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UNITED STATES OF AMERICA

                FEDERAL ENERGY REGULATORY COMMISSION


The Gas Company, LLC                   Docket No. CP12-498-000




           BLUE PLANET FOUNDATION’S MOTION TO INTERVENE

                                 AND

                       CERTIFICATE OF SERVICE




                                SCHLACK ITO
                                A Limited Liability Law Company
                                Douglas A. Codiga, Esq.
                                Topa Financial Center
                                745 Fort Street, Suite 1500
                                Honolulu, Hawaii 96813
                                Tel. (808) 523-6047

                                Attorney for Movant
                                Blue Planet Foundation
UNITED STATES OF AMERICA

                        FEDERAL ENERGY REGULATORY COMMISSION


The Gas Company, LLC                                          Docket No. CP12-498-000




                 BLUE PLANET FOUNDATION’S MOTION TO INTERVENE

                 Blue Planet Foundation (“Blue Planet”), by and through its attorneys Schlack Ito,

A Limited Liability Law Company, and pursuant to Rules 212 and 214 of the Federal Energy

Regulatory Commission’s (“FERC” or “Commission”) Rules of Practice and Procedure,1 the

Commission’s “Notice of Application” dated September 28, 2012 (“FERC Notice”), and 18

C.F.R. § 157.10, hereby respectfully submits its Motion to Intervene (“Motion”) in the above-

captioned proceeding concerning the “Application of The Gas Company, LLC for Authorization

Under Section 3 of the Natural Gas Act” filed August 9, 2012 (“Application”) by The Gas

Company, LLC (“TGC” or “Company”), as follows.2

                 After decades of dependency, Hawaii has embarked on a major transition from the

use of imported fossil fuels to the use of renewable energy for electricity production. The

hallmark of this transition is widespread recognition that imported fossil fuels not only pose

economic burdens and energy security risks that are no longer acceptable, but also that moving

away from fossil fuels presents a singular opportunity to achieve substantial economic and

environmental benefits. Moving decisively and irreversibly away from imported fossil fuels, as




1
  See 18 C.F.R. § 385.212 (“Rule 212”) and 18 C.F.R. § 385.214 (“Rule 214”).
2
  Blue Planet’s Motion is timely filed. See 18 C.F.R. § 385.210(b) (Notice will establish dates for filing
interventions); FERC Notice at 1-2 (Motions to intervene shall be filed on or before the comment date of October 19,
2012).


                                                         2
the signatories to the Hawaii Clean Energy Initiative recognized, holds the promise of delivering

major benefits to Hawaii through energy independence.

               Although the transition away from fossil fuels is well underway, through its

Application TGC now seeks Commission approval to import substantial quantities of liquefied

natural gas (“LNG”) – a fossil fuel – in a manner that will continue and deepen Hawaii’s

dependence on imported fossil fuels. Specifically, the Application seeks approval of what it

terms “Phase 1 Facilities” as part of and in conjunction with a “comprehensive, multi-phase

strategic plan” designed to replace the use of oil with the use of LNG as fuel in utility electricity

generation units for up to 400 megawatts (“MW”) of electricity. Application at 2.

               Blue Planet respectfully opposes the Application for a number of reasons,

including but not limited to the following:

                  The Application is deficient insofar as it seeks Commission approval of a

                   comprehensive LNG plan yet does not discuss all aspects of that plan in

                   sufficient detail to allow the Commission to approve such a plan at this time;

                  LNG is an imported fossil fuel and the proposed comprehensive LNG plan

                   will continue and deepen Hawaii’s dependence on imported fossil fuels in a

                   manner that is contrary to established State of Hawaii energy law and policy;

                  The Application fails to establish that the alleged benefits of the

                   comprehensive LNG plan (e.g., reduced cost of electricity, reduced

                   greenhouse gas emissions, improving the electric system’s ability to

                   accommodate variable generation from renewable sources) outweigh

                   established State energy law and policy and the anticipated further economic




                                                  3
and environmental benefits from Hawaii’s ongoing transition to renewable

                   energy for electricity generation; and

                  The Application proposes approval of a comprehensive LNG plan with limited

                   public review of environmental and safety issues.

               In support of its Motion to intervene in this proceeding, Blue Planet further

submits that its participation in this proceeding is in the public interest and is therefore authorized

under the Commission’s rules. Blue Planet has extensive involvement, on behalf of the public, in

regulatory, legislative, and outreach and education matters concerning Hawaii’s overdependence

on imported petroleum, transitioning Hawaii from imported petroleum to renewable energy and

energy efficiency to achieve the objectives of the Hawaii Clean Energy Initiative, and reducing

energy costs for Hawaii’s consumers. As the Application establishes, those issues are directly at

issue in this proceeding.

I.     ARGUMENT

       A.      Standard for Grant of Intervention

               Pursuant to Rule 214, any person seeking to intervene to become a party must file

a motion to intervene. 18 C.F.R. § 385.214(a)(3). The motion must state the position of the

movant, to the extent known, and the basis in fact and law for the position. Id. § 385.212(b)(1).

It must also state the movant’s interest in sufficient factual detail to demonstrate (i) that the

movant has a right to participate which is expressly conferred by statute or by Commission rule,

order or other action, (ii) the movant has or represents an interest which may be directly affected

by the outcome of the proceeding, such as a consumer, customer or competitor, or (iii) the

movant’s participation is in the public interest. Id. § 385.212(b)(2)(i)-(iii). Pursuant to 18 C.F.R.

§ 157.10, any person filing a petition to intervene shall state specifically whether a formal




                                                   4
hearing on the application is sought. Id. at § 157.10(a)(1). No hearing is sought on the

Application.

       B.      Blue Planet’s Participation Is In the Public Interest.

               Blue Planet’s participation in this proceeding is in the public interest and is

therefore authorized pursuant to Rule 214. See 18 C.F.R. § 385.212(b)(2)(iii)(intervention

authorized where movant’s participation is in the public interest). Blue Planet’s participation in

this proceeding is in the public interest because it is a public interest organization focused on

energy-related issues that are essentially identical to the energy-related issues raised by the

Application. These issues identified in the Application for Commission consideration include

Hawaii’s overdependence on imported petroleum, transitioning Hawaii from imported fossil fuels

to renewable energy, achieving the clean energy objectives of the Hawaii Clean Energy Initiative,

reducing energy costs for Hawaii’s consumers, and the fuel supply for electricity generation,

including potentially replacing the use of low sulfur fuel oil in Hawaii’s electricity generation

units with LNG. See Application at 2-3, 11-16, 35-36.

               Each of the issues raised by the Application falls squarely within Blue Planet’s

mission. Blue Planet is a Hawaii public interest organization, with over 10,000 registered

“Friends of Blue Planet,” dedicated to promoting Hawaii’s swift transition to a clean energy

economy through the rapid adoption of renewable energy and increased energy efficiency. As its

mission statement indicates, Blue Planet is:

               committed to ending Hawaii’s dependency on oil, creating a model
               of energy self-sufficiency for ending the use fossil fuels on Earth.
               By switching to local, clean, renewable sources of energy, we can
               achieve energy security, economic growth, job creation,
               environmental protection, and a better quality of life for Hawaii
               residents. Through educational outreach, advancing bold policy,
               and developing programs that connect island communities with
               effective solutions, Blue Planet Foundation is moving Hawaii
               beyond oil—toward a future powered by clean energy.


                                                  5
Blue Planet Foundation, “Our Goal.”3

                  Consistent with its mission, Blue Planet is actively engaged in regulatory

proceedings, legislative efforts and public outreach and education concerning renewable energy

and energy efficiency. For example, since 2008, the State of Hawaii Public Utilities Commission

has granted Blue Planet’s motions to intervene, in the public interest, in a number of regulatory

proceedings concerning renewable energy and energy policy. Blue Planet has successfully

intervened in the feed-in tariff (Docket No. 2008-0273), decoupling (Docket No. 2008-0274), PV

Host program (Docket No. 2009-0098), Integrated Resources Planning Framework (Docket No.

