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Erik Jacobson
Director
Regulatory Relations

Pacific Gas and Electric Company
77 Beale St., Mail Code B13U
P.O. Box 770000
San Francisco, CA 94177
Fax: 415-973-3582

February 18, 2020

Advice 4217-G
(Pacific Gas and Electric Company ID U 39 G)

Public Utilities Commission of the State of California
Subject:

Pacific Gas and Electric’s Advice Letter to Revise the 2020 Climate
Credit Amount and Associated Tariff Sheets per Resolution G-3565

Purpose
Pursuant to Ordering Paragraph 2 of Resolution G-3565 in the California Public Utilities
Commission (CPUC or Commission) Rulemaking (R.) 19-01-011, Pacific Gas and Electric
Company (PG&E) hereby submits revisions to its gas tariffs. The affected tariff sheets are
included in the enclosed Attachment 1.
Background
In 2018, Senate Bill (SB) 1477 was signed into law, which required the Commission to
oversee the development of two new Building Decarbonization programs: the Building
Initiative for Low Emissions Development (BUILD) program, and the Technology and
Equipment for Clean Heating (TECH) program. SB 1477 also required the Commission
to annually allocate $50 million of the revenues received by a gas corporation as result of
the direct allocation of greenhouse gas emissions allowances provided to gas
corporations as part of a market-based compliance mechanism (Net GHG Proceeds) to
the TECH Initiative and the BUILD Program. In order to implement SB 1477, the
Commission opened R.19-01-011, the Rulemaking Regarding Building Decarbonization.
On February 6, 2020, the Commission issued Resolution G-3565 (Resolution). The
purpose of Resolution G-3565 is to adjust the amount of the 2020 Climate Credit to
ensure the availability of first year funding for SB 1477 implementation. The
Resolution allocates the $50 million funding obligation across each of the four gas utilities,
of which PG&E’s share is $21.17 million, and orders each utility to deduct its allocated
share from its Net GHG Proceeds.1
PG&E is submitting this advice letter in compliance with Ordering Paragraph (OP) 2 of
Resolution G-3565, which states:
1

See Ordering Paragraph 1, Resolution G-3565





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Advice 4217-G -2- February 18, 2020 The four gas utilities shall file Tier 1 advice letters within 10 days of the effective date of this Resolution to update the amount of GHG proceeds that will be returned to customers after subtracting their respective shares of the $50 million funding obligation from their Net GHG Proceeds Available for Customer Returns and provide the revised 2020 Climate Credit amount. The advice letters must also include revised tariff sheets that reflect the updated Climate Credit amount. Additionally, as required by Ordering Paragraph 3 of the resolution, PG&E has made the required modifications to Table C2 to reflect the deduction of PG&E’s share of the SB 1477 funding. PG&E’s modified Table C is included in Attachment 2 of this submittal. Confidentiality Per GO 66-C, Section 583 of the Public Utilities Code, and D.15-10-032, specific values in Attachment 2 are confidential as described in the attached confidentiality declaration. This submittal would not increase any current rate or charge, cause the withdrawal of service, or conflict with any rate schedule or rule. Protests Anyone wishing to protest this submittal may do so by letter sent via U.S. mail, facsimile or E-mail, no later than March 9, 2020, which is 20 days after the date of this submittal. Protests must be submitted to: CPUC Energy Division ED Tariff Unit 505 Van Ness Avenue, 4th Floor San Francisco, California 94102 Facsimile: (415) 703-2200 E-mail: EDTariffUnit@cpuc.ca.gov Copies of protests also should be mailed to the attention of the Director, Energy Division, Room 4004, at the address shown above. The protest shall also be sent to PG&E either via E-mail or U.S. mail (and by facsimile, if possible) at the address shown below on the same date it is mailed or delivered to the Commission: 2 The format of Table C was originally established in Decision 15-10-032.
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Advice 4217-G -3- February 18, 2020 Erik Jacobson Director, Regulatory Relations c/o Megan Lawson Pacific Gas and Electric Company 77 Beale Street, Mail Code B13U P.O. Box 770000 San Francisco, California 94177 Facsimile: (415) 973-3582 E-mail: PGETariffs@pge.com Any person (including individuals, groups, or organizations) may protest or respond to an advice letter (General Order 96-B, Section 7.4). The protest shall contain the following information: specification of the advice letter protested; grounds for the protest; supporting factual information or legal argument; name, telephone number, postal address, and (where appropriate) e-mail address of the protestant; and statement that the protest was sent to the utility no later than the day on which the protest was submitted to the reviewing Industry Division (General Order 96-B, Section 3.11). Effective Date PG&E requests that this Tier 1 advice submittal become effective upon date of submittal, which is February 18, 2020. Notice In accordance with General Order 96-B, Section IV, a copy of this advice letter is being sent electronically and via U.S. mail to parties shown on the attached list and the parties on the service list for R.19-01-011. Address changes to the General Order 96-B service list should be directed to PG&E at email address PGETariffs@pge.com. For changes to any other service list, please contact the Commission’s Process Office at (415) 703-2021 or at Process_Office@cpuc.ca.gov. Send all electronic approvals to PGETariffs@pge.com. Advice letter submittals can also be accessed electronically at: http://www.pge.com/tariffs/. /S/ Erik Jacobson Director, Regulatory Relations Attachments: Attachment 1 – Tariffs Attachment 2 – Public Attachment 2 Natural Gas GHG Table C – GHG Allowance Proceeds Redacted Confidential Attachment 2
