6.70% 0.65 3.94% 6.70% 0.77 3.94% 6.70% 0.83 3.94% 6.70% 0.75 3.94% 6.70% 0.72 3.94% 6.70% 0.80 3.94% 6.70% 0.75 3.94% 6.70% 0.64 3.94% 6.70% 0.56 3.94% 6.70% 0.78 0.73 Notes [1] Source: Bloomberg [2] Source: Bloomberg [3] Equals mean of Cols. [1], [2] [4] Source: Bloomberg. Based on indicated number of days historical average. [5] Source: Ibboston Associates [6] Equals Col [4] + (Min (Cols [1], [2]) x Col [5]) [7] Equals Col. [4] +(Col. [3] x Col [5]) [8] Equals Col [4] + (Max (Cols [1], [2]) x Col [5]) [6] Low CAPM 8.63% 8.29% 7.96% 8.96% 8.96% 8.63% 8.63% 8.96% 8.96% 7.96% 7.62% 8.96% 8.54% [7] CAPM k(e) 9.06% 8.54% 8.30% 9.09% 9.53% 8.98% 8.78% 9.30% 8.96% 8.24% 7.67% 9.17% 8.80% [8] High CAPM 9.49% 8.78% 8.65% 9.21% 10.09% 9.33% 8.93% 9.63% 8.96% 8.53% 7.71% 9.38% 9.06% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 3 Page 3 of 6 ELECTRIC PROXY GROUP - CAPM 180-DAY AVERAGE 30 YEAR TREASURY YIELD [1] [2] Adjusted Betas Company American Electric Power Cleco Corp. DPL, Inc. NextEra Energy, Inc. Great Plains Energy Inc. Hawaiian Electric IDACORP, Inc. Pinnacle West Capital Portland General Progress Energy Southern Co. Westar Energy AEP CNL DPL NEE GXP HE IDA PNW POR PGN SO WR MEAN Value Line Bloomberg 0.70 0.83 0.65 0.72 0.60 0.70 0.75 0.79 0.75 0.92 0.70 0.80 0.70 0.75 0.75 0.85 0.75 0.75 0.60 0.69 0.55 0.56 0.75 0.81 0.69 0.76 [3] [4] [5] Market 30-Yr Risk Treasury Mean Premium Yield Beta 4.26% 6.70% 0.76 4.26% 6.70% 0.69 4.26% 6.70% 0.65 4.26% 6.70% 0.77 4.26% 6.70% 0.83 4.26% 6.70% 0.75 4.26% 6.70% 0.72 4.26% 6.70% 0.80 4.26% 6.70% 0.75 4.26% 6.70% 0.64 4.26% 6.70% 0.56 4.26% 6.70% 0.78 0.73 Notes [1] Source: Bloomberg [2] Source: Bloomberg [3] Equals mean of Cols. [1], [2] [4] Source: Bloomberg. Based on indicated number of days historical average. [5] Source: Ibboston Associates [6] Equals Col [4] + (Min (Cols [1], [2]) x Col [5]) [7] Equals Col. [4] +(Col. [3] x Col [5]) [8] Equals Col [4] + (Max (Cols [1], [2]) x Col [5]) [6] Low CAPM 8.95% 8.61% 8.28% 9.28% 9.28% 8.95% 8.95% 9.28% 9.28% 8.28% 7.94% 9.28% 8.86% [7] CAPM k(e) 9.38% 8.86% 8.62% 9.41% 9.85% 9.30% 9.10% 9.62% 9.29% 8.56% 7.99% 9.50% 9.12% [8] High CAPM 9.82% 9.10% 8.97% 9.53% 10.42% 9.65% 9.25% 9.96% 9.29% 8.85% 8.04% 9.71% 9.38% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 3 Page 4 of 6 COMBINATION PROXY GROUP - CAPM 30-DAY AVERAGE 30 YEAR TREASURY YIELD [1] [2] Adjusted Betas Company Alliant Energy Corp. Avista Corp. Black Hills Corp. Center Point Energy Consolidated Edison DTE Energy Co. PG&E Corp SCANA Corp. TECO Energy, Inc. Vectren Corp. Wisconsin Energy LNT AVA BKH CNP ED DTE PCG SCG TE VVC WEC MEAN Value Line Bloomberg 0.70 0.83 0.70 0.75 0.80 0.89 0.80 1.00 0.65 0.66 0.75 0.87 0.55 0.62 0.70 0.72 0.85 0.86 0.70 0.76 0.65 0.68 0.71 0.79 [3] [4] [5] Market 30-Yr Risk Treasury Mean Premium Yield Beta 3.72% 6.70% 0.77 3.72% 6.70% 0.73 3.72% 6.70% 0.84 3.72% 6.70% 0.90 3.72% 6.70% 0.66 3.72% 6.70% 0.81 3.72% 6.70% 0.58 3.72% 6.70% 0.71 3.72% 6.70% 0.85 3.72% 6.70% 0.73 3.72% 6.70% 0.67 0.75 Notes [1] Source: Value Line [2] Source: Bloomberg [3] Equals median of Cols. [1], [2] [4] Source: Bloomberg Based on indicated number of days historical average. [5] Source: Ibboston Associates [6] Equals Col [4] + (Min (Cols [1], [2]) x Col [5]) [7] Equals Col. [4] +(Col. [3] x Col [5]) [8] Equals Col [4] + (Max (Cols [1], [2]) x Col [5]) [6] Low CAPM 8.41% 8.41% 9.08% 9.08% 8.08% 8.75% 7.41% 8.41% 9.42% 8.41% 8.08% 8.51% [7] CAPM k(e) 8.86% 8.59% 9.38% 9.74% 8.12% 9.17% 7.63% 8.50% 9.44% 8.63% 8.19% 8.75% [8] High CAPM 9.30% 8.77% 9.67% 10.41% 8.16% 9.59% 7.85% 8.58% 9.47% 8.84% 8.30% 8.99% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 3 Page 5 of 6 COMBINATION PROXY GROUP - CAPM 90-DAY AVERAGE 30 YEAR TREASURY YIELD [1] [2] Adjusted Betas Company Alliant Energy Corp. Avista Corp. Black Hills Corp. Center Point Energy Consolidated Edison DTE Energy Co. PG&E Corp SCANA Corp. TECO