2009-0108), Rule 14H (Docket No. 2010-0015), Energy Efficiency Portfolio Standards (Docket

No. 2010-0037), On-Bill Financing (Docket No. 2011-0186), Reliability Standards Working

Group (Docket No. 2011-0206), and Integrated Resource Planning (Docket No. 2012-0036)

dockets.

                  Blue Planet has also been instrumental in passing key clean energy legislation in

the public interest. In addition to recent legislation establishing the Hawaii Electricity Reliability

Administrator, Act 155 (Energy Efficiency Portfolio Standards), and Act 204 (on-bill financing),

Blue Planet’s legislative efforts include assisting with obtaining over $200,000 in federal funding

to support Hawaii’s rural businesses for clean energy projects; successfully lobbying for passage

of a first-in-the-nation carbon tax to provide millions annually for clean energy programs; and

hosting public events and rallies at the State Capitol featuring prominent government speakers

and involvement from local schools.4


3
  Available at http://blueplanetfoundation.org/.
4
  In addition to its involvement in energy-related regulatory and legislative matters, Blue Planet is extensively
involved in efforts to promote energy efficiency in Hawaii. For example, and as further explained on its website,
Blue Planet has replaced a total of 300,000 incandescent light bulbs statewide. Blue Planet has also worked with
partners to facilitate the installation of over 110 solar water heaters in Hawaii. Blue Planet has also successfully


                                                           6
The foregoing demonstrates that Blue Planet’s participation in this proceeding is

in the public interest. Blue Planet has extensive involvement, on behalf of the public, in

regulatory, legislative, and outreach and education matters concerning Hawaii’s overdependence

on imported fossil fuel, transitioning Hawaii from imported fossil fuel to renewable energy and

energy efficiency toward achieving HCEI objectives, and reducing energy costs for Hawaii’s

consumers. As the Application establishes, those issues are directly at issue in this proceeding.




developed a “Conserve-Fundraise-Learn!” or C.F.L. program, with educational and fundraising components for local
schools, in conjunction with the Hawaii Energy, the KIUC Foundation, State of Hawaii Department of Business
Economic Development and Tourism, the City and County of Honolulu, and other partners. Blue Planet has
organized a “100,000 Better Bulbs Blitz,” as part of National Energy Awareness Month. Similarly, Blue Planet and
Hawaii Energy have implemented a CFL exchange for condos, apartments and nonprofits.
      Blue Planet played an instrumental role in the community-based project and partnership with SustAINAble
Molokai, 21st Century Community Learning Center, Molokai private and public schools, and the citizens of Molokai
promoting CFLs. The program has replaced 36,000 incandescent light bulbs on Molokai with CFLs. The program,
which generated local media coverage, features trade-in locations throughout the island, an in-school campaign, and
broad community outreach. It was estimated that an average household will save over $200 per bulb and that
Molokai residents together will save over $6.5 million total throughout the life of the CFLs. Based on successful
implementation of the Molokai program, Blue Planet has implemented Hui Up Lanai, a community-based program
in partnership with Laulima Kuha’o, Hawaii Energy, the State of Hawaii Department of Business Economic
Development and Tourism, and other partners to provide an opportunity for residents of Lanai to become more
energy-efficient through an Energy Star appliance trade-in.
      Blue Planet was awarded a $100,000 grant from the Hawaii Community Foundation’s Island Innovation Fund
for its “Hawaii Energy Tracker Phase II – Show Me the Power” program. This program will increase energy
awareness and encourage action through its “Show Me the Power” and “The Island Pulse” innovations. “Show Me
the Power,” a new web application, will encourage households to change their energy habits by enabling users to see
their real-time energy usage and allowing them to select from different scenarios (e.g., upgrading their refrigerator to
an Energy Star appliance) that will show cost and energy savings. “The Island Pulse” is targeted to create energy
consumption awareness in communities, businesses, and groups through an energy use public display in high-traffic
locations (e.g., shopping malls and restaurants).
      Blue Planet has produced and aired a one-hour television show, “Hawaii Home Energy Makeover,” which
follows two Oahu families as they transform their homes with energy-efficient technology, from simple, cool-roof
improvements to the installation of the latest in photovoltaic systems. The show is intended to “inspire all of us to be
part of the island’s clean energy future.” Blue Planet has given hundreds of presentations and related outreach and
education activities including hosting rallies at the Hawaii State Capitol generating a significant student presence;
sending University of Hawaii students to Washington, D.C. for Powershift and successfully engaging them as
volunteers and advocates; giving dozens of presentations to Hawaii schools; hosting Clean Energy Day at University
of Hawaii; organizing school and community events statewide and making dozens of presentations to educate
thousands about clean energy; and conducting a Department of Energy Technical Assistance Program-sponsored
webinar presentation for state and local officials. Finally, Blue Planet’s website contains several web pages of
detailed practical information to educate and encourage consumers about energy efficiency, including self-audits,
professional home energy audits, energy efficient appliances, the Energy Star program, solar water heating, use of
daylights, LEDs, energy habits and conservation tips, roof and attic insulation and ventilation, radiant barriers,
energy efficient windows.


                                                           7
Blue Planet’s participation in this proceeding as an intervenor party is therefore appropriate and

justified under Rule 214.5

         C.       The Application Fails to Discuss the Comprehensive LNG Plan in Sufficient
                  Detail to Support Commission Approval at This Time.

                  Blue Planet opposes the Application because it is deficient insofar as it seeks

Commission approval of a comprehensive LNG plan yet does not discuss all aspects of that plan

in sufficient detail for the Commission to approve the plan at this time. The Application seeks

Commission authorization, pursuant to section 3 of the Natural Gas Act, as amended6 (“NGA”),

to operate facilities it alleges fall within the definition of “LNG terminal” in NGA § 2(11).

Application at 1. TGC seeks to obtain, install and “ISO containers, storage facilities, mobile

vaporization/regasification units and related facilities” as part of (“Phase 1 Facilities”).

Application at 2.

                  As noted above, the Application seeks Commission approval of a “comprehensive,

multi-phase strategic plan” (“comprehensive LNG plan”) in addition to the Phase 1 Facilities. Id.

at 2. TGC asserts throughout the Application that it seeks Commission approval only of the

Phase 1 Facilities. See, e.g., Application at 3, 17 (authorization sought solely for operation of

Phase 1 Facilities); id. at 22 (Phases 2 and 3 “are not the subject of this Application”) (emphasis

in original). These assertions are contradicted by the Application itself, which plainly

demonstrates that TGC seeks Commission approval of its comprehensive LNG plan as part of

and in conjunction with approval of the Phase 1 Facilities.




5
  These same reasons establish that Blue Planet has an interest, as a “consumer” and/or utility “customer,” which
may be directly affected by the outcome of the proceeding within the meaning of 18 C.F.R. § 325.214(b)(2)(ii)(A),
(B). Blue Planet’s right to participate is conferred by Rule 214, which allows for any person seeking to intervene to
become a party to file a motion to intervene. 18 C.F.R. § 325.214(a)(3).
6
  15 U.S.C. §717(b)(a) (2006).


                                                          8
For example, the Application repeatedly states that it involves Commission

approval of a comprehensive LNG plan. The Application states that TGC has developed:

               a comprehensive, multi-phased LNG strategic plan. When
               implemented, gas from LNG will be used to meet up to 75% of the
               Company’s customers’ requirements. It also will provide fuel for
               up to 400 MW of existing and new conventional and/or combined
               cycle power generation facilities, as well as for industrial and other
               commercial applications in the State. In addition, implementation
               of the Company’s LNG strategy will help the State achieve the
               “Hawaii Clean Energy Initiative” goal of replacing up to 70% of
               the energy sourced from oil with energy produced from renewable
               sources or saved through energy efficiency programs, an initiative
               that was adopted to reduce the State’s heavy dependence on
               petroleum.”