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Advice 4217-G -4- February 18, 2020 Natural Gas GHG Table C – GHG Allowance Proceeds Confidential Attachment 3 – Confidentiality Declaration cc: Service List: R.19-01-011
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ADVICE LETTER SUMMARY ENERGY UTILITY MUST BE COMPLETED BY UTILITY (Attach additional pages as needed) Company name/CPUC Utility No.: Pacific Gas and Electric Company (ID U39 G) Utility type: ELC GAS PLC HEAT ELC = Electric PLC = Pipeline WATER Contact Person: Annie Ho Phone #: (415) 973-8794 E-mail: PGETariffs@pge.com E-mail Disposition Notice to: AMHP@pge.com EXPLANATION OF UTILITY TYPE GAS = Gas WATER = Water HEAT = Heat (Date Submitted / Received Stamp by CPUC) Tier Designation: 1 Advice Letter (AL) #: 4217-G Subject of AL: Pacific Gas and Electric’s Advice Letter to Revise the 2020 Climate Credit Amount and Associated Tariff Sheets per Resolution G-3565 Keywords (choose from CPUC listing): Compliance, AL Type: Monthly Quarterly Annual One-Time Other: If AL submitted in compliance with a Commission order, indicate relevant Decision/Resolution #: G-3565 Does AL replace a withdrawn or rejected AL? If so, identify the prior AL: No Summarize differences between the AL and the prior withdrawn or rejected AL: Confidential treatment requested? Yes No If yes, specification of confidential information: See Attachment 3 - Confidentiality Declaration Confidential information will be made available to appropriate parties who execute a nondisclosure agreement. Name and contact information to request nondisclosure agreement/ access to confidential information: Robert Gomez, (415) 973-8681 Resolution required? Yes No Requested effective date: 2/18/20 No. of tariff sheets: 12 Estimated system annual revenue effect (%): N/A Estimated system average rate effect (%): N/A When rates are affected by AL, include attachment in AL showing average rate effects on customer classes (residential, small commercial, large C/I, agricultural, lighting). Tariff schedules affected: See Attachment 1 Service affected and changes proposed1: N/A Pending advice letters that revise the same tariff sheets: N/A 1 Discuss in AL if more space is needed. Clear Form
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Protests and all other correspondence regarding this AL are due no later than 20 days after the date of this submittal, unless otherwise authorized by the Commission, and shall be sent to: CPUC, Energy Division Attention: Tariff Unit 505 Van Ness Avenue San Francisco, CA 94102 Email: EDTariffUnit@cpuc.ca.gov Name: Erik Jacobson, c/o Megan Lawson Title: Director, Regulatory Relations Utility Name: Pacific Gas and Electric Company Address: 77 Beale Street, Mail Code B13U City: San Francisco, CA 94177 Zip: 94177 State: California Telephone (xxx) xxx-xxxx: (415)973-2093 Facsimile (xxx) xxx-xxxx: (415)973-3582 Email: PGETariffs@pge.com Name: Title: Utility Name: Address: City: State: District of Columbia Telephone (xxx) xxx-xxxx: Facsimile (xxx) xxx-xxxx: Email: Zip: Clear Form
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Attachment 1 Advice 4217-G Cal P.U.C. Sheet No. Title of Sheet Cancelling Cal P.U.C. Sheet No. 35660-G GAS SCHEDULE G-1 RESIDENTIAL SERVICE Sheet 1 35625-G 35661-G GAS SCHEDULE G1-NGV RESIDENTIAL NATURAL GAS SERVICE FOR COMPRESSION ON CUSTOMERS' PREMISES Sheet 1 35631-G 35662-G GAS SCHEDULE GL-1 RESIDENTIAL CARE PROGRAM SERVICE Sheet 1 35632-G 35663-G GAS SCHEDULE GL1-NGV RESIDENTIAL CARE PROGRAM NATURAL GAS SERVICE FOR COMPRESSION ON CUSTOMERS' PREMISES Sheet 1 35633-G 35664-G GAS SCHEDULE GM MASTER-METERED MULTIFAMILY SERVICE Sheet 2 35634-G 35665-G GAS SCHEDULE GML MASTER-METERED MULTIFAMILY CARE PROGRAM SERVICE Sheet 2 35635-G 35666-G GAS SCHEDULE GS MULTIFAMILY SERVICE Sheet 1 35636-G 35667-G GAS SCHEDULE GSL MULTIFAMILY CARE PROGRAM SERVICE Sheet 1 35637-G 35668-G GAS SCHEDULE GT MOBILEHOME PARK SERVICE Sheet 1 35639-G 35669-G GAS SCHEDULE GTL MOBILEHOME PARK CARE PROGRAM SERVICE Sheet 1 35640-G 35670-G GAS TABLE OF CONTENTS Sheet 1 35652-G 35671-G GAS TABLE OF CONTENTS Sheet 2 35653-G Page 1 of 1
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35660-G 35625-G San Francisco, California GAS SCHEDULE G-1 RESIDENTIAL SERVICE APPLICABILITY: Sheet 1 This rate schedule1 applies to natural gas service to Core End-Use Customers on PG&E’s Transmission and/or Distribution Systems. To qualify, service must be to individually-metered single family premises for residential use, including those in a multifamily complex, and to separately-metered common areas in a multifamily complex where Schedules GM, GS, or GT are not applicable. Common area accounts that are separately metered by PG&E have an option of switching to a core commercial rate schedule. Common area accounts are those accounts that provide gas service to common use areas as defined in Rule 1. Per D.15-10-032 and D.18-03-017, transportation rates include GHG Compliance Cost for non-covered entities. Customers who are directly billed by the Air Resources Board (ARB), i.e., covered entities, are exempt from paying AB 32 GHG Compliance Costs through PG&E’s rates.2 A “Cap-and-Trade Cost Exemption” credit for these costs will be shown as a line item on exempt customers’ bills.3, 4 Schedule G-1 applies everywhere within PG&E’s natural gas Service Territory. TERRITORY: Customers on this schedule pay a Procurement Charge and a Transportation Charge, per meter, as shown below. The Transportation Charge will be no less than the Minimum Transportation Charge, as follows: RATES: Minimum Transportation Charge: 5 Per Day $0.09863 