Energy, Inc. Vectren Corp. Wisconsin Energy LNT AVA BKH CNP ED DTE PCG SCG TE VVC WEC MEAN Value Line Bloomberg 0.70 0.83 0.70 0.75 0.80 0.89 0.80 1.00 0.65 0.66 0.75 0.87 0.55 0.62 0.70 0.72 0.85 0.86 0.70 0.76 0.65 0.68 0.71 0.79 [3] [4] [5] Market 30-Yr Risk Treasury Mean Premium Yield Beta 3.94% 6.70% 0.77 3.94% 6.70% 0.73 3.94% 6.70% 0.84 3.94% 6.70% 0.90 3.94% 6.70% 0.66 3.94% 6.70% 0.81 3.94% 6.70% 0.58 3.94% 6.70% 0.71 3.94% 6.70% 0.85 3.94% 6.70% 0.73 3.94% 6.70% 0.67 0.75 Notes [1] Source: Value Line [2] Source: Bloomberg [3] Equals median of Cols. [1], [2] [4] Source: Bloomberg Based on indicated number of days historical average. [5] Source: Ibboston Associates [6] Equals Col [4] + (Min (Cols [1], [2]) x Col [5]) [7] Equals Col. [4] +(Col. [3] x Col [5]) [8] Equals Col [4] + (Max (Cols [1], [2]) x Col [5]) [6] Low CAPM 8.63% 8.63% 9.30% 9.30% 8.29% 8.96% 7.62% 8.63% 9.63% 8.63% 8.29% 8.72% [7] CAPM k(e) 9.07% 8.80% 9.59% 9.96% 8.33% 9.38% 7.84% 8.71% 9.66% 8.84% 8.40% 8.96% [8] High CAPM 9.52% 8.98% 9.88% 10.62% 8.37% 9.80% 8.06% 8.79% 9.68% 9.05% 8.51% 9.20% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 3 Page 6 of 6 COMBINATION PROXY GROUP - CAPM 180-DAY AVERAGE 30 YEAR TREASURY YIELD [1] [2] Adjusted Betas Company Alliant Energy Corp. Avista Corp. Black Hills Corp. Center Point Energy Consolidated Edison DTE Energy Co. PG&E Corp SCANA Corp. TECO Energy, Inc. Vectren Corp. Wisconsin Energy LNT AVA BKH CNP ED DTE PCG SCG TE VVC WEC MEAN Value Line Bloomberg 0.70 0.83 0.70 0.75 0.80 0.89 0.80 1.00 0.65 0.66 0.75 0.87 0.55 0.62 0.70 0.72 0.85 0.86 0.70 0.76 0.65 0.68 0.71 0.79 [3] [4] [5] Market 30-Yr Risk Treasury Mean Premium Yield Beta 4.26% 6.70% 0.77 4.26% 6.70% 0.73 4.26% 6.70% 0.84 4.26% 6.70% 0.90 4.26% 6.70% 0.66 4.26% 6.70% 0.81 4.26% 6.70% 0.58 4.26% 6.70% 0.71 4.26% 6.70% 0.85 4.26% 6.70% 0.73 4.26% 6.70% 0.67 0.75 Notes [1] Source: Value Line [2] Source: Bloomberg [3] Equals median of Cols. [1], [2] [4] Source: Bloomberg Based on indicated number of days historical average. [5] Source: Ibboston Associates [6] Equals Col [4] + (Min (Cols [1], [2]) x Col [5]) [7] Equals Col. [4] +(Col. [3] x Col [5]) [8] Equals Col [4] + (Max (Cols [1], [2]) x Col [5]) [6] Low CAPM 8.95% 8.95% 9.62% 9.62% 8.61% 9.28% 7.94% 8.95% 9.95% 8.95% 8.61% 9.04% [7] CAPM k(e) 9.39% 9.12% 9.91% 10.28% 8.65% 9.70% 8.16% 9.03% 9.98% 9.16% 8.72% 9.28% [8] High CAPM 9.84% 9.30% 10.20% 10.94% 8.69% 10.12% 8.38% 9.11% 10.00% 9.37% 8.83% 9.53% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 4 Page 1 of 3 BOND YIELD RISK PREMIUM Average Authorized Average 30-Yr. Quarter [1b] Electric Utility ROE [1] Treasury Yield [2] 1992.1 12.36% 7.84% 1992.2 11.81% 7.88% 1992.3 12.17% 7.42% 1992.4 12.08% 7.54% 1993.1 11.80% 7.01% 1993.2 11.60% 6.86% 1993.3 11.11% 6.23% 1993.4 11.18% 6.21% 1994.1 11.16% 6.66% 1994.2 11.16% 7.45% 1994.3 12.75% 7.55% 1994.4 11.15% 7.95% 1995.1 11.81% 7.52% 1995.2 11.35% 6.87% 1995.3 11.37% 6.66% 1995.4 11.67% 6.14% 1996.1 11.31% 6.39% 1996.2 11.52% 6.92% 1996.3 11.22% 7.00% 1996.4 11.39% 6.54% 1997.1 11.32% 6.90% 1997.2 11.60% 6.88% 1997.3 12.00% 6.44% 1997.4 10.94% 6.04% 1998.1 11.49% 5.89% 1998.2 11.40% 5.79% 1998.3 11.90% 5.32% 1998.4 12.30% 5.11% 1999.1 10.72% 5.43% 1999.2 10.75% 5.82% 1999.3 10.93% 6.07% 1999.4 10.30% 6.31% 2000.1 10.98% 6.15% 2000.2 12.20% 5.95% 2000.3 12.03% 5.78% 2000.4 11.80% 5.62% 2001.1 11.13% 5.42% 2001.2 11.01% 5.77% 2001.3 10.69% 5.44% 2001.4 11.81% 5.21% 2002.1 10.95% 5.55% 2002.2 11.27% 5.57% 2002.3 12.30% 4.96% 2002.4 11.18% 4.93% 2003.1 11.58% 4.78% 2003.2 10.79% 4.57% 2003.3 10.70% 5.15% 2003.4 11.42% 5.11% 2004.1 10.75% 4.86% 2004.2 10.69% 5.31% 2004.3 10.33% 5.01% 2004.4 11.37% 4.87% 2005.1 10.46% 4.69% 2005.2 10.69% 4.34% 2005.3 10.38% 4.43% 2005.4 10.63% 4.66% 2006.1 10.30% 4.69% 2006.2 10.81% 5.19% 2006.3 10.26% 4.90% 2006.4 10.70% 4.70% 2007.1 10.59% 4.81% 2007.2 10.36% 4.98% 2007.3 10.20% 4.85% 2007.4 