Application at 2-3 (emphasis added). The Application further states that Phase 1 is directly tied

to Commission approval of subsequent phases of TGC’s comprehensive LNG Plan. For

example, the Application argues that the Phase 1 Facilities are the:

               initial phase of, and an integral component of, the Company’s
               longer-term, comprehensive LNG supply and distribution strategy.
               The overall objective of this comprehensive LNG strategy is to
               ultimately develop the facilities necessary to (i) supply gas for up
               to 75% of its customers’ requirements, and (ii) provide fuel for up
               to 400 MW of power generation facilities and for industrial and
               other commercial applications. The implementation of this strategy
               will include, in Phases 2 and 3, the installation of permanent
               storage and permanent vaporization facilities.”

Application at 4 (emphasis added); see also Application at 34-35 (Phase 1 Facilities are a

“critical component” of TGC’s comprehensive LNG plan). TGC’s characterization of the Phase

1 Facilities as an “integral component” and “critical component” of its comprehensive LNG plan

reinforce the conclusion that the Application seeks approval not only of the Phase 1 Facilities but

also TGC’s comprehensive LNG plan.




                                                 9
Moreover, through its Application, TGC ties Phase 1 directly to achievement of

Hawaii Clean Energy Initiative (“HCEI”)7 objectives, further establishing that the Application

essentially seeks Commission approval of a comprehensive LNG plan at this time:

                 The Phase 1 Facilities not only will help ensure reliability and
                 diversity of supply for the Company’s customers, but will also
                 assist the State in meeting the aggressive renewable energy and
                 efficiency goals of the Hawaii Clean Energy Initiative, which are
                 critical to assisting the State in reducing its heavy dependence on
                 petroleum. Introducing LNG into the State will also reduce costs
                 for Hawaii’s energy consumers, which are currently the highest in
                 the country.

Application at 6; see also Application at 35-36 (“The Phase 1 Facilities Further the Goals of the

Hawaii Clean Energy Initiative.”).

                 The Application further states that all phases of its comprehensive LNG plan are

to occur at around the same time, rather than sequentially. See, e.g., Application at 3 (TGC will

implement its “strategic LNG plan in three, mostly parallel, phases”); id. at 17.

                 The application does not discuss the comprehensive LNG plan in sufficient detail,

however, upon which the Commission may approve such a plan at this time. Specifically, the

Application requests Commission authorization to implement a plan that will allow it to (i) use

imported LNG to meet up to 75% of TGC’s customers’ requirements, and (ii) provide fuel for up

to 400 MW of existing and new conventional and/or combined cycle power generation facilities.

Blue Planet submits that the Application fails to discuss these two aspects of the proposed plan,

as well as other aspects, in sufficient detail. Blue Planet therefore opposes the Application on

this additional basis.
7
  On January 31, 2008, the State and the U.S. Department of Energy signed a Memorandum of Understanding to
establish the HCEI. See “Memorandum of Understanding Between the State of Hawaii and the U.S. Department of
Energy”at 1, available at http://apps1.eere.energy.gov/news/pdfs/hawaii_mou.pdf. On October 20, 2008, the Energy
Agreement was signed by the State and the Hawaiian Electric Companies. See “Energy Agreement Among the State
of Hawaii, Division of Consumer Advocacy of the Department of Commerce and Consumer Affairs, and the
Hawaiian Electric Companies” dated Oct. 20, 2008 (“Energy Agreement”), available at
http://hawaii.gov/dbedt/info/energy/agreement/signed2008oct20.pdf.


                                                      10
D.       The Comprehensive LNG Plan Will Continue Hawaii’s Dependence on
                 Imported Fossil Fuels, Contrary to Hawaii Energy Law and Policy.

                 LNG is an imported fossil fuel. None of the distinctions drawn in the Application

can overcome this simple fact. As such, the effect of the comprehensive LNG plan will be to

continue and deepen Hawaii’s dependence on imported fossil fuels in a manner that is contrary to

established State of Hawaii energy law and policy. This is another reason Blue Planet must

oppose the Application. In this regard, Blue Planet agrees with HECO in its 2008 Integrated

Resource Plan, which concluded that imported LNG may hamper Hawaii’s transition to

renewable energy:

        Although LNG offers potential for fuel diversity and some reduction in GHG
        emission, it would require tremendous fuel infrastructure improvements that
        would likely preclude the transition to renewable energy. More importantly, LNG
        is still a fossil fuel and its use would merely transfer dependence from one
        imported fossil fuel to another. For these reasons, LNG was not considered
        further in HECO's IRP-4. It is clear that creating an LNG system on Oahu would
        have far reaching impacts to the state energy situation that go beyond that of the
        electric utility including impacts to the local communities.

See Hawaiian Electric Company, Inc., Integrated Resource Plan 2009-2028 dated Sept. 30, 2008

at § 6.2.4 (Docket No. 2007-0084) (emphasis added).

                 The plan will not aid Hawaii in achieving HCEI objectives. LNG imported into

Hawaii pursuant to the proposed plan is not a “clean energy” within the meaning of HCEI.8 In

addition, the Application appears to misstate the goal of HCEI and the Energy Agreement. The

Energy Agreement states throughout that the objective of the HCEI is to reduce Hawaii’s

dependence on imported fossil fuels. See id. at 1 (“the future of Hawaii requires that we move


8
  In this regard, Blue Planet respectfully questions the appropriateness of TGC holding itself out to the public as
“The Clean Energy Company.” See http://www.hawaiigas.com/ (Identifying TGC as “Hawaii Gas: Hawaii’s Clean
Energy Company”). Although TGC’s website states that it is “committed to making 50% of our gas from renewable
and sustainable sources by 2015,” it appears that during approximately this same time period TGC also seeks to
import LNG to meet up to 75% of TGC’s customers’ requirements and to provide fuel for up to 400 MW of existing
and new conventional and/or combined cycle power generation facilities. See http://www.hawaiigas.com/who-we-
are.aspx (50% of gas from renewable resources by 2015).


                                                        11
more decisively and irreversibly away from imported fossil fuels . . . ratepayer benefits [are to be

determined relative to] using imported fossil fuels[.]”) (emphasis added); id. at 2 (Energy

Agreement signatories commit to “monitor our progress in reducing our use of imported fossil

fuel”) (emphasis added); id. at 7 (HECO Companies shall not add any new “fossil-based

generation” over 2 MW beyond those already approved by the Commission or under construction

without equivalent megawatt hour retirements); id. at 9 (Energy Agreement parties are committed

to the “integration of non-fossil fuel[.]”) (emphasis added); id. at 21 (Energy Agreement § 11,

“Displacement of Fossil Fuel Energy and ‘Retirements’) (emphasis added); id. at 22 (Energy

efficiency programs “shall not provide incentives to encourage customers to switch to other fossil

fuels”) (emphasis added); id. at 26 (noting military services programs to “reduce dependence on

fossil fuels”) (emphasis added).

               Despite the Energy Agreement’s overriding emphasis on reducing fossil fuel

dependency, the Application asserts that the goal of HCEI is to replace “energy sourced from

oil.” Id. at 13, 35; see also id. at 15 (arguing LNG supports HCEI because it can “significantly

reduce the State’s dependence on oil.”). This misstates the goal of the HCEI. The goal is to

reduce the State’s dependence on fossil fuels. The term “fossil fuel” includes LNG. Thus,

TGC’s comprehensive LNG plan will not achieve HCEI objectives and Blue Planet submits that

the achievement of HCEI objectives provides no basis for the Commission approval of the

Application.

               This conclusion is reinforced by the State’s Renewable Portfolio Standards

(“RPS”) law, which codifies the HCEI objective of obtaining 40% renewable energy by 2030.

See Haw. Rev. § 269-92(a)(4) (establishing electric utility renewable portfolio standard of 40%

by 2030). It is axiomatic that an electric utility must rely solely upon renewable energy, and not




                                                12
fossil fuel, to achieve compliance with the RPS law. Indeed, the definition of “renewable

energy” in the Hawaii RPS law enumerates nine types of renewable energy, none of which

encompass imported LNG. For the same reasons LNG cannot aid Hawaii in achieving the goals

of the HCEI, LNG also cannot aid Hawaii’s electric utilities in demonstrating compliance with

the RPS law, including the requirement of 40% renewable energy by 2030 shared by both HCEI

and the RPS law.