Per Therm Procurement: Baseline $0.44791 (R) Excess $0.44791 (R) Transportation Charge: $0.99712 $1.59540 Total: $1.44503 (R) California Natural Gas Climate Credit (per Household, annual payment occurring in the April bill cycle) ($27.18) (I) $2.04331 (R) Public Purpose Program Surcharge: Customers served under this schedule are subject to a gas Public Purpose Program (PPP) Surcharge under Schedule G-PPPS. See Preliminary Statement, Part B for the Default Tariff Rate Components. The Procurement Charge on this schedule is equivalent to the rate shown on informational Schedule G-CP—Gas Procurement Service to Core End-Use Customers. _________________________ 1 2 3 4 5 PG&E’s gas tariffs are available online at www.pge.com. Covered entities are not exempt from paying costs associated with LUAF Gas and Gas used by Company Facilities. The exemption credit will be equal to the effective non-exempt AB 32 GHG Compliance Cost Rate ($ per therm) included in Preliminary Statement – Part B, multiplied by the customer’s billed volumes (therms) for each billing period. PG&E will update its billing system annually to reflect newly exempt or newly excluded customers to conform with lists of Directly Billed Customers provided annually by the ARB. The Minimum Transportation charge does not apply to submetered tenants of master-metered customers served under gas rate Schedules GS and GT. (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35661-G 35631-G San Francisco, California GAS SCHEDULE G1-NGV RESIDENTIAL NATURAL GAS SERVICE FOR COMPRESSION ON CUSTOMERS’ PREMISES APPLICABILITY: Sheet 1 This rate schedule1 applies to natural gas service to Core End-Use Customers on PG&E’s Transmission and/or Distribution Systems. Service on this schedule is an option to those customers for whom Schedule G-1 applies2 and is for residential use where a Natural Gas Vehicle (NGV) has been leased or purchased and a home refueling appliance (HRA) has been installed for the sole purpose of compressing natural gas for use as a motor-vehicle fuel for the personal vehicle(s) owned or leased by the customer served under this rate schedule. Compression of natural gas to the pressure required for its use as motor-vehicle fuel will be performed by the Customer’s equipment at the Customer’s designated premises only. Per D.15-10-032 and D.18-03-017, transportation rates include GHG Compliance Cost for non-covered entities. Customers who are directly billed by the Air Resources Board (ARB), i.e., covered entities, are exempt from paying AB 32 GHG Compliance Costs through PG&E’s rates.3 A “Cap-and-Trade Cost Exemption” credit for these costs will be shown as a line item on exempt customers’ bills.4, 5 TERRITORY: Schedule G1-NGV applies everywhere within PG&E natural gas Service Territory. RATES: Customers on this schedule pay a Customer Charge, a Procurement Charge and a Transportation Charge as follows: Per Day Customer Charge: $0.41425 Per Therm Procurement Charge: $0.41780 (R) Transportation Charge: $0.73718 Total: $1.15498 (R) California Natural Gas Climate Credit (per Household, annual payment occurring in the April bill cycle) ($27.18) (I) _________________________ 1 2 3 4 5 PG&E’s gas tariffs are available online at www.pge.com. Schedule GL-1 applies to applicants who qualify for California Rates for Energy (CARE) under the eligibility and certification criteria set forth in Rules 19.1, 19.2, or 19.3. Covered entities are not exempt from paying costs associated with LUAF Gas and Gas used by Company Facilities. The exemption credit will be equal to the effective non-exempt AB 32 GHG Compliance Cost Rate ($ per therm) included in Preliminary Statement – Part B, multiplied by the customer’s billed volumes (therms) for each billing period. PG&E will update its billing system annually to reflect newly exempt or newly excluded customers to conform with lists of Directly Billed Customers provided annually by the ARB. (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35662-G 35632-G San Francisco, California GAS SCHEDULE GL-1 RESIDENTIAL CARE PROGRAM SERVICE APPLICABILITY: Sheet 1 This rate schedule1 applies to natural gas service to Core End-Use Customers on PG&E’s Transmission and Distribution Systems. To qualify, service must be to individually-metered single family premises for residential use, including those in a multifamily complex, where the applicant qualifies for California Alternate Rates for Energy (CARE) under the eligibility and certification criteria set forth in Rules 19.1, 19.2, or 19.3. Common area accounts that are separately metered by PG&E have an option of switching to a core commercial rate schedule. Common area accounts are those accounts that provide gas service to common use areas as defined in Rule 1. Per D.15-10-032 and D.18-03-017, transportation rates include GHG Compliance Cost for non-covered entities. Customers who are directly billed by the Air Resources Board (ARB), i.e., covered entities, are exempt from paying AB 32 GHG Compliance Costs through PG&E’s rates.2 A “Cap-and-Trade Cost Exemption” credit for these costs will be shown as a line item on exempt customers’ bills.3, 4 TERRITORY: Schedule GL-1 applies everywhere within PG&E’s natural gas Service Territory. RATES: Customers on this schedule pay a Procurement Charge and a Transportation Charge, per meter. Qualifying CARE Core End-Use Customers receive a CARE Discount, which applies to both procurement and transportation charges. Per Therm Baseline Procurement Charge: Transportation Charge: CSI- Solar Thermal Exemption CARE Discount: Excess $0.44791 $0.99712 ($0.00205) ($0.28860) (R) (R) (I) $0.44791 $1.59540 ($0.00205) ($0.40825) Total: $1.15438 (R) $1.63301 (R) California Natural Gas Climate Credit (per Household, annual payment occurring in the April bill