10.50% 4.53% 2008.1 10.49% 4.34% 2008.2 10.58% 4.57% 2008.3 10.39% 4.44% 2008.4 10.46% 3.49% 2009.1 10.87% 3.62% 2009.2 10.66% 4.23% 2009.3 10.60% 4.18% 2009.4 10.58% 4.35% 2010.1 10.53% 4.59% 2010.2 10.28% 4.20% 2010.3 10.29% 3.73% Mean 11.12% 5.62% Risk Premium (ROE-Treasury Yield) 4.52% 3.93% 4.75% 4.54% 4.79% 4.74% 4.88% 4.97% 4.50% 3.71% 5.20% 3.20% 4.29% 4.48% 4.71% 5.54% 4.92% 4.59% 4.21% 4.84% 4.42% 4.72% 5.56% 4.90% 5.60% 5.61% 6.58% 7.20% 5.29% 4.93% 4.85% 3.99% 4.83% 6.25% 6.25% 6.18% 5.71% 5.24% 5.25% 6.60% 5.40% 5.70% 7.34% 6.24% 6.80% 6.22% 5.55% 6.31% 5.89% 5.38% 5.32% 6.50% 5.77% 6.35% 5.94% 5.96% 5.60% 5.62% 5.36% 6.00% 5.78% 5.38% 5.35% 5.97% 6.15% 6.01% 5.95% 6.97% 7.26% 6.43% 6.42% 6.23% 5.95% 6.07% 6.56% 5.51% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 4 Page 2 of 3 BOND YIELD RISK PREMIUM 8.00% Risk Premium 7.00% y = -0.6449x + 0.0913 R2 = 0.6943 6.00% 5.00% 4.00% 3.00% 2.00% 3.00% 4.00% 5.00% 6.00% 7.00% 8.00% 9.00% 30-Year Treasury Bond Yield SUMMARY OUTPUT Regression Statistics Multiple R 0.833223974 R Square 0.694262191 Adjusted R Square 0.690074002 Standard Error 0.004808684 Observations 75 ANOVA df Regression Residual Total Intercept X Variable 1 SS 1 0.003833095 73 0.001688011 74 0.005521106 MS 0.003833095 2.31234E-05 F 165.7666746 Coefficients Standard Error 0.091276179 0.002866692 -0.64486535 0.050086471 t Stat 31.84024398 -12.87504076 P-value 1.4972E-44 1.82288E-20 30 Year Treasury 4.22% 5.80% Risk Prem [3] 6.41% 5.39% 5.90% 30 Year Treasury Yield Blue Chip Consensus Forecast (2010-2011) [4] Blue Chip Consensus Forecast (2012 - 2021) [5] MEAN Significance F 1.82288E-20 Lower 95% Upper 95% Lower 95.0% Upper 95.0% 0.08556287 0.0969895 0.08556287 0.096989488 -0.744687541 -0.5450432 -0.744687541 -0.54504316 ROE 10.63% 11.19% 10.91% Notes [1] Source: Regulatory Research Associates, Rate Case Statistics , accessed September 30, 2010. [2] Source: Bloomberg Professional Service. Quarterly T-bond yields are the average of the last trading day of each month in the quarter. [3] Independent variable = Treasury Yield; Dependent Variable = Risk Premium. [4] Source: Aspen Publishers, Blue Chip Financial Forecasts , Vol. 29, No. 10 October 1, 2010, p. 2 [5] Source: Aspen Publishers, Blue Chip Financial Forecasts , Vol. 29 No. 6 June 1, 2010 p.14 Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 4 Page 3 of 3 BOND YIELD RISK PREMIUM 8.00% Risk Premium 7.00% y = -0.0359Ln(x) - 0.0491 R2 = 0.6823 6.00% 5.00% 4.00% 3.00% 2.00% 3.00% 4.00% 5.00% 6.00% 30-Year Treasury Bond Yield 7.00% 8.00% 9.00% SUMMARY OUTPUT Regression Statistics Multiple R 0.826026748 R Square 0.682320189 Adjusted R Square 0.677968411 Standard Error 0.004901697 Observations 75 ANOVA df Regression Residual Total Intercept X Variable 1 SS 1 0.003767162 73 0.001753944 74 0.005521106 MS 0.003767162 2.40266E-05 F 156.7911214 Coefficients Standard Error -0.049051982 0.008334324 -0.035913651 0.00286813 t Stat -5.885538331 -12.52162615 P-value 1.11644E-07 7.44323E-20 30 Year Treasury 4.22% 5.80% Risk Prem [3] 6.47% 5.32% 5.89% 30 Year Treasury Yield Blue Chip Consensus Forecast (2010-2011) [4] Blue Chip Consensus Forecast (2012 - 2021) [5] MEAN Significance F 7.44323E-20 Lower 95% Upper 95% Lower 95.0% Upper 95.0% -0.065662266 -0.0324417 -0.065662266 -0.0324417 -0.041629826 -0.0301975 -0.041629826 -0.03019748 ROE 10.68% 11.12% 10.90% Notes [1] Source: Regulatory Research Associates, Rate Case Statistics , accessed September 30, 2010. [2] Source: Bloomberg Professional Service. Quarterly T-bond yields are the average of the last trading day of each month in the quarter. [3] Independent variable = Treasury Yield; Dependent Variable = Risk Premium. [4] Source: Aspen Publishers, Blue Chip Financial Forecasts , Vol. 29, No. 10 October 1, 2010, p. 2 [5] Source: Aspen Publishers, Blue Chip Financial Forecasts , Vol. 29 No. 6 June 1, 2010 p.14 Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 