       E.      The Reasons Advanced In Support of the Comprehensive LNG Plan Are Not
               Persuasive.

               The Application fails to establish that the alleged benefits of the comprehensive

LNG plan outweigh the established State energy law and policy and the anticipated further

economic and environmental benefits from Hawaii’s ongoing transition to renewable energy for

electricity generation.

               For example, the Application suggests the comprehensive LNG plan will

ultimately reduce the cost of electricity. Projected reductions in the cost of electricity from the

use of LNG pursuant to the comprehensive plan are based upon projected fuel prices. Fuel prices

for LNG may increase based on increased environmental compliance costs associated with

stricter government regulation of the hydraulic fracturing (or, “fracking”) natural gas extraction

process, increased competition from Asian consumers, and other similar reasons. It is unclear at

this time whether substantial monetary investments in infrastructure improvements (such as

harbor modifications), replacement or retrofitting of electricity generation units, and related

major costs necessary to implement the proposed comprehensive LNG plan will allow the

projected electricity cost reductions. It is noted also that any beneficial impact of the

comprehensive LNG plan on Hawaii’s local economy is unclear insofar as TGC is owned by a




                                                 13
multinational corporation. See Application at 7 (TGC is “wholly-owned indirect subsidiary of

Macquarie Infrastructure Company[.]”).

                It is equally unclear whether LNG is a “cleaner” fossil fuel insofar as several

published analyses have concluded that the lifecycle greenhouse gas emissions associated with

LNG “fracking,” transport, and energy generation are greater than those associated with other

fossil fuels – even coal.9

                The Application also alleges the comprehensive LNG plan will improve the

electric system’s ability to accommodate variable generation from renewable sources. See

Application at 36 (alleging that “as demonstrated elsewhere in the U.S., improve the efficiency of

wind and solar power generating resources.”). Based upon the information provided in the

Application, Blue Planet is unable to properly evaluate this assertion and, in any event, views the

anticipated economic and environmental benefits from Hawaii’s ongoing transition to renewable

energy as outweighing any such purported electric system improvements. For these and other

related reasons, Blue Planet does not view the Application as establishing clearly convincing

reasons in support of the plan that outweigh other more compelling considerations at this time.

        F.      The Application Proposes Approval of a Comprehensive LNG Plan with
                Limited Public Review of Environmental and Safety Issues.

                Blue Planet further opposes the Application insofar as it does not comply with the

Commission’s administrative rules concerning environmental review. TGC filed the Application

pursuant to 18 C.F.R Part 153. Application at 1. Under 18 C.F.R. § 153.8(a)(7)(i), an application

9
  See, e.g., Howarth et al., “Methane Emissions from Natural Gas Systems,” National
Climate Assessment (Feb. 2012), available at http://www.eeb.cornell.edu/howarth/Howarth%20et%20al.%20--
%20National%20Climate%20Assessment.pdf (surveying various estimates of lifecycle GHG emissions
associated with LNG); see also Alvarez et al., “Greater focus needed on methane leakage from natural gas
infrastructure,” Proc. Nat’l Acad. Sci. (April 24, 2012), available at
http://www.ncbi.nlm.nih.gov/pmc/articles/PMC3340093/ (“given limited current evidence, it is likely that
leakage at individual natural gas well sites is high enough, when combined with leakage from
downstream operations, to make the total leakage exceed the 3.2% threshold beyond which gas becomes
worse for the climate than coal for at least some period of time”).


                                                     14
such as this must include an “environmental report as specified in § 380.3 and §380.12 of this

chapter.” Id. Under 18 C.F.R. § 380.12(a)(i), the applicant must submit an “environmental

report with any application that proposes the construction, operation or abandonment of any

facility identified in § 380.3(c)(2)(i).” Id.

                Although the Application includes an environmental report attached as Exhibit F

to the Application, the environmental report does not assess the comprehensive LNG plan but

instead limits review to the Phase 1 Facilities – despite the fact that the Application seeks

approval of both Phase 1 and the comprehensive plan. The Application therefore does not

comply with these environmental regulations and the Exhibit F environmental report appears to

constitute an impermissible segmentation of TGC’s assessment of the environmental impacts of

the comprehensives LNG plan.

                Blue Planet also opposes the Application insofar as the Exhibit F environmental

report is deficient or incomplete. For example, for areas “within a designated coastal zone

management area, a consistency determination or evidence that the owner has requested a

consistency determination from the state’s coastal zone management program” is required. 18

C.F.R. § 380.12(c)(2)(F); see also 15 C.F.R. § 930.53 (Federally-licensed activities must be

consistent with approved State coastal zone management programs). The Application does not

reference such a consistency determination.

                Finally, Blue Planet opposes the Application insofar as it seeks to establish the

Commission’s exclusive jurisdiction over the proposed Phase 1 Facilities and comprehensive

LNG plan in a manner that may limit local community involvement in the environmental and

safety review process. The Application asserts that the Phase 1 Facilities and comprehensive

LNG plan constitute an “LNG terminal” within the meaning of NGA § 2(11) and that under NGA




                                                 15
§ 3(e) the Commission has exclusive authority and jurisdiction over such an “LNG terminal.”

See Application at 23-33. The Application therefore raises questions concerning TGC’s duty to

comply with Hawaii environmental review and public participation requirements. See id. at 30-

34 (arguing Hinshaw exemption to NGA § 3(e), allowing states to retain jurisdiction over LNG

terminal environmental and safety issues, does not apply). Similarly, the Application seeks

Commission approval to forego compliance with the six-month National Environmental Policy

Act pre-filing process, which approval Blue Planet does not support. Application at 38-40.

Exclusive federal jurisdiction that has the effect of limiting involvement of the local community

on critical environmental and safety issues is a further basis upon which Blue Planet, as a Hawaii

clean energy public interest organization, must oppose the Application.

II.    CONCLUSION

               For all of the foregoing reasons, Blue Planet respectfully requests the Commission

to grant its Motion to intervene in this proceeding concerning the Application and for Blue Planet

to be made a full party to the proceeding, with all attendant rights and duties, and accordingly to

have notice of and appear at any and all hearings or proceedings, to produce evidence, to be

heard through counsel, to be served copies of all pleadings, motions, applications, notices, and

filings, and for such other participation and relief as may be appropriate under the Commission’s

Rules of Practice and Procedure and as the Commission may deem just and proper.

               DATED: Honolulu, Hawaii, October 18, 2012.

                                                   Respectfully submitted,


                                                   /s/Douglas A. Codiga
                                                   DOUGLAS A. CODIGA
                                                   Attorney for Movant
                                                   BLUE PLANET FOUNDATION




                                                 16
BEFORE THE FEDERAL ENERGY REGULATORY COMMISSION

                                      STATE OF HAWAII



The Gas Company, LLC                                 Docket No. CP12-498-000




                                 CERTIFICATE OF SERVICE

               I HEREBY CERTIFY that on this date a copy of the foregoing document was

duly served upon the following individuals by placing a copy of same in the United States Mail,

postage prepaid, and/or by electronic service, as follows:

         NATHAN NELSON                                          Electronic Service
         GENERAL COUNSEL
         THE GAS COMPANY
         Topa Financial Center 18th Floor
         745 Fort Street
         Honolulu, HI 96813
         nnelson@hawaii.gas.com

         SUEDEEN G. KELLY                                       Electronic Service
         GEORGE D. (CHIP) CANNON, JR.
         CYNTHIA A. MARLETTE
         G. SCOTT BINNINGS
         PATTON BOGGS LLP
         2550 M. Street NW
         Washington, DC 20037
         skelly@pattonboggs.com
         ccannon@pattonboggs.com
         cmarlette@pattonboggs.com
         sbinnings@pattonboggs.com
JEFFREY M. KISSEL                               Electronic Service
PRESIDENT AND CHIEF EXECUTIVE OFFICER
THE GAS COMPANY
Topa Financial Center 18th Floor
745 Fort Street
Honolulu, HI 96813
jkissel@hawaii.gas.com

CATHERINE P. AWAKUNI                            Electronic Service
CHIEF COUNSEL
KAIULANI K. SHINSATO
COMMISSION COUNSEL
MICHAEL M. COLON
COMMISSION COUNSEL
HAWAII PUBLIC UTILITIES COMMISSION
465 South King St., Room 103
Honolulu, HI 96813
Catherine.P.Awakuni@hawaii.gov
Michael.M.Colon@hawaii.gov
Kaiulani.K.Shinsato@hawaii.gov



   DATED: Honolulu, Hawaii, October 18, 2012.