cycle) ($27.18) (I) (I) Public Purpose Program Surcharge: Customers served under this schedule are subject to a gas Public Purpose Program (PPP) Surcharge under Schedule G-PPPS. See Preliminary Statement, Part B for the Default Tariff Rate Components. The Procurement Charge on this schedule is equivalent to the rate shown on informational Schedule G-CP—Gas Procurement Service to Core End-Use Customers. _________________________ 1 2 3 4 PG&E’s gas tariffs are available online at www.pge.com. Covered entities are not exempt from paying costs associated with LUAF Gas and Gas used by Company Facilities. The exemption credit will be equal to the effective non-exempt AB 32 GHG Compliance Cost Rate ($ per therm) included in Preliminary Statement – Part B, multiplied by the customer’s billed volumes (therms) for each billing period. PG&E will update its billing system annually to reflect newly exempt or newly excluded customers to conform with lists of Directly Billed Customers provided annually by the ARB. (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35663-G 35633-G San Francisco, California GAS SCHEDULE GL1-NGV Sheet 1 RESIDENTIAL CARE PROGRAM NATURAL GAS SERVICE FOR COMPRESSION ON CUSTOMERS’ PREMISES APPLICABILITY: This rate schedule1 applies to natural gas service to Core End-Use Customers on PG&E’s Transmission and/or Distribution Systems. Service on this schedule is an option to those customers for whom Schedule GL-1 applies and is for residential use where a Natural Gas Vehicle (NGV) has been leased or purchased and a home refueling appliance (HRA) has been installed for the sole purpose of compressing natural gas for use as a motor-vehicle fuel for the personal vehicle(s) owned or leased by the customer served under this rate schedule. Compression of natural gas to the pressure required for its use as motor-vehicle fuel will be performed by the Customer’s equipment at the Customer’s designated premises only. Per D.15-10-032 and D.18-03-017, transportation rates include GHG Compliance Cost for non-covered entities. Customers who are directly billed by the Air Resources Board (ARB), i.e., covered entities, are exempt from paying AB 32 GHG Compliance Costs through PG&E’s rates.2 A “Cap-and-Trade Cost Exemption” credit for these costs will be shown as a line item on exempt customers’ bills.3, 4 TERRITORY: Schedule GL1-NGV applies everywhere within PG&E natural gas Service Territory. RATES: Customers on this schedule pay a Customer Charge, a Procurement Charge and a Transportation Charge as follows: Per Day Customer Charge: $0.33140 Per Therm Procurement Charge: $0.41780 Transportation Charge: (R) $0.73718 CSI- Solar Thermal Exemption ($0.00205) CARE Discount: ($0.23059) (I) Total: $0.92234 (R) California Natural Gas Climate Credit (per Household, annual payment occurring in the April bill cycle) ($27.18) (I) _________________________ 1 2 3 4 PG&E’s gas tariffs are available online at www.pge.com. Covered entities are not exempt from paying costs associated with LUAF Gas and Gas used by Company Facilities. The exemption credit will be equal to the effective non-exempt AB 32 GHG Compliance Cost Rate ($ per therm) included in Preliminary Statement – Part B, multiplied by the customer’s billed volumes (therms) for each billing period. PG&E will update its billing system annually to reflect newly exempt or newly excluded customers to conform with lists of Directly Billed Customers provided annually by the ARB. (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35664-G 35634-G San Francisco, California GAS SCHEDULE GM MASTER-METERED MULTIFAMILY SERVICE RATES: Sheet 2 Customers on this schedule pay a Procurement Charge and a Transportation Charge, per meter, as follows: Per Therm Baseline Excess Procurement Charge: $0.44791 (R) Transportation Charge: $0.99712 Total: $1.44503 (R) California Natural Gas Climate Credit (per Household, annual payment occurring in the April bill cycle) ($27.18) $0.44791 (R) (I) $1.59540 $2.04331 (R) Public Purpose Program Surcharge: Customers served under this schedule are subject to a gas Public Purpose Program (PPP) Surcharge under Schedule G-PPPS. See Preliminary Statement, Part B for the Default Tariff Rate Components. The Procurement Charge on this schedule is equivalent to the rate shown on informational Schedule G-CP—Gas Procurement Service to Core End-Use Customers. (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. San Francisco, California GAS SCHEDULE GML MASTER-METERED MULTIFAMILY CARE PROGRAM SERVICE RATES: 35665-G 35635-G Sheet 2 Customers on this schedule pay a Procurement Charge and a Transportation Charge, per meter. Qualifying CARE Core End-Use Customers receive a CARE Discount, which applies to both procurement and transportation charges. Per Therm Baseline 1. Excess For Qualifying CARE use: Procurement Charge: $0.44791 Transportation Charge: $0.99712 $1.59540 CSI- Solar Thermal Exemption ($0.00205) ($0.00205) CARE Discounts: ($0.28860) (I) ($0.40825) (I) Total: $1.15438 (R) $1.63301 (R) California Natural Gas Climate Credit (per Household, annual payment occurring in the April bill cycle) ($27.18) (R) $0.44791 (R) (I) Public Purpose Program Surcharge: Customers served under this schedule are subject to a gas Public Purpose Program (PPP) Surcharge under Schedule G-PPPS. 2. For Non-Qualifying CARE use: Procurement Charge: $0.44791 Transportation Charge: $0.99712 Total: $1.44503 (R) $0.44791 (R) $1.59540 (R) $2.04331 (R) See Preliminary Statement, Part B for the Default Tariff Rate Components. The Procurement Charge on this schedule is equivalent to the rate shown on informational Schedule G-CP—Gas Procurement Service to Core End-Use Customers. (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35666-G 35636-G San Francisco, California GAS SCHEDULE GS MULTIFAMILY SERVICE