5 Page 1 of 1 2010-2013 Projected CAPEX/Net Plant 120.00% 100.00% 80.00% 60.00% 40.00% 20.00% Am er ica DP L, nE Inc lec . tric Po we r Cl e co Gr ea Co tP rp . lai ns E ne Ha rg wa y iia nE lec tric Pi nn ac le W Pr es og t re ss En er ID gy AC OR P, Inc . W es tar Po Ga rtla s nd Ge So ne uth ra er l nC om pa Ne ny xtE ra En NS er gy P -M inn es ota 0.00% Source: Value Line and Company Data Projected CAPEX / 2009 Net Plant [1] 2009-2013 Company DPL, Inc. 36.83% American Electric Power 41.26% Cleco Corp. 48.90% Great Plains Energy 50.36% Hawaiian Electric 51.99% Pinnacle West 52.30% Progress Energy 52.62% IDACORP, Inc. 54.28% Westar Gas 54.90% Portland General 57.80% Southern Company 66.93% NextEra Energy 68.45% NSP - Minnesota 98.11% Notes [1] NSP-MN Capital expenditures are projected through 2010-2013, however Value Line projects capital expenditures through 2010, 2011, and 2013-2014. Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 6 Page 1 of 6 CAPITAL STRUCTURE - ELECTRIC PROXY GROUP Equity Ratio Company Name American Electric Power Cleco Corp. DPL, Inc. NextEra Energy, Inc. Great Plains Energy Inc. Hawaiian Electric IDACORP, Inc. Pinnacle West Capital Portland General Progress Energy Southern Co. Westar Energy Ticker AEP CNL DPL NEE GXP HE IDA PNW POR PGN SO WR 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 52.65% 52.60% 48.57% 49.15% 49.04% 47.93% 48.75% 48.49% 50.52% 50.69% 45.45% 47.08% 46.43% 45.54% 45.07% 47.49% 61.42% 61.53% 61.73% 58.46% 57.38% 57.09% 62.56% 63.33% 55.70% 53.38% 57.62% 56.91% 56.65% 56.59% 57.41% 53.94% 49.39% 49.46% 49.96% 51.46% 50.76% 44.33% 46.95% 49.30% 55.10% 54.99% 55.26% 53.15% 54.29% 56.00% 55.69% 52.92% 48.20% 47.56% 47.45% 48.15% 46.32% 44.90% 46.36% 45.30% 51.49% 48.39% 50.37% 50.74% 46.75% 47.17% 49.64% 52.58% 46.26% 46.47% 46.94% 49.37% 49.17% 51.68% 47.42% 50.17% 54.16% 53.05% 54.07% 53.01% 51.58% 49.99% 48.96% 50.04% 52.21% 52.11% 51.42% 52.05% 50.58% 50.95% 52.02% 53.28% 56.96% 56.93% 57.00% 57.68% 56.69% 59.74% 60.23% 61.52% Proxy Group Average Company Name AEP Texas Central Company AEP Texas North Company Appalachian Power Company Columbus Southern Power Company Indiana Michigan Power Company Kentucky Power Company Kingsport Power Company Ohio Power Company Public Service Company of Oklahoma Southwestern Electric Power Company Wheeling Power Co Cleco Power LLC Dayton Power and Light Company Hawaii Electric Light Company, Inc. Kansas City Power & Light Company KCP&L Greater Missouri Operations Company Idaho Power Co. Florida Power & Light Company Arizona Public Service Company Portland General Electric Company Carolina Power & Light Company Florida Power Corporation Alabama Power Company Georgia Power Company Gulf Power Company Mississippi Power Company Kansas Gas and Electric Company Westar Energy (KPL) Overall Average 49.65% 47.28% 60.44% 56.03% 48.95% 54.67% 46.78% 49.64% 48.44% 51.86% 51.83% 58.34% 51.99% Ticker AEP AEP AEP AEP AEP AEP AEP AEP AEP AEP AEP CNL DPL HE GXP GXP IDA NEE PNW POR PGN PGN SO SO SO SO WR WR Equity Ratio 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 44.03% 44.13% 44.03% 43.91% 46.38% 44.26% 43.96% 42.70% 45.28% 45.92% 45.76% 46.81% 46.69% 46.90% 46.90% 47.47% 43.68% 45.21% 44.51% 44.98% 44.74% 41.04% 43.00% 43.52% 47.05% 46.48% 46.95% 46.18% 46.81% 46.39% 46.40% 47.26% 46.41% 46.56% 45.97% 45.86% 45.42% 43.20% 51.18% 51.09% 43.59% 44.27% 44.04% 44.00% 43.94% 48.92% 48.74% 47.70% 100.00% 100.00% 51.61% 55.30% 54.84% 55.05% 55.59% 55.66% 52.46% 49.54% 50.07% 50.27% 53.45% 48.16% 47.41% 48.97% 45.56% 45.49% 45.77% 48.71% 47.61% 45.02% 45.99% 45.69% 47.89% 47.48% 51.79% 51.60% 48.26% 47.39% 46.83% 42.67% 63.16% 63.54% 63.72% 62.98% 61.25% 60.92% 60.29% 60.62% 50.52% 50.69% 45.45% 47.08% 46.43% 45.54% 45.07% 47.49% 61.42% 61.53% 61.73% 58.46% 57.38% 57.09% 62.56% 63.33% 55.10% 54.99% 55.26% 53.15% 54.29% 56.00% 55.69% 52.92% 48.43% 49.26% 49.48% 51.40% 50.23% 