                                 /s/Douglas A. Codiga
                                DOUGLAS A. CODIGA
                                Attorney for Blue Planet Foundation




                                2

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Blue Planet Foundation's Motion to Intervene in FERC Docket on The Gas Company's LNG Import Plan

  • 1. UNITED STATES OF AMERICA FEDERAL ENERGY REGULATORY COMMISSION The Gas Company, LLC Docket No. CP12-498-000 BLUE PLANET FOUNDATION’S MOTION TO INTERVENE AND CERTIFICATE OF SERVICE SCHLACK ITO A Limited Liability Law Company Douglas A. Codiga, Esq. Topa Financial Center 745 Fort Street, Suite 1500 Honolulu, Hawaii 96813 Tel. (808) 523-6047 Attorney for Movant Blue Planet Foundation
  • 2. UNITED STATES OF AMERICA FEDERAL ENERGY REGULATORY COMMISSION The Gas Company, LLC Docket No. CP12-498-000 BLUE PLANET FOUNDATION’S MOTION TO INTERVENE Blue Planet Foundation (“Blue Planet”), by and through its attorneys Schlack Ito, A Limited Liability Law Company, and pursuant to Rules 212 and 214 of the Federal Energy Regulatory Commission’s (“FERC” or “Commission”) Rules of Practice and Procedure,1 the Commission’s “Notice of Application” dated September 28, 2012 (“FERC Notice”), and 18 C.F.R. § 157.10, hereby respectfully submits its Motion to Intervene (“Motion”) in the above- captioned proceeding concerning the “Application of The Gas Company, LLC for Authorization Under Section 3 of the Natural Gas Act” filed August 9, 2012 (“Application”) by The Gas Company, LLC (“TGC” or “Company”), as follows.2 After decades of dependency, Hawaii has embarked on a major transition from the use of imported fossil fuels to the use of renewable energy for electricity production. The hallmark of this transition is widespread recognition that imported fossil fuels not only pose economic burdens and energy security risks that are no longer acceptable, but also that moving away from fossil fuels presents a singular opportunity to achieve substantial economic and environmental benefits. Moving decisively and irreversibly away from imported fossil fuels, as 1 See 18 C.F.R. § 385.212 (“Rule 212”) and 18 C.F.R. § 385.214 (“Rule 214”). 2 Blue Planet’s Motion is timely filed. See 18 C.F.R. § 385.210(b) (Notice will establish dates for filing interventions); FERC Notice at 1-2 (Motions to intervene shall be filed on or before the comment date of October 19, 2012). 2
  • 3. the signatories to the Hawaii Clean Energy Initiative recognized, holds the promise of delivering major benefits to Hawaii through energy independence. Although the transition away from fossil fuels is well underway, through its Application TGC now seeks Commission approval to import substantial quantities of liquefied natural gas (“LNG”) – a fossil fuel – in a manner that will continue and deepen Hawaii’s dependence on imported fossil fuels. Specifically, the Application seeks approval of what it terms “Phase 1 Facilities” as part of and in conjunction with a “comprehensive, multi-phase strategic plan” designed to replace the use of oil with the use of LNG as fuel in utility electricity generation units for up to 400 megawatts (“MW”) of electricity. Application at 2. Blue Planet respectfully opposes the Application for a number of reasons, including but not limited to the following:  The Application is deficient insofar as it seeks Commission approval of a comprehensive LNG plan yet does not discuss all aspects of that plan in sufficient detail to allow the Commission to approve such a plan at this time;  LNG is an imported fossil fuel and the proposed comprehensive LNG plan will continue and deepen Hawaii’s dependence on imported fossil fuels in a manner that is contrary to established State of Hawaii energy law and policy;  The Application fails to establish that the alleged benefits of the comprehensive LNG plan (e.g., reduced cost of electricity, reduced greenhouse gas emissions, improving the electric system’s ability to accommodate variable generation from renewable sources) outweigh established State energy law and policy and the anticipated further economic 3
  • 4. and environmental benefits from Hawaii’s ongoing transition to renewable energy for electricity generation; and  The Application proposes approval of a comprehensive LNG plan with limited public review of environmental and safety issues. In support of its Motion to intervene in this proceeding, Blue Planet further submits that its participation in this proceeding is in the public interest and is therefore authorized under the Commission’s rules. Blue Planet has extensive involvement, on behalf of the public, in regulatory, legislative, and outreach and education matters concerning Hawaii’s overdependence on imported petroleum, transitioning Hawaii from imported petroleum to renewable energy and energy efficiency to achieve the objectives of the Hawaii Clean Energy Initiative, and reducing energy costs for Hawaii’s consumers. As the Application establishes, those issues are directly at issue in this proceeding. I. ARGUMENT A. Standard for Grant of Intervention Pursuant to Rule 214, any person seeking to intervene to become a party must file a motion to intervene. 18 C.F.R. § 385.214(a)(3). The motion must state the position of the movant, to the extent known, and the basis in fact and law for the position. Id. § 385.212(b)(1). It must also state the movant’s interest in sufficient factual detail to demonstrate (i) that the movant has a right to participate which is expressly conferred by statute or by Commission rule, order or other action, (ii) the movant has or represents an interest which may be directly affected by the outcome of the proceeding, such as a consumer, customer or competitor, or (iii) the movant’s participation is in the public interest. Id. § 385.212(b)(2)(i)-(iii). Pursuant to 18 C.F.R. § 157.10, any person filing a petition to intervene shall state specifically whether a formal 4
  • 5. hearing on the application is sought. Id. at § 157.10(a)(1). No hearing is sought on the Application. B. Blue Planet’s Participation Is In the Public Interest. Blue Planet’s participation in this proceeding is in the public interest and is therefore authorized pursuant to Rule 214. See 18 C.F.R. § 385.212(b)(2)(iii)(intervention authorized where movant’s participation is in the public interest). Blue Planet’s participation in this proceeding is in the public interest because it is a public interest organization focused on energy-related issues that are essentially identical to the energy-related issues raised by the Application. These issues identified in the Application for Commission consideration include Hawaii’s overdependence on imported petroleum, transitioning Hawaii from imported fossil fuels to renewable energy, achieving the clean energy objectives of the Hawaii Clean Energy Initiative, reducing energy costs for Hawaii’s consumers, and the fuel supply for electricity generation, including potentially replacing the use of low sulfur fuel oil in Hawaii’s electricity generation units with LNG. See Application at 2-3, 11-16, 35-36. Each of the issues raised by the Application falls squarely within Blue Planet’s mission. Blue Planet is a Hawaii public interest organization, with over 10,000 registered “Friends of Blue Planet,” dedicated to promoting Hawaii’s swift transition to a clean energy economy through the rapid adoption of renewable energy and increased energy efficiency. As its mission statement indicates, Blue Planet is: committed to ending Hawaii’s dependency on oil, creating a model of energy self-sufficiency for ending the use fossil fuels on Earth. By switching to local, clean, renewable sources of energy, we can achieve energy security, economic growth, job creation, environmental protection, and a better quality of life for Hawaii residents. Through educational outreach, advancing bold policy, and developing programs that connect island communities with effective solutions, Blue Planet Foundation is moving Hawaii beyond oil—toward a future powered by clean energy. 5