APPLICABILITY: Sheet 1 This rate schedule1 applies to natural gas service to Core End-Use Customers on PG&E’s Transmission and/or Distribution Systems. To qualify, service must be master-metered for residential use to a multifamily accommodation (in other than a mobilehome park) on a single premises and submetered to all individual tenants in accordance with Rule 18. This rate schedule is closed to new installations as defined in Decision 05-05-26. A customer whose building was constructed prior to December 14, 1981, and was served as a master-meter customer shall be eligible to convert from its master-meter rate schedule to a submetered rate schedule. Buildings originally constructed for a non-residential purpose that have converted to residential use before December 1981 or without the need for a building permit on or after July 1, 1982, shall be eligible to convert from their master-meter rate schedule to a submetered rate schedule. Per D.15-10-032 and D.18-03-017, transportation rates include GHG Compliance Cost for non-covered entities. Customers who are directly billed by the Air Resources Board (ARB), i.e., covered entities, are exempt from paying AB 32 GHG Compliance Costs through PG&E’s rates.2 A “Cap-and-Trade Cost Exemption” credit for these costs will be shown as a line item on exempt customers’ bills.3, 4 TERRITORY: Schedule GS applies everywhere within PG&E’s natural gas Service Territory. RATES: Customers on this schedule pay a Procurement Charge and a Transportation Charge, per meter, as follows: Per Therm Baseline Excess Procurement Charge: $0.44791 (R) Transportation Charge: $0.99712 Total: $1.44503 (R) California Natural Gas Climate Credit (per Household, annual payment occurring in the April bill cycle) ($27.18) $0.44791 (R) (I) $1.59540 $2.04331 (R) _________________________ 1 2 3 4 PG&E’s gas tariffs are available online at www.pge.com. Covered entities are not exempt from paying costs associated with LUAF Gas and Gas used by Company Facilities. The exemption credit will be equal to the effective non-exempt AB 32 GHG Compliance Cost Rate ($ per therm) included in Preliminary Statement – Part B, multiplied by the customer’s billed volumes (therms) for each billing period. PG&E will update its billing system annually to reflect newly exempt or newly excluded customers to conform with lists of Directly Billed Customers provided annually by the ARB. (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35667-G 35637-G San Francisco, California GAS SCHEDULE GSL MULTIFAMILY CARE PROGRAM SERVICE APPLICABILITY: Sheet 1 This rate schedule1 applies to natural gas service to Core End-Use Customers on PG&E’s Transmission and Distribution Systems. To qualify, service must be master-metered for residential use to a multifamily accommodation (in other than a mobilehome park) on a single premises and submetered to all individual tenants in accordance with Rule 18 where one or more of the submetered tenants qualifies for California Alternate Rates for Energy (CARE) under the eligibility and certification criteria set forth in Rules 19.1, 19.2, or 19.3. This rate schedule is closed to new installations as defined in Decision 05-05-026. A customer whose building was constructed prior to December 14, 1981, and was served as a master-meter customer shall be eligible to convert from its master-meter rate schedule to a submetered rate schedule. Buildings originally constructed for a non-residential purpose that have converted to residential use before December 1981 or without the need for a building permit on or after July 1, 1982, shall be eligible to convert form their master-meter rate schedule to a submetered rate schedule. Per D.15-10-032 and D.18-03-017, transportation rates include GHG Compliance Cost for noncovered entities. Customers who are directly billed by the Air Resources Board (ARB), i.e., covered entities, are exempt from paying AB 32 GHG Compliance Costs through PG&E’s rates. 2 A “Cap-and-Trade Cost Exemption” credit for these costs will be shown as a line item on exempt customers’ bills.3, 4 TERRITORY: Schedule GSL applies everywhere within PG&E’s natural gas Service Territory. RATES: Customers on this schedule pay a Procurement Charge and a Transportation Charge, per meter. Qualifying CARE Core End-Use Customers receive a CARE Discount, which applies to both procurement and transportation charges. Per Therm Baseline 1. Excess For Qualifying CARE use: Procurement Charge: $0.44791 Transportation Charge: $0.99712 $1.59540 CSI- Solar Thermal Exemption ($0.00205) ($0.00205) CARE Discount: ($0.28860) (I) ($0.40825) (I) $1.15438 (R) $1.63301 (R) ($27.18) (I) Total: California Natural Gas Climate Credit (per Household, annual payment occurring in the April bill cycle) (R) $0.44791 (R) _________________________ 1 2 3 4 PG&E’s gas tariffs are available online at www.pge.com. Covered entities are not exempt from paying costs associated with LUAF Gas and Gas used by Company Facilities. The exemption credit will be equal to the effective non-exempt AB 32 GHG Compliance Cost Rate ($ per therm) included in Preliminary Statement – Part B, multiplied by the customer’s billed volumes (therms) for each billing period. PG&E will update its billing system annually to reflect newly exempt or newly excluded customers to conform with lists of Directly Billed Customers provided annually by the ARB. (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35668-G 35639-G San Francisco, California GAS SCHEDULE GT MOBILEHOME PARK SERVICE APPLICABILITY: Sheet 1 This rate schedule1 applies to natural gas service to Core End-Use Customers on PG&E’s Transmission and/or Distribution Systems. To qualify, service must be master-metered for residential use in a mobilehome park multifamily accommodations through one meter on a single premises