45.35% 47.92% 50.55% 50.35% 49.66% 50.45% 51.52% 51.29% 43.32% 45.98% 48.04% 48.20% 47.56% 47.45% 48.15% 46.32% 44.90% 46.36% 45.30% 55.70% 53.38% 57.62% 56.91% 56.65% 56.59% 57.41% 53.94% 51.49% 48.39% 50.37% 50.74% 46.75% 47.17% 49.64% 52.58% 46.26% 46.47% 46.94% 49.37% 49.17% 51.68% 47.42% 50.17% 57.20% 56.93% 56.19% 55.69% 54.55% 53.96% 54.93% 55.37% 51.11% 49.16% 51.96% 50.33% 48.61% 46.03% 42.99% 44.72% 49.26% 49.25% 48.92% 48.89% 46.71% 46.69% 48.51% 49.01% 51.45% 51.78% 50.61% 52.40% 50.44% 49.01% 49.40% 48.81% 49.72% 48.96% 47.69% 48.32% 47.26% 50.31% 47.98% 49.30% 58.41% 58.44% 58.45% 58.58% 57.91% 57.78% 62.18% 65.98% 56.49% 56.24% 57.15% 57.23% 56.43% 65.33% 65.35% 65.25% 57.42% 57.61% 56.85% 58.13% 56.96% 54.15% 55.10% 57.78% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 6 Page 2 of 6 CAPITAL STRUCTURE - ELECTRIC PROXY GROUP Long Term Debt Ratio Company Name American Electric Power Cleco Corp. DPL, Inc. NextEra Energy, Inc. Great Plains Energy Inc. Hawaiian Electric IDACORP, Inc. Pinnacle West Capital Portland General Progress Energy Southern Co. Westar Energy Ticker AEP CNL DPL NEE GXP HE IDA PNW POR PGN SO WR 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 47.35% 47.40% 51.43% 50.85% 50.96% 52.07% 51.25% 51.51% 49.48% 49.31% 54.55% 52.92% 53.57% 52.05% 54.93% 52.51% 38.58% 38.47% 38.27% 36.76% 36.79% 36.69% 37.44% 32.89% 38.81% 38.92% 39.70% 40.09% 40.75% 42.74% 39.56% 37.87% 41.81% 42.54% 43.15% 45.75% 46.16% 47.25% 43.67% 46.47% 44.31% 44.43% 44.74% 46.38% 41.15% 42.62% 42.37% 40.73% 51.80% 52.44% 52.55% 51.85% 52.27% 51.24% 49.24% 49.40% 48.51% 48.81% 49.63% 49.26% 50.27% 49.37% 42.61% 43.35% 53.74% 53.53% 53.06% 50.63% 50.83% 48.32% 45.74% 48.41% 45.84% 46.95% 45.93% 46.70% 48.42% 49.19% 48.03% 49.96% 47.66% 47.02% 47.61% 47.49% 48.65% 48.19% 45.82% 43.65% 40.06% 40.45% 39.96% 40.19% 42.51% 37.12% 37.59% 34.70% Proxy Group Average Company Name AEP Texas Central Company AEP Texas North Company Appalachian Power Company Columbus Southern Power Company Indiana Michigan Power Company Kentucky Power Company Kingsport Power Company Ohio Power Company Public Service Company of Oklahoma Southwestern Electric Power Company Wheeling Power Co Cleco Power LLC Dayton Power and Light Company Hawaii Electric Light Company, Inc. Kansas City Power & Light Company KCP&L Greater Missouri Operations Company Idaho Power Co. Florida Power & Light Company Arizona Public Service Company Portland General Electric Company Carolina Power & Light Company Florida Power Corporation Alabama Power Company Georgia Power Company Gulf Power Company Mississippi Power Company Kansas Gas and Electric Company Westar Energy (KPL) Overall Average 50.35% 52.42% 36.99% 39.80% 44.60% 43.34% 51.35% 47.73% 50.53% 47.63% 47.01% 39.07% 45.90% Ticker AEP AEP AEP AEP AEP AEP AEP AEP AEP AEP AEP CNL DPL HE GXP GXP IDA NEE PNW POR PGN PGN SO SO SO SO WR WR Long Term Debt Ratio 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 55.97% 55.87% 55.97% 56.09% 53.62% 55.74% 56.04% 57.30% 54.72% 54.08% 54.24% 53.19% 53.31% 53.10% 53.10% 52.53% 56.32% 54.79% 55.49% 55.02% 55.26% 58.96% 57.00% 56.48% 52.95% 53.52% 53.05% 53.82% 53.19% 53.61% 53.60% 52.74% 53.59% 53.44% 54.03% 54.14% 54.58% 56.80% 48.82% 48.91% 56.41% 55.73% 55.96% 56.00% 56.06% 51.08% 51.26% 52.30% 0.00% 0.00% 48.39% 44.70% 45.16% 44.95% 44.41% 44.34% 47.54% 50.46% 49.93% 49.73% 46.55% 51.84% 52.59% 51.03% 54.44% 54.51% 54.23% 51.29% 52.39% 54.98% 54.01% 54.31% 52.11% 52.52% 48.21% 48.40% 51.74% 52.61% 53.17% 57.33% 36.84% 36.46% 36.28% 37.02% 38.75% 39.08% 39.71% 39.38% 49.48% 49.31% 54.55% 52.92% 53.57% 52.05% 54.93% 52.51% 38.58% 38.47% 38.27% 36.76% 36.79% 36.69% 37.44% 32.89% 44.31% 44.43% 44.74% 46.38% 41.15% 42.62% 42.37% 40.73% 44.19% 45.52% 45.73% 47.58% 47.63% 48.90% 40.81% 41.73% 39.42% 39.55% 40.57% 43.91% 44.68% 45.59% 46.52% 51.21% 51.80% 52.44% 52.55% 51.85% 52.27% 51.24% 49.24% 49.40% 38.81% 38.92% 