  • 6. Blue Planet Foundation, “Our Goal.”3 Consistent with its mission, Blue Planet is actively engaged in regulatory proceedings, legislative efforts and public outreach and education concerning renewable energy and energy efficiency. For example, since 2008, the State of Hawaii Public Utilities Commission has granted Blue Planet’s motions to intervene, in the public interest, in a number of regulatory proceedings concerning renewable energy and energy policy. Blue Planet has successfully intervened in the feed-in tariff (Docket No. 2008-0273), decoupling (Docket No. 2008-0274), PV Host program (Docket No. 2009-0098), Integrated Resources Planning Framework (Docket No. 2009-0108), Rule 14H (Docket No. 2010-0015), Energy Efficiency Portfolio Standards (Docket No. 2010-0037), On-Bill Financing (Docket No. 2011-0186), Reliability Standards Working Group (Docket No. 2011-0206), and Integrated Resource Planning (Docket No. 2012-0036) dockets. Blue Planet has also been instrumental in passing key clean energy legislation in the public interest. In addition to recent legislation establishing the Hawaii Electricity Reliability Administrator, Act 155 (Energy Efficiency Portfolio Standards), and Act 204 (on-bill financing), Blue Planet’s legislative efforts include assisting with obtaining over $200,000 in federal funding to support Hawaii’s rural businesses for clean energy projects; successfully lobbying for passage of a first-in-the-nation carbon tax to provide millions annually for clean energy programs; and hosting public events and rallies at the State Capitol featuring prominent government speakers and involvement from local schools.4 3 Available at http://blueplanetfoundation.org/. 4 In addition to its involvement in energy-related regulatory and legislative matters, Blue Planet is extensively involved in efforts to promote energy efficiency in Hawaii. For example, and as further explained on its website, Blue Planet has replaced a total of 300,000 incandescent light bulbs statewide. Blue Planet has also worked with partners to facilitate the installation of over 110 solar water heaters in Hawaii. Blue Planet has also successfully 6
  • 7. The foregoing demonstrates that Blue Planet’s participation in this proceeding is in the public interest. Blue Planet has extensive involvement, on behalf of the public, in regulatory, legislative, and outreach and education matters concerning Hawaii’s overdependence on imported fossil fuel, transitioning Hawaii from imported fossil fuel to renewable energy and energy efficiency toward achieving HCEI objectives, and reducing energy costs for Hawaii’s consumers. As the Application establishes, those issues are directly at issue in this proceeding. developed a “Conserve-Fundraise-Learn!” or C.F.L. program, with educational and fundraising components for local schools, in conjunction with the Hawaii Energy, the KIUC Foundation, State of Hawaii Department of Business Economic Development and Tourism, the City and County of Honolulu, and other partners. Blue Planet has organized a “100,000 Better Bulbs Blitz,” as part of National Energy Awareness Month. Similarly, Blue Planet and Hawaii Energy have implemented a CFL exchange for condos, apartments and nonprofits. Blue Planet played an instrumental role in the community-based project and partnership with SustAINAble Molokai, 21st Century Community Learning Center, Molokai private and public schools, and the citizens of Molokai promoting CFLs. The program has replaced 36,000 incandescent light bulbs on Molokai with CFLs. The program, which generated local media coverage, features trade-in locations throughout the island, an in-school campaign, and broad community outreach. It was estimated that an average household will save over $200 per bulb and that Molokai residents together will save over $6.5 million total throughout the life of the CFLs. Based on successful implementation of the Molokai program, Blue Planet has implemented Hui Up Lanai, a community-based program in partnership with Laulima Kuha’o, Hawaii Energy, the State of Hawaii Department of Business Economic Development and Tourism, and other partners to provide an opportunity for residents of Lanai to become more energy-efficient through an Energy Star appliance trade-in. Blue Planet was awarded a $100,000 grant from the Hawaii Community Foundation’s Island Innovation Fund for its “Hawaii Energy Tracker Phase II – Show Me the Power” program. This program will increase energy awareness and encourage action through its “Show Me the Power” and “The Island Pulse” innovations. “Show Me the Power,” a new web application, will encourage households to change their energy habits by enabling users to see their real-time energy usage and allowing them to select from different scenarios (e.g., upgrading their refrigerator to an Energy Star appliance) that will show cost and energy savings. “The Island Pulse” is targeted to create energy consumption awareness in communities, businesses, and groups through an energy use public display in high-traffic locations (e.g., shopping malls and restaurants). Blue Planet has produced and aired a one-hour television show, “Hawaii Home Energy Makeover,” which follows two Oahu families as they transform their homes with energy-efficient technology, from simple, cool-roof improvements to the installation of the latest in photovoltaic systems. The show is intended to “inspire all of us to be part of the island’s clean energy future.” Blue Planet has given hundreds of presentations and related outreach and education activities including hosting rallies at the Hawaii State Capitol generating a significant student presence; sending University of Hawaii students to Washington, D.C. for Powershift and successfully engaging them as volunteers and advocates; giving dozens of presentations to Hawaii schools; hosting Clean Energy Day at University of Hawaii; organizing school and community events statewide and making dozens of presentations to educate thousands about clean energy; and conducting a Department of Energy Technical Assistance Program-sponsored webinar presentation for state and local officials. Finally, Blue Planet’s website contains several web pages of detailed practical information to educate and encourage consumers about energy efficiency, including self-audits, professional home energy audits, energy efficient appliances, the Energy Star program, solar water heating, use of daylights, LEDs, energy habits and conservation tips, roof and attic insulation and ventilation, radiant barriers, energy efficient windows. 7
  • 8. Blue Planet’s participation in this proceeding as an intervenor party is therefore appropriate and justified under Rule 214.5 C. The Application Fails to Discuss the Comprehensive LNG Plan in Sufficient Detail to Support Commission Approval at This Time. Blue Planet opposes the Application because it is deficient insofar as it seeks Commission approval of a comprehensive LNG plan yet does not discuss all aspects of that plan in sufficient detail for the Commission to approve the plan at this time. The Application seeks Commission authorization, pursuant to section 3 of the Natural Gas Act, as amended6 (“NGA”), to operate facilities it alleges fall within the definition of “LNG terminal” in NGA § 2(11). Application at 1. TGC seeks to obtain, install and “ISO containers, storage facilities, mobile vaporization/regasification units and related facilities” as part of (“Phase 1 Facilities”). Application at 2. As noted above, the Application seeks Commission approval of a “comprehensive, multi-phase strategic plan” (“comprehensive LNG plan”) in addition to the Phase 1 Facilities. Id. at 2. TGC asserts throughout the Application that it seeks Commission approval only of the Phase 1 Facilities. See, e.g., Application at 3, 17 (authorization sought solely for operation of Phase 1 Facilities); id. at 22 (Phases 2 and 3 “are not the subject of this Application”) (emphasis in original). These assertions are contradicted by the Application itself, which plainly demonstrates that TGC seeks Commission approval of its comprehensive LNG plan as part of and in conjunction with approval of the Phase 1 Facilities. 5 These same reasons establish that Blue Planet has an interest, as a “consumer” and/or utility “customer,” which may be directly affected by the outcome of the proceeding within the meaning of 18 C.F.R. § 325.214(b)(2)(ii)(A), (B). Blue Planet’s right to participate is conferred by Rule 214, which allows for any person seeking to intervene to become a party to file a motion to intervene. 18 C.F.R. § 325.214(a)(3). 6 15 U.S.C. §717(b)(a) (2006). 8