and submetered to all individual tenants in accordance with Rule 18. This schedule is closed to the new mobilehome parks and manufactured housing communities for which construction commenced after January 1, 1997. Per D.15-10-032 and D.18-03-017, transportation rates include GHG Compliance Cost for non-covered entities. Customers who are directly billed by the Air Resources Board (ARB), i.e., covered entities, are exempt from paying AB 32 GHG Compliance Costs through PG&E’s rates.2 A “Cap-and-Trade Cost Exemption” credit for these costs will be shown as a line item on exempt customers’ bills.2, 3 TERRITORY: Schedule GT applies everywhere within PG&E’s natural gas Service Territory. RATES: Customers on this schedule pay a Procurement Charge and a Transportation Charge, per meter, as follows: Per Therm Baseline Excess Procurement Charge: $0.44791 (R) Transportation Charge: $0.99712 Total: $1.44503 (R) California Natural Gas Climate Credit (per Household, annual payment occurring in April bill cycle) ($27.18) $0.44791 (R) (I) $1.59540 $2.04331 (R) _________________________ 1 2 3 4 PG&E’s gas tariffs are available online at www.pge.com. Covered entities are not exempt from paying costs associated with LUAF Gas and Gas used by Company Facilities. The exemption credit will be equal to the effective non-exempt AB 32 GHG Compliance Cost Rate ($ per therm) included in Preliminary Statement – Part B, multiplied by the customer’s billed volumes (therms) for each billing period. PG&E will update its billing system annually to reflect newly exempt or newly excluded customers to conform with lists of Directly Billed Customers provided annually by the ARB. (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35669-G 35640-G San Francisco, California GAS SCHEDULE GTL MOBILEHOME PARK CARE PROGRAM SERVICE APPLICABILITY: Sheet 1 This rate schedule1 applies to natural gas service to Core End-Use Customers on PG&E’s Transmission and Distribution systems. To qualify, service must be mastermetered for residential use in a mobilehome park multifamily accommodation through one meter on a single premises and submetered to all individual tenants in accordance with Rule 18 where one or more of the submetered tenants qualifies for California Alternate Rates for Energy (CARE) under the eligibility and certification criteria set forth in Rules 19.1, 19.2 or 19.3. This schedule is closed to new mobilehome parks and manufactured housing communities for which construction commenced after January 1, 1997. Per D.15-10-032 and D.18-03-017, transportation rates include GHG Compliance Cost for non-covered entities. Customers who are directly billed by the Air Resources Board (ARB), i.e., covered entities, are exempt from paying AB 32 GHG Compliance Costs through PG&E’s rates.2 A “Cap-and-Trade Cost Exemption” credit for these costs will be shown as a line item on exempt customers’ bills.3, 4 TERRITORY: Schedule GTL applies everywhere within PG&E’s natural gas Service Territory. RATES: Customers on this schedule pay a Procurement Charge and a Transportation Charge, per meter. Qualifying CARE Core End-Use Customers receive a CARE Discount, which applies to both procurement and transportation charges. Per Therm 1. For Qualifying CARE Use: Baseline Excess Procurement Charge: $0.44791 Transportation Charge: $0.99712 $1.59540 CSI- Solar Thermal Exemption ($0.00205) ($0.00205) CARE Discount: ($0.28860) (I) ($0.40825) (I) $1.15438 (R) $1.63301 (R) ($27.18) (I) Total: California Natural Gas Climate Credit (per Household, annual payment occurring in the April bill cycle) (R) $0.44791 (R) _________________________ 1 2 3 4 PG&E’s gas tariffs are available online at www.pge.com. Covered entities are not exempt from paying costs associated with LUAF Gas and Gas used by Company Facilities. The exemption credit will be equal to the effective non-exempt AB 32 GHG Compliance Cost Rate ($ per therm) included in Preliminary Statement – Part B, multiplied by the customer’s billed volumes (therms) for each billing period. PG&E will update its billing system annually to reflect newly exempt or newly excluded customers to conform with lists of Directly Billed Customers provided annually by the ARB. (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35670-G 35652-G San Francisco, California GAS TABLE OF CONTENTS Sheet 1 CAL P.U.C. SHEET NO. TITLE OF SHEET Title Page ........................................................................................................................................... 35670-G Rate Schedules ....................................................................................................................... 35671,35644-G Preliminary Statements............................................................................................................ 35645,35068-G Preliminary Statements, Rules ........................................................................................................... 35245-G Rules, Maps, Contracts and Deviations .............................................................................................. 35195-G Sample Forms ............................................................................. 34229,32986,32987,32886,34953,32888-G (T) (T) (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Cancelling U 39 Revised Revised Cal. P.U.C. Sheet No. Cal. P.U.C. Sheet No. 35671-G 35653-G San Francisco, California GAS TABLE OF CONTENTS Sheet 2 CAL P.U.C. SHEET NO. SCHEDULE TITLE OF SHEET Rate Schedules Residential G-1 G1-NGV GL-1 GL1-NGV GM GML GS GSL GT GTL G-10 G-EFLIC G-MHPS Residential Service ............................................................................................... 35660,35436-G Residential Natural Gas Service for Compression on Customers’ Premises ........ 