201 



b) and/or, this LCP include minimuTD externalities as decided by the 

 Counci 1 , 



c) and/or all generation acquisitions over 25 aMW be approved by the 

 Council/ 



d) and, all hydro projects in Protected Areas be prohibited. 

 MECHANISM POF EUPOPCMENT A possible ineans to ensure conpliar.ce with the 

 above cequireirents would be that any interested citizen could petition the 

 Council that a custcmer was in non-ccnpliance. The Council would agree 



or disagree within 60 days. If the Council ruled the utility was in non- 

 compliance, BFA would then reduce that customer's first tier allocation in 

 the amount of the nen-conplying resource. . 



ACCESS TO BPA'E TKANSMISSiOK- GFID EUK CUSTCMEP 'S UVK PESOORCES 



1) 1st priority access to conservation transfers, 



2) ^nc priority access to renewables, 



3) ' 3rd priority access to high-efficiency co-gen. (High-efficiency 



co-gen is defined as projects with a- minimum of 10% thermal load 

 and 50% thermodynamic efficiency of the non-thermal load. ) 



4) NO access to resources not complying with the Council's Plan. 



5) In lieu of numbers 1-3 above, a transmission price differential of 

 at least 10% for conservation transfers and renewables. 



PRODUCTS AND SERVICES 



Products and services needed by a customer to integrate its new 

 resources would be given a price discount (10%?) for conservation and 

 renewables. 



DSI ISSUES 

 The future treatment of the DSIs is constrained by the Act and their 

 existing contracts. In their present contract, section 12, it is explicit- 

 ly stated that BPA is not "obligated" to offer a new contract, but must 

 make best efforts to acquire enough resources to enable it to do so. And 

 in section 7(c)(1)(E) the Act dictates the rate level which should be 

 charged ("equitable in relation to the retail rates charged by the public 