  • 9. For example, the Application repeatedly states that it involves Commission approval of a comprehensive LNG plan. The Application states that TGC has developed: a comprehensive, multi-phased LNG strategic plan. When implemented, gas from LNG will be used to meet up to 75% of the Company’s customers’ requirements. It also will provide fuel for up to 400 MW of existing and new conventional and/or combined cycle power generation facilities, as well as for industrial and other commercial applications in the State. In addition, implementation of the Company’s LNG strategy will help the State achieve the “Hawaii Clean Energy Initiative” goal of replacing up to 70% of the energy sourced from oil with energy produced from renewable sources or saved through energy efficiency programs, an initiative that was adopted to reduce the State’s heavy dependence on petroleum.” Application at 2-3 (emphasis added). The Application further states that Phase 1 is directly tied to Commission approval of subsequent phases of TGC’s comprehensive LNG Plan. For example, the Application argues that the Phase 1 Facilities are the: initial phase of, and an integral component of, the Company’s longer-term, comprehensive LNG supply and distribution strategy. The overall objective of this comprehensive LNG strategy is to ultimately develop the facilities necessary to (i) supply gas for up to 75% of its customers’ requirements, and (ii) provide fuel for up to 400 MW of power generation facilities and for industrial and other commercial applications. The implementation of this strategy will include, in Phases 2 and 3, the installation of permanent storage and permanent vaporization facilities.” Application at 4 (emphasis added); see also Application at 34-35 (Phase 1 Facilities are a “critical component” of TGC’s comprehensive LNG plan). TGC’s characterization of the Phase 1 Facilities as an “integral component” and “critical component” of its comprehensive LNG plan reinforce the conclusion that the Application seeks approval not only of the Phase 1 Facilities but also TGC’s comprehensive LNG plan. 9
  • 10. Moreover, through its Application, TGC ties Phase 1 directly to achievement of Hawaii Clean Energy Initiative (“HCEI”)7 objectives, further establishing that the Application essentially seeks Commission approval of a comprehensive LNG plan at this time: The Phase 1 Facilities not only will help ensure reliability and diversity of supply for the Company’s customers, but will also assist the State in meeting the aggressive renewable energy and efficiency goals of the Hawaii Clean Energy Initiative, which are critical to assisting the State in reducing its heavy dependence on petroleum. Introducing LNG into the State will also reduce costs for Hawaii’s energy consumers, which are currently the highest in the country. Application at 6; see also Application at 35-36 (“The Phase 1 Facilities Further the Goals of the Hawaii Clean Energy Initiative.”). The Application further states that all phases of its comprehensive LNG plan are to occur at around the same time, rather than sequentially. See, e.g., Application at 3 (TGC will implement its “strategic LNG plan in three, mostly parallel, phases”); id. at 17. The application does not discuss the comprehensive LNG plan in sufficient detail, however, upon which the Commission may approve such a plan at this time. Specifically, the Application requests Commission authorization to implement a plan that will allow it to (i) use imported LNG to meet up to 75% of TGC’s customers’ requirements, and (ii) provide fuel for up to 400 MW of existing and new conventional and/or combined cycle power generation facilities. Blue Planet submits that the Application fails to discuss these two aspects of the proposed plan, as well as other aspects, in sufficient detail. Blue Planet therefore opposes the Application on this additional basis. 7 On January 31, 2008, the State and the U.S. Department of Energy signed a Memorandum of Understanding to establish the HCEI. See “Memorandum of Understanding Between the State of Hawaii and the U.S. Department of Energy”at 1, available at http://apps1.eere.energy.gov/news/pdfs/hawaii_mou.pdf. On October 20, 2008, the Energy Agreement was signed by the State and the Hawaiian Electric Companies. See “Energy Agreement Among the State of Hawaii, Division of Consumer Advocacy of the Department of Commerce and Consumer Affairs, and the Hawaiian Electric Companies” dated Oct. 20, 2008 (“Energy Agreement”), available at http://hawaii.gov/dbedt/info/energy/agreement/signed2008oct20.pdf. 10
  • 11. D. The Comprehensive LNG Plan Will Continue Hawaii’s Dependence on Imported Fossil Fuels, Contrary to Hawaii Energy Law and Policy. LNG is an imported fossil fuel. None of the distinctions drawn in the Application can overcome this simple fact. As such, the effect of the comprehensive LNG plan will be to continue and deepen Hawaii’s dependence on imported fossil fuels in a manner that is contrary to established State of Hawaii energy law and policy. This is another reason Blue Planet must oppose the Application. In this regard, Blue Planet agrees with HECO in its 2008 Integrated Resource Plan, which concluded that imported LNG may hamper Hawaii’s transition to renewable energy: Although LNG offers potential for fuel diversity and some reduction in GHG emission, it would require tremendous fuel infrastructure improvements that would likely preclude the transition to renewable energy. More importantly, LNG is still a fossil fuel and its use would merely transfer dependence from one imported fossil fuel to another. For these reasons, LNG was not considered further in HECO's IRP-4. It is clear that creating an LNG system on Oahu would have far reaching impacts to the state energy situation that go beyond that of the electric utility including impacts to the local communities. See Hawaiian Electric Company, Inc., Integrated Resource Plan 2009-2028 dated Sept. 30, 2008 at § 6.2.4 (Docket No. 2007-0084) (emphasis added). The plan will not aid Hawaii in achieving HCEI objectives. LNG imported into Hawaii pursuant to the proposed plan is not a “clean energy” within the meaning of HCEI.8 In addition, the Application appears to misstate the goal of HCEI and the Energy Agreement. The Energy Agreement states throughout that the objective of the HCEI is to reduce Hawaii’s dependence on imported fossil fuels. See id. at 1 (“the future of Hawaii requires that we move 8 In this regard, Blue Planet respectfully questions the appropriateness of TGC holding itself out to the public as “The Clean Energy Company.” See http://www.hawaiigas.com/ (Identifying TGC as “Hawaii Gas: Hawaii’s Clean Energy Company”). Although TGC’s website states that it is “committed to making 50% of our gas from renewable and sustainable sources by 2015,” it appears that during approximately this same time period TGC also seeks to import LNG to meet up to 75% of TGC’s customers’ requirements and to provide fuel for up to 400 MW of existing and new conventional and/or combined cycle power generation facilities. See http://www.hawaiigas.com/who-we- are.aspx (50% of gas from renewable resources by 2015). 11
  • 12. more decisively and irreversibly away from imported fossil fuels . . . ratepayer benefits [are to be determined relative to] using imported fossil fuels[.]”) (emphasis added); id. at 2 (Energy Agreement signatories commit to “monitor our progress in reducing our use of imported fossil fuel”) (emphasis added); id. at 7 (HECO Companies shall not add any new “fossil-based generation” over 2 MW beyond those already approved by the Commission or under construction without equivalent megawatt hour retirements); id. at 9 (Energy Agreement parties are committed to the “integration of non-fossil fuel[.]”) (emphasis added); id. at 21 (Energy Agreement § 11, “Displacement of Fossil Fuel Energy and ‘Retirements’) (emphasis added); id. at 22 (Energy efficiency programs “shall not provide incentives to encourage customers to switch to other fossil fuels”) (emphasis added); id. at 26 (noting military services programs to “reduce dependence on fossil fuels”) (emphasis added). Despite the Energy Agreement’s overriding emphasis on reducing fossil fuel dependency, the Application asserts that the goal of HCEI is to replace “energy sourced from oil.” Id. at 13, 35; see also id. at 15 (arguing LNG supports HCEI because it can “significantly reduce the State’s dependence on oil.”). This misstates the goal of the HCEI. The goal is to reduce the State’s dependence on fossil fuels. The term “fossil fuel” includes LNG. Thus, TGC’s comprehensive LNG plan will not achieve HCEI objectives and Blue Planet submits that the achievement of HCEI objectives provides no basis for the Commission approval of the Application. This conclusion is reinforced by the State’s Renewable Portfolio Standards (“RPS”) law, which codifies the HCEI objective of obtaining 40% renewable energy by 2030. See Haw. Rev. § 269-92(a)(4) (establishing electric utility renewable portfolio standard of 40% by 2030). It is axiomatic that an electric utility must rely solely upon renewable energy, and not 12