35661,23734-G Residential CARE Program Service ...................................................................... 35662,35444-G Residential CARE Program Natural Gas Service for Compression on Customers’ Premises .................................................................................... 35663,23740-G Master-Metered Multifamily Service ........................................................... 34979,35664,35447-G Master-Metered Multifamily CARE Program Service ................................. 34980,35665,35449-G Multifamily Service ..................................................................................... 35666,32347,35451-G Multifamily CARE Program Service............................................................ 35667,35638,35454-G Mobilehome Park Service .......................................................................... 35668,32351,35456-G Mobilehome Park CARE Program Service...................................... 35669,35641,35459,35460-G Service to Company Employees ...................................................................................... 11318-G Energy Financing Line Item Charge (EFLIC) Pilot ................32214,32215,32216,32217,32218-G Master-Metered Mobilehome Park Safety Surcharge ...................................................... 22034-G (T) (T) (T) (T) (T) (T) (T) (T) (T) (T) Rate Schedules Non-Residential G-NR1 G-NR2 G-CP G-CPX G-NT G-EG G-ESISP G-WSL G-BAL G-SFS G-NFS G-NAS G-CFS G-AFT Gas Service to Small Commercial Customers ...................................................... 35150,35629-G Gas Service to Large Commercial Customers ...................................................... 34151,35630-G Gas Procurement Service to Core End-Use Customers .................................................. 35626-G Crossover Gas Procurement Service To Core End-Use Customers ................................ 35651-G Gas Transportation Service to Noncore End-Use Customers ......... 35598,35599,34357,22038-G Gas Transportation Service to Electric Generation ...............34346,35594,34348,34349,34350-G Exchange Service Through ISP Facilities ............................................................. 24364,24365-G Gas Transportation Service to Wholesale/Resale Customers ................... 35602,35603,22045-G Gas Balancing Service for Intrastate Transportation Customers ............................. 29782,24457, .............. 29783,35592,22048,24458,24459,24460,26610,24461,20042,24462,24463,27708-G Standard Firm Storage Service ....................................................... 35600,22140,30677,22300-G Negotiated Firm Storage Service .......................................................................... 33948,30870-G Negotiated As-Available Storage Service ........................................................................ 33947-G Core Firm Storage .......................................................................... 35593,32818,32819,32820-G Annual Firm Transportation On-System ..................................................... 30655,35590,30656-G (Continued) Advice Decision 4217-G Issued by Robert S. Kenney Vice President, Regulatory Affairs Submitted Effective Resolution February 18, 2020 February 18, 2020 G-3565
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Advice 4217-G February 18, 2019 Attachment 2 Natural Gas GHG Table C – GHG Allowance Proceeds Redacted
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Table C: GHG Allowance Proceeds  2018 Line Description Forecast 2019 Recorded Forecast 2020 Recorded/ Forecast Forecast Recorded 1 Proxy GHG Allowance Price ($/MT)  $                    15.55 $                    16.33 $                    17.78 2 3 4 Directly Allocated Allowances Percentage Consigned to Auction Consigned Allowances              17,778,400 40% 7,111,360             17,398,006 45% 7,829,103             17,037,633 50% 8,518,816 5 6 7 8 Allowance Proceeds (See Note 1) Previous Year's Revenue Balancing Subaccount Balance  Interest* Subtotal Allowance Proceeds ($) (Line 5 + Line 6 + Line 7) $      (110,581,648) $      (105,994,821) $      (127,849,247) $      (131,802,931) $      (151,471,364) $               142,668 $          (6,251,649) $         (3,275,532) $              552,135 $      (110,581,648) $      (109,270,353) $      (127,706,579) $      (131,250,796) $      (157,723,013) $                  ‐ 9 Outreach and Admin Expenses ($)* (from Table D) $            1,152,303 $              880,264 $               575,270 $              269,295 $               536,977 9a 9b 10 11 12 13 Revenue Fees & Uncollectibles (excluding SB1477 Compliance Cost row 9b) $            (1,467,557) $         (1,453,619) $          (1,699,746) $         (1,751,223) SB 1477 Compliance Costs Net GHG Proceeds Available for Customer Returns ($) (Line 8 + Line 9+ Line 9b) $      (110,896,902) $      (109,843,708) $      (128,831,055) $      (132,732,724) 2015‐2017 Net of Costs and Proceeds included in October 2018 Customer Credit (including RF&U) $       (38,395,768) Number of Residential Households                5,061,931 Per Household California Climate Credit ($) (Line 10 / Line 11)  $                  (25.45) *Recorded costs through November 2019 and a forecast through December 2019. NOTES Year 2019 Recorded: Represents the allowances proceeds in 2019 through 11/30/19 and forecast proceeds based on remaining expected consigned allowances multiplied by  the proxy price of  vintage 2019 California Carbon Allowance Future. 1 $          (1,818,534) $           21,170,000 $      (137,834,570)               5,070,453 $                  (27.18)
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Advice 4217-G February 18, 2019 Attachment 3 Confidentiality Declaration