39.70% 40.09% 40.75% 42.74% 39.56% 37.87% 48.51% 48.81% 49.63% 49.26% 50.27% 49.37% 42.61% 43.35% 53.74% 53.53% 53.06% 50.63% 50.83% 48.32% 45.74% 48.41% 42.80% 43.07% 43.81% 44.31% 45.45% 46.04% 43.69% 44.63% 48.89% 50.84% 48.04% 49.09% 51.39% 52.34% 52.37% 55.28% 50.26% 50.75% 51.08% 51.11% 53.29% 53.31% 51.27% 50.14% 48.53% 48.22% 49.39% 47.60% 49.55% 50.32% 49.91% 45.21% 50.28% 47.55% 48.41% 49.96% 49.80% 46.90% 44.29% 45.24% 41.59% 41.56% 41.55% 41.30% 41.97% 42.22% 37.82% 34.02% 43.51% 43.76% 42.85% 42.77% 43.57% 34.67% 34.65% 34.75% 36.62% 37.14% 37.07% 37.62% 41.44% 39.56% 40.54% 34.65% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 6 Page 3 of 6 CAPITAL STRUCTURE - ELECTRIC PROXY GROUP Short Term Debt Ratio Company Name American Electric Power Cleco Corp. DPL, Inc. NextEra Energy, Inc. Great Plains Energy Inc. Hawaiian Electric IDACORP, Inc. Pinnacle West Capital Portland General Progress Energy Southern Co. Westar Energy Ticker AEP CNL DPL NEE GXP HE IDA PNW POR PGN SO WR 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 2.41% 0.00% 0.00% 0.00% 0.00% 0.00% 4.78% 5.83% 6.23% 0.00% 3.78% 5.48% 7.70% 2.68% 3.00% 2.60% 0.67% 3.03% 8.19% 8.80% 8.00% 6.89% 2.79% 3.08% 8.42% 9.38% 4.23% 0.59% 0.58% 0.00% 0.47% 4.56% 1.38% 1.95% 6.35% 0.00% 0.00% 0.00% 0.00% 1.41% 3.86% 4.40% 5.30% 0.00% 2.80% 0.00% 0.00% 2.98% 3.46% 7.75% 4.08% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 6.84% 1.42% 0.00% 0.00% 0.00% 0.29% 0.00% 0.81% 3.01% 0.00% 0.13% 0.87% 0.98% 0.46% 0.77% 0.87% 2.16% 3.07% 2.98% 2.62% 3.04% 2.12% 0.80% 3.14% 2.18% 3.78% Proxy Group Average 2.11% Short Term Debt Ratio Company Name Ticker AEP Texas Central Company AEP AEP Texas North Company AEP Appalachian Power Company AEP Columbus Southern Power Company AEP Indiana Michigan Power Company AEP Kentucky Power Company AEP Kingsport Power Company AEP Ohio Power Company AEP Public Service Company of Oklahoma AEP Southwestern Electric Power Company AEP Wheeling Power Co AEP Cleco Power LLC CNL Dayton Power and Light Company DPL Hawaii Electric Light Company, Inc. HE Kansas City Power & Light Company GXP KCP&L Greater Missouri Operations Company GXP Idaho Power Co. IDA Florida Power & Light Company NEE Arizona Public Service Company PNW Portland General Electric Company POR Carolina Power & Light Company PGN Florida Power Corporation PGN Alabama Power Company SO Georgia Power Company SO Gulf Power Company SO Mississippi Power Company SO Kansas Gas and Electric Company WR Westar Energy (KPL) WR Overall Average 0.00% 0.30% 2.58% 4.17% 6.45% 1.98% 1.87% 2.63% 1.03% 0.51% 1.16% 2.58% 2009 Q1 2008 Q4 2008 Q3 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.59% 0.58% 0.00% 7.37% 5.22% 4.79% 10.23% 10.79% 8.99% 0.00% 0.00% 0.00% 5.48% 7.70% 2.68% 0.00% 2.80% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.49% 0.00% 0.00% 0.02% 0.00% 0.00% 0.00% 3.50% 3.91% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 5.96% 5.25% 6.08% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 4.78% 0.47% 1.02% 4.57% 0.00% 3.00% 0.00% 0.00% 0.00% 0.59% 0.00% 0.00% 1.71% 0.12% 0.00% 4.25% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 5.83% 4.56% 2.14% 4.02% 1.41% 2.60% 2.98% 0.00% 0.00% 0.00% 0.00% 0.01% 2.94% 0.12% 0.00% 1.60% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 2.41% 6.23% 1.38% 5.74% 11.09% 3.86% 0.67% 3.46% 0.00% 0.00% 1.63% 0.00% 0.67% 2.79% 0.00% 0.00% 6.29% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 1.95% 11.27% 7.49% 4.40% 3.03% 7.75% 6.84% 1.38% 4.64% 0.22% 0.70% 7.73% 0.00% 0.00% 4.36% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 3.78% 6.35% 7.71% 0.75% 5.30% 8.19% 4.08% 1.42% 0.00% 0.00% 0.84% 5.98% 5.46% 0.00% 0.00% 7.57% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 6 Page 4 of 6 CAPITAL STRUCTURE - COMBINATION PROXY GROUP Equity Ratio Company Name Alliant Energy Corp. Avista Corp. Black Hills Corp. Center Point Energy Consolidated Edison DTE Energy