  • 13. fossil fuel, to achieve compliance with the RPS law. Indeed, the definition of “renewable energy” in the Hawaii RPS law enumerates nine types of renewable energy, none of which encompass imported LNG. For the same reasons LNG cannot aid Hawaii in achieving the goals of the HCEI, LNG also cannot aid Hawaii’s electric utilities in demonstrating compliance with the RPS law, including the requirement of 40% renewable energy by 2030 shared by both HCEI and the RPS law. E. The Reasons Advanced In Support of the Comprehensive LNG Plan Are Not Persuasive. The Application fails to establish that the alleged benefits of the comprehensive LNG plan outweigh the established State energy law and policy and the anticipated further economic and environmental benefits from Hawaii’s ongoing transition to renewable energy for electricity generation. For example, the Application suggests the comprehensive LNG plan will ultimately reduce the cost of electricity. Projected reductions in the cost of electricity from the use of LNG pursuant to the comprehensive plan are based upon projected fuel prices. Fuel prices for LNG may increase based on increased environmental compliance costs associated with stricter government regulation of the hydraulic fracturing (or, “fracking”) natural gas extraction process, increased competition from Asian consumers, and other similar reasons. It is unclear at this time whether substantial monetary investments in infrastructure improvements (such as harbor modifications), replacement or retrofitting of electricity generation units, and related major costs necessary to implement the proposed comprehensive LNG plan will allow the projected electricity cost reductions. It is noted also that any beneficial impact of the comprehensive LNG plan on Hawaii’s local economy is unclear insofar as TGC is owned by a 13
  • 14. multinational corporation. See Application at 7 (TGC is “wholly-owned indirect subsidiary of Macquarie Infrastructure Company[.]”). It is equally unclear whether LNG is a “cleaner” fossil fuel insofar as several published analyses have concluded that the lifecycle greenhouse gas emissions associated with LNG “fracking,” transport, and energy generation are greater than those associated with other fossil fuels – even coal.9 The Application also alleges the comprehensive LNG plan will improve the electric system’s ability to accommodate variable generation from renewable sources. See Application at 36 (alleging that “as demonstrated elsewhere in the U.S., improve the efficiency of wind and solar power generating resources.”). Based upon the information provided in the Application, Blue Planet is unable to properly evaluate this assertion and, in any event, views the anticipated economic and environmental benefits from Hawaii’s ongoing transition to renewable energy as outweighing any such purported electric system improvements. For these and other related reasons, Blue Planet does not view the Application as establishing clearly convincing reasons in support of the plan that outweigh other more compelling considerations at this time. F. The Application Proposes Approval of a Comprehensive LNG Plan with Limited Public Review of Environmental and Safety Issues. Blue Planet further opposes the Application insofar as it does not comply with the Commission’s administrative rules concerning environmental review. TGC filed the Application pursuant to 18 C.F.R Part 153. Application at 1. Under 18 C.F.R. § 153.8(a)(7)(i), an application 9 See, e.g., Howarth et al., “Methane Emissions from Natural Gas Systems,” National Climate Assessment (Feb. 2012), available at http://www.eeb.cornell.edu/howarth/Howarth%20et%20al.%20-- %20National%20Climate%20Assessment.pdf (surveying various estimates of lifecycle GHG emissions associated with LNG); see also Alvarez et al., “Greater focus needed on methane leakage from natural gas infrastructure,” Proc. Nat’l Acad. Sci. (April 24, 2012), available at http://www.ncbi.nlm.nih.gov/pmc/articles/PMC3340093/ (“given limited current evidence, it is likely that leakage at individual natural gas well sites is high enough, when combined with leakage from downstream operations, to make the total leakage exceed the 3.2% threshold beyond which gas becomes worse for the climate than coal for at least some period of time”). 14
  • 15. such as this must include an “environmental report as specified in § 380.3 and §380.12 of this chapter.” Id. Under 18 C.F.R. § 380.12(a)(i), the applicant must submit an “environmental report with any application that proposes the construction, operation or abandonment of any facility identified in § 380.3(c)(2)(i).” Id. Although the Application includes an environmental report attached as Exhibit F to the Application, the environmental report does not assess the comprehensive LNG plan but instead limits review to the Phase 1 Facilities – despite the fact that the Application seeks approval of both Phase 1 and the comprehensive plan. The Application therefore does not comply with these environmental regulations and the Exhibit F environmental report appears to constitute an impermissible segmentation of TGC’s assessment of the environmental impacts of the comprehensives LNG plan. Blue Planet also opposes the Application insofar as the Exhibit F environmental report is deficient or incomplete. For example, for areas “within a designated coastal zone management area, a consistency determination or evidence that the owner has requested a consistency determination from the state’s coastal zone management program” is required. 18 C.F.R. § 380.12(c)(2)(F); see also 15 C.F.R. § 930.53 (Federally-licensed activities must be consistent with approved State coastal zone management programs). The Application does not reference such a consistency determination. Finally, Blue Planet opposes the Application insofar as it seeks to establish the Commission’s exclusive jurisdiction over the proposed Phase 1 Facilities and comprehensive LNG plan in a manner that may limit local community involvement in the environmental and safety review process. The Application asserts that the Phase 1 Facilities and comprehensive LNG plan constitute an “LNG terminal” within the meaning of NGA § 2(11) and that under NGA 15
  • 16. § 3(e) the Commission has exclusive authority and jurisdiction over such an “LNG terminal.” See Application at 23-33. The Application therefore raises questions concerning TGC’s duty to comply with Hawaii environmental review and public participation requirements. See id. at 30- 34 (arguing Hinshaw exemption to NGA § 3(e), allowing states to retain jurisdiction over LNG terminal environmental and safety issues, does not apply). Similarly, the Application seeks Commission approval to forego compliance with the six-month National Environmental Policy Act pre-filing process, which approval Blue Planet does not support. Application at 38-40. Exclusive federal jurisdiction that has the effect of limiting involvement of the local community on critical environmental and safety issues is a further basis upon which Blue Planet, as a Hawaii clean energy public interest organization, must oppose the Application. II. CONCLUSION For all of the foregoing reasons, Blue Planet respectfully requests the Commission to grant its Motion to intervene in this proceeding concerning the Application and for Blue Planet to be made a full party to the proceeding, with all attendant rights and duties, and accordingly to have notice of and appear at any and all hearings or proceedings, to produce evidence, to be heard through counsel, to be served copies of all pleadings, motions, applications, notices, and filings, and for such other participation and relief as may be appropriate under the Commission’s Rules of Practice and Procedure and as the Commission may deem just and proper. DATED: Honolulu, Hawaii, October 18, 2012. Respectfully submitted, /s/Douglas A. Codiga DOUGLAS A. CODIGA Attorney for Movant BLUE PLANET FOUNDATION 16
  • 17. BEFORE THE FEDERAL ENERGY REGULATORY COMMISSION STATE OF HAWAII The Gas Company, LLC Docket No. CP12-498-000 CERTIFICATE OF SERVICE I HEREBY CERTIFY that on this date a copy of the foregoing document was duly served upon the following individuals by placing a copy of same in the United States Mail, postage prepaid, and/or by electronic service, as follows: NATHAN NELSON Electronic Service GENERAL COUNSEL THE GAS COMPANY Topa Financial Center 18th Floor 745 Fort Street Honolulu, HI 96813 nnelson@hawaii.gas.com SUEDEEN G. KELLY Electronic Service GEORGE D. (CHIP) CANNON, JR. CYNTHIA A. MARLETTE G. SCOTT BINNINGS PATTON BOGGS LLP 2550 M. Street NW Washington, DC 20037 skelly@pattonboggs.com ccannon@pattonboggs.com cmarlette@pattonboggs.com sbinnings@pattonboggs.com
  • 18. JEFFREY M. KISSEL Electronic Service PRESIDENT AND CHIEF EXECUTIVE OFFICER THE GAS COMPANY Topa Financial Center 18th Floor 745 Fort Street Honolulu, HI 96813 jkissel@hawaii.gas.com CATHERINE P. AWAKUNI Electronic Service CHIEF COUNSEL KAIULANI K. SHINSATO COMMISSION COUNSEL MICHAEL M. COLON COMMISSION COUNSEL HAWAII PUBLIC UTILITIES COMMISSION 465 South King St., Room 103 Honolulu, HI 96813 Catherine.P.Awakuni@hawaii.gov Michael.M.Colon@hawaii.gov Kaiulani.K.Shinsato@hawaii.gov DATED: Honolulu, Hawaii, October 18, 2012. /s/Douglas A. Codiga DOUGLAS A. CODIGA Attorney for Blue Planet Foundation 2