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BEFORE THE PUBLIC UTILITIES COMMISSION OF THE STATE OF CALIFORNIA PACIFIC GAS AND ELECTRIC COMPANY ORDER INSTITUTING RU LEMAKING TO ADDRESS NATURAL GAS DISTRIBUTION UTILITY COST AND REVENUE ISSUES ASSOCIATED WITII GREENHOUSE GAS EMISSIONS (R.I4-03-003) DECLARATION OF ROBERT GOMEZ SEEKING CONFIDEN'I‘lAL TREATMENT FOR CERTAIN DATA AND INFORMATION CONTAINED IN ADVICE 4217-G I, Robert Gomez, declare: I am a Manager in the Portfolio Management group within Energy Policy and Procurement at Pacific Gas and Electric Company (PG&H) and am responsible for leading commercial greenhouse gas policy and strategy. ln carrying out these responsibilities, I have acquired knowledge of the California Air Resources Hoard’s Cap-and-Trade Regulation and other programmatic measures to establish it markct—based price for GHG emissions in order to manage PG&E’s compliance with Cap-and-Trade, which became effective on January I, 2012. This declaration is based on my personal knowledge of PG&E’s practices and my understanding of the Commission’s decisions protecting the confidentiality of market-sensitive procurement information. 2. Based on my knowledge and experience, and in accordance with the Decisions 06-06-066, O8-04-023, l4~l0-033 and relevant Commission rules, I make this declaration seeking confidential treatment for certain procurement data and information contained in Advice 42 7-G 3. Attached to this declaration is a matrix identifying the data and information for which PG&E is seeking confidential treatment. The matrix specifies that the material PG&E is seeking to protect constitutes confidential market sensitive procurement data and information covered by Public Utilities Code Section 454.5(g), D.l4-l0-033, and D.l 5-10-032. The matrix
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also specifics why confidential protection is justified. Further, the data and information: (1) is not already public; and (2) cannot be aggregated, redacted, summarized or otherwise protected in a Way that allows partial disclosure. By this reference, I am incorporating into this declaration all of the explanatory text that is pertinent to my testimony in the attached matrix. I declare under penalty of perjury, under the laws of the State of California, that the foregoing is true and correct. Executed on February 14, 2020 at San Francisco, California. 77 Robert ez
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PACIFIC GAS AND ELECTRIC COMPANY (U 39 E) ORDER INSTITUTING RULEMAKING TO ADDRESS NATURAL GAS DISTRIBUTION UTILITY COST AND REVENUE ISSUES ASSOCIATED WITH GREENHOUSE GAS EMISSIONS (R.14-03-003) PG&E ADVICE 4217-G IDENTIFICATION OF CONFIDENTIAL INFORMATION Redaction Reference Category from D.06-06066, Appendix 1, or Separate Confidentiality Statute or Order That Data Corresponds To Justification for Confidential Treatment Length of Time Data To Be Kept Confidential Document: D.14-10-033,Attachment A Table C, lines 1-4, and 12-13 - recorded data Public Utilities Code §454.5(g) D.15-10-032 Information concerning GHG compliance instrument procurement strategy and/or activities. The release of this commercially sensitive information could cause harm to PG&E’s customers and put PG&E at an unfair business advantage by the disclosure of PG&E’s GHG compliance instrument inventories or quantities that can be used to derive GHG compliance instrument holdings. This information could be used by other market participants to gain a commercial advantage. Indefinite
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PG&E Gas and Electric Advice Submittal List General Order 96-B, Section IV AT&T Albion Power Company Alcantar & Kahl LLP Alta Power Group, LLC Anderson & Poole Atlas ReFuel BART Barkovich & Yap, Inc. P.C. CalCom Solar California Cotton Ginners & Growers Assn California Energy Commission California Public Utilities Commission California State Association of Counties Calpine Cameron-Daniel, P.C. Casner, Steve Cenergy Power Center for Biological Diversity Chevron Pipeline and Power City of Palo Alto City of San Jose Clean Power Research Coast Economic Consulting Commercial Energy County of Tehama - Department of Public Works Crossborder Energy Crown Road Energy, LLC Davis Wright Tremaine LLP Day Carter Murphy Dept of General Services Don Pickett & Associates, Inc. Douglass & Liddell Downey & Brand East Bay Community Energy Ellison Schneider & Harris LLP Energy Management Service Engineers and Scientists of California Evaluation + Strategy for Social Innovation GenOn Energy, Inc. Goodin, MacBride, Squeri, Schlotz & Ritchie Green Charge Networks Green Power Institute Hanna & Morton ICF IGS Energy International Power Technology Intestate Gas Services, Inc. Kelly Group Ken Bohn Consulting Keyes & Fox LLP Leviton Manufacturing Co., Inc. Linde Los Angeles County Integrated Waste Management Task Force Los Angeles Dept of Water & Power MRW & Associates Manatt Phelps Phillips Marin Energy Authority McKenzie & Associates Modesto Irrigation District Morgan Stanley NLine Energy, Inc. NRG Solar Office of Ratepayer Advocates OnGrid Solar Pacific Gas and Electric Company Peninsula Clean Energy Pioneer Community Energy Praxair Redwood Coast Energy Authority Regulatory & Cogeneration Service, Inc. SCD Energy Solutions SCE SDG&E and SoCalGas SPURR San Francisco Water Power and Sewer Seattle City Light Sempra Utilities Southern California Edison Company Southern California Gas Company Spark Energy Sun Light & Power Sunshine Design Tecogen, Inc. TerraVerde Renewable Partners Tiger Natural Gas, Inc. TransCanada Troutman Sanders LLP Utility Cost Management Utility Power Solutions Utility Specialists Verizon Water and Energy Consulting Wellhead Electric Company Western Manufactured Housing Communities Association (WMA) Yep Energy
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