Co. PG&E Corp SCANA Corp. TECO Energy, Inc. Vectren Corp. Wisconsin Energy Ticker LNT AVA BKH CNP ED DTE PCG SCG TE VVC WEC 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 52.96% 52.14% 52.51% 54.19% 54.88% 55.16% 55.09% 62.11% 47.39% 47.19% 46.56% 47.15% 47.63% 46.72% 45.63% 47.44% 69.31% 68.43% 67.16% 73.15% 65.68% 66.64% 73.21% 59.23% 28.95% 28.30% 27.40% 30.05% 28.13% 27.33% 27.97% 28.04% 63.18% 63.81% 63.53% 64.00% 64.30% 63.98% 65.57% 64.91% 49.09% 49.03% 48.85% 39.17% 38.63% 38.31% 36.51% 40.31% 47.88% 47.23% 47.85% 49.08% 47.80% 47.54% 46.83% 47.30% 51.49% 50.88% 50.64% 51.83% 50.45% 49.60% 49.66% 53.27% 50.53% 51.20% 50.12% 50.45% 50.10% 50.55% 51.84% 51.13% 51.68% 51.04% 50.37% 49.84% 49.91% 52.27% 53.91% 53.88% 57.54% 58.70% 57.91% 55.90% 55.97% 56.28% 58.10% 61.34% Proxy Group Average Company Name Interstate Power and Light Company Wisconsin Power and Light Company Avista Corporation Black Hills Colorado Electric Utility Company, L Black Hills Power, Inc. Cheyenne Light, Fuel and Power Company CenterPoint Energy Houston Electric, LLC Consolidated Edison Company of New York, In Orange and Rockland Utilities, Inc. Pike County Light & Power Company Rockland Electric Company Detroit Edison Company Pacific Gas and Electric Company South Carolina Electric & Gas Co. Tampa Electric Company Southern Indiana Gas and Electric Company, In Wisconsin Electric Power Company Overall Average 54.88% 46.96% 67.85% 28.27% 64.16% 42.49% 47.69% 50.98% 50.74% 51.61% 57.72% 51.21% Ticker LNT LNT AVA BKH BKH BKH CNP ED ED ED ED DTE PCG SCG TE VVC WEC Equity Ratio 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 52.90% 52.04% 52.03% 55.62% 53.34% 54.84% 54.71% 62.94% 53.03% 52.24% 52.99% 52.77% 56.42% 55.47% 55.46% 61.29% 47.39% 47.19% 46.56% 47.15% 47.63% 46.72% 45.63% 47.44% 100.00% 100.00% 100.00% 100.00% 78.70% 78.95% 100.00% NA 51.06% 48.95% 45.81% 64.59% 63.98% 63.40% 62.77% 62.27% 56.88% 56.34% 55.66% 54.87% 54.35% 57.57% 56.87% 56.19% 28.95% 28.30% 27.40% 30.05% 28.13% 27.33% 27.97% 28.04% 48.80% 48.76% 49.73% 48.59% 49.38% 48.73% 49.95% 51.26% 48.15% 49.79% 47.36% 51.52% 51.49% 50.50% 54.60% 50.36% 55.77% 56.69% 57.01% 55.90% 56.34% 56.70% 57.71% 58.04% 100.00% 100.00% 100.00% 100.00% 100.00% 100.00% 100.00% 100.00% 49.09% 49.03% 48.85% 39.17% 38.63% 38.31% 36.51% 40.31% 47.88% 47.23% 47.85% 49.08% 47.80% 47.54% 46.83% 47.30% 51.49% 50.88% 50.64% 51.83% 50.45% 49.60% 49.66% 53.27% 50.53% 51.20% 50.12% 50.45% 50.10% 50.55% 51.84% 51.13% 51.68% 51.04% 50.37% 49.84% 49.91% 52.27% 53.91% 53.88% 57.54% 58.70% 57.91% 55.90% 55.97% 56.28% 58.10% 61.34% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 6 Page 5 of 6 CAPITAL STRUCTURE - COMBINATION PROXY GROUP Long Term Debt Ratio Company Name Alliant Energy Corp. Avista Corp. Black Hills Corp. Center Point Energy Consolidated Edison DTE Energy Co. PG&E Corp SCANA Corp. TECO Energy, Inc. Vectren Corp. Wisconsin Energy Ticker LNT AVA BKH CNP ED DTE PCG SCG TE VVC WEC 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 47.04% 41.56% 44.23% 45.81% 40.37% 42.68% 43.06% 36.26% 48.90% 49.70% 49.59% 51.72% 40.39% 42.97% 42.93% 48.44% 30.69% 31.57% 32.84% 26.85% 34.32% 26.34% 26.79% 40.77% 71.05% 71.70% 72.60% 69.95% 71.87% 72.67% 72.03% 71.96% 34.69% 35.59% 36.47% 33.36% 33.87% 33.58% 34.09% 32.44% 50.91% 50.97% 51.15% 60.83% 61.37% 60.94% 62.72% 55.50% 47.84% 47.49% 48.59% 48.69% 48.90% 50.70% 51.80% 46.16% 44.90% 45.69% 45.29% 44.16% 47.62% 48.83% 49.75% 46.23% 47.41% 48.31% 48.38% 48.08% 45.55% 46.75% 47.35% 48.49% 48.32% 48.96% 49.63% 50.16% 49.91% 47.73% 46.06% 38.93% 39.13% 40.22% 40.21% 36.11% 39.37% 39.74% 41.90% 31.66% Proxy Group Average Interstate Power and Light Company Wisconsin Power and Light Company Avista Corporation Black Hills Colorado Electric Utility Company, L Black Hills Power, Inc. Cheyenne Light, Fuel and Power Company CenterPoint Energy Houston Electric, LLC Consolidated Edison Company of New York, In Orange and Rockland Utilities, Inc. Pike County Light & Power Company Rockland Electric Company Detroit Edison Company Pacific Gas and Electric Company South Carolina Electric & Gas Co. Tampa Electric Company Southern Indiana Gas and Electric Company, In Wisconsin Electric Power Company Overall Average 42.63% 46.83% 31.27% 71.73% 34.26% 56.80% 48.77% 46.56% 47.54% 47.46% 38.54% 46.58% LNT LNT AVA BKH BKH BKH CNP ED ED ED ED DTE PCG SCG TE VVC WEC Long Term Debt Ratio 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 47.10% 40.90% 41.44% 44.38% 40.76% 43.18% 43.55% 36.66% 46.97% 42.23% 47.01% 47.23% 39.99% 42.18% 42.56% 35.86% 48.90% 49.70% 49.59% 51.72% 40.39% 42.97% 42.93% 48.44% 0.00% 0.00% 0.00% 0.00% 21.30% 0.00% 0.00% NA 48.94% 51.05% 54.19% 35.41% 36.02% 36.60% 37.23% 37.73% 43.12% 43.66% 44.34% 45.13% 45.65% 42.43% 43.13% 43.81% 71.05% 71.70% 72.60% 69.95% 71.87% 72.67% 72.03% 71.96% 50.87% 48.84% 50.27% 49.18% 50.62% 51.27% 48.67% 46.62% 43.65% 50.21% 52.64% 40.16% 41.19% 39.75% 45.40% 41.20% 44.23% 43.31% 42.99% 44.10% 43.66% 43.30% 42.29% 41.96% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 50.91% 50.97% 51.15% 60.83% 61.37% 60.94% 62.72% 55.50% 47.84% 47.49% 48.59% 48.69% 48.90% 50.70% 51.80% 46.16% 44.90% 45.69% 45.29% 44.16% 47.62% 48.83% 49.75% 46.23% 47.41% 48.31% 48.38% 48.08% 45.55% 46.75% 47.35% 48.49% 48.32% 48.96% 49.63% 50.16% 49.91% 47.73% 46.06% 38.93% 39.13% 40.22% 40.21% 36.11% 39.37% 39.74% 41.90% 31.66% Docket No. E002/GR-10-971 Exhibit__(JJR-1), Schedule 6 Page 6 of 6 CAPITAL STRUCTURE - COMBINATION PROXY GROUP Short Term Debt Ratio Company Name Alliant Energy Corp. Avista Corp. Black Hills Corp. Center Point Energy Consolidated Edison DTE Energy Co. PG&E Corp SCANA Corp. TECO Energy, Inc. Vectren Corp. Wisconsin Energy Ticker LNT AVA BKH CNP ED DTE PCG SCG TE VVC WEC 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 0.00% 6.30% 3.27% 0.00% 4.75% 2.16% 1.86% 1.62% 3.71% 3.11% 3.85% 1.14% 11.99% 10.31% 11.44% 4.12% 0.00% 0.00% 0.00% 0.00% 0.00% 7.02% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 2.13% 0.60% 0.00% 2.64% 1.83% 2.44% 0.34% 2.64% 0.00% 0.00% 0.00% 0.00% 0.00% 0.75% 0.77% 4.20% 4.28% 5.27% 3.56% 2.23% 3.30% 1.76% 1.37% 6.54% 3.61% 3.43% 4.07% 4.01% 1.92% 1.56% 0.59% 0.51% 2.06% 0.49% 1.50% 1.47% 4.35% 2.70% 0.81% 0.38% 0.00% 0.00% 0.00% 0.00% 0.18% 0.00% 0.04% 7.19% 3.33% 1.07% 1.88% 7.99% 4.67% 3.98% 0.00% 7.00% Proxy Group Average Company Name Interstate Power and Light Company Wisconsin Power and Light Company Avista Corporation Black Hills Colorado Electric Utility Company, L Black Hills Power, Inc. Cheyenne Light, Fuel and Power Company CenterPoint Energy Houston Electric, LLC Consolidated Edison Company of New York, In Orange and Rockland Utilities, Inc. Pike County Light & Power Company Rockland Electric Company Detroit Edison Company Pacific Gas and Electric Company South Carolina Electric & Gas Co. Tampa Electric Company Southern Indiana Gas and Electric Company, In Wisconsin Electric Power Company Overall Average 2.49% 6.21% 0.88% 0.00% 1.58% 0.72% 3.54% 2.46% 1.72% 0.93% 3.74% 2.21% Ticker LNT LNT AVA BKH BKH BKH CNP ED ED ED ED DTE PCG SCG TE VVC WEC Short Term Debt Ratio 2010 Q2 2010 Q1 2009 Q4 2009 Q3 2009 Q2 2009 Q1 2008 Q4 2008 Q3 0.00% 7.06% 6.53% 0.00% 5.90% 1.98% 1.74% 0.40% 0.00% 5.54% 0.00% 0.00% 3.60% 2.35% 1.97% 2.85% 3.71% 3.11% 3.85% 1.14% 11.99% 10.31% 11.44% 4.12% 0.00% 0.00% 0.00% 0.00% 0.00% 21.05% 0.00% NA 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.33% 2.40% 0.00% 2.22% 0.00% 0.00% 1.37% 2.12% 8.20% 0.00% 0.00% 8.33% 7.32% 9.75% 0.00% 8.44% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.00% 0.75% 0.77% 4.20% 4.28% 5.27% 3.56% 2.23% 3.30% 1.76% 1.37% 6.54% 3.61% 3.43% 4.07% 4.01% 1.92% 1.56% 0.59% 0.51% 2.06% 0.49% 1.50% 1.47% 4.35% 2.70% 0.81% 0.38% 0.00% 0.00% 0.00% 0.00% 0.18% 0.00% 0.04% 7.19% 3.33% 1.07% 1.88% 7.99% 4.67% 3.98% 0.00% 7.00%