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Transcription:

, Secretary Federal Energy Regulatory Commission 888 First Street, N.E. Washington, D.C. 20426 Re: Southern California Edison Co., California Independent System Operator Corp., El Segundo Power,, Docket Nos. ER98-441-000 and ER98-2550-000 Pacific Gas & Electric Co., Duke Energy Moss Landing, and Duke Energy Oakland, Docket Nos. ER98-495-000, ER98-1614-000, ER98-2145-000, ER98-2668-000, ER98-2669-000, ER98-4296-000 and ER98-4300-000 San Diego Gas & Electric Co., Docket Nos. ER98-496-000 and ER98-2160-000 Southern California Edison Co., Pacific Gas & Electric Co., San Diego Gas & Electric Co., Duke Energy Moss Landing, Duke Energy Oakland, Docket Nos. ER98-441-001, ER98-495-001, ER98-496-001, ER98-4300-001, ER98-2668-001, ER98-2669-001, ER98-4296-001, ER98-2668-000, ER98-2669-000, ER99-1127-000, ER99-1128-000, ER98-4296-000 and ER98-4300-000 Dear Mr. Boergers: In accordance with the provisions of Rule 602 of the Rules of Practice and Procedure of the Federal Energy Regulatory Commission ( Commission ), 18 C.F.R. 385.602 (1998), El Segundo Power,, Pacific Gas and Electric, Duke Energy Moss Landing, Duke Energy Oakland, Duke Energy South Bay,, San Diego Gas & Electric, Williams Energy Marketing & Trading, Reliant Energy Etiwanda, L.L.C., Reliant Energy Mandalay, L.L.C., Southern Energy Delta, L.L.C., Southern Energy Potrero, L.L.C., Cabrillo Power I, Cabrillo Power II, Geysers Power,, the California Electricity Oversight Board, Southern California Edison, Enron Power Marketing, Inc., and the California Independent System Operator Corporation ( ISO ) submit this Offer of Settlement in connection with the above-referenced proceedings. The Public Utilities Commission of the State of California fully supports this Offer of Settlement.

Page 2 The matters encompassed by this Offer of Settlement either have been specifically set for hearing or are intertwined with matters set for hearing. The various cases in which the hearing matters arose have been retained for consideration by the Chief Administrative Law Judge who has acted as a Settlement Judge under Rule 603 of the Commission s Rules of Practice and Procedure, 18 C.F.R. 385.603 (1998). Accordingly, as provided by Rule 602, this filing should be transmitted by the Office of the Secretary to him. Enclosed are the original and fourteen (14) copies of the Offer of Settlement, comprised of this Transmittal Letter, an Explanatory Statement and a Stipulation and Agreement with appendices. Also enclosed is one extra copy to be timestamped and returned to our messenger. In accordance with the provisions of Rule 602(c)(iii), the parties submitting this Offer of Settlement state that the attached Stipulation and Agreement refers to any documents that are relevant to the Offer of Settlement. CONTENTS OF SUBMISSION This submission includes: (i) a Stipulation and Agreement with appendices, which, among other things, include a model contract containing terms and conditions to be used as the basis for Reliability Must-Run Rate Schedules for services to be provided to the ISO; and (ii) a separate Explanatory Statement. SIMULTANEOUS AND SUBSEQUENT SUBMISSIONS Simultaneously with this submission, the ISO is submitting pro forma tariff sheets setting forth changes to the currently effective Tariff of the ISO, to be effective upon the effectiveness of this filing. As an integral element of this Offer of Settlement, each RMR Owner shall submit, not later than April 9, 1999, its own Revised Reliability Must-Run Rate Schedules conforming to the model Reliability Must-Run Contract that is included as an Appendix to the Stipulation and Agreement. Those filings, although submitted separately, are necessary to implement the Settlement, and in the event of Commission approval of the Settlement, they constitute compliance tariff sheets. These Rate Schedules are being submitted separately, solely to avoid delay in the Commission s consideration of this Offer of Settlement. Unless the Settlement becomes effective, absent a separate election by a filing RMR Owner, the filings will have no independent vitality and shall be considered withdrawn. SERVICE OF SUBMISSION

Page 3 A copy of this submission is being served on all participants in the referenced proceedings and on all other persons required to be served by operation of Rule 602(d) of the Commission s Rules of Practice and Procedure. NOTICE RESPECTING COMMENTS REGARDING OFFER OF SETTLEMENT In accordance with the provisions of Rule 602(d)(2) the parties making this filing hereby notify all participants in these proceedings as well as all other persons required by Rule 602(d)(1) that Comments on the Offer of Settlement are due to be filed by April 22, 1999, and Reply Comments are due to be filed by May 2, 1999, unless other dates are provided by the Commission or the presiding officer. The parties making this filing are requesting such a shortened comment period to the extent consistent with the Order of Chief Judge Scheduling Dates for Filing Settlement and Comments issued March 16, 1999, as described below. The parties making this filing specifically direct the attention of persons served with this Offer of Settlement to Section 602(f)(3) of the Commission s Rules of Practice and Procedure which provides that, Any failure to file a comment constitutes a waiver of all objections to the offer of settlement. REQUEST FOR EXPEDITED CONSIDERATION The parties making this filing believe and wish to emphasize that implementation of this Settlement prior to June 1, 1999 is important to the interests of all participants in the California market for electric generation and that expedited consideration is, therefore, consistent with the public interest. The parties to the referenced proceedings have been engaged in the settlement negotiations that led to the submission of this instrument for more than a year. The content of the Settlement reflects a compromise of interests so fragile that any change in its contents or component elements will be inconsistent with an important and substantive interest of some party whose active support will remain critical to implementation of the Settlement. Every component of this submission the words and phrases used to express the intentions of the parties has been reviewed, edited and revised in numerous drafting sessions to reflect the agreement of affected parties. In light of the active role which the Chief Administrative Law Judge played in assuring that the process that led to this filing was fair, the participation of all affected parties in reaching the compromises embodied in this Offer of Settlement, and the

Page 4 agreement of all affected parties in an informal settlement conference call on March 15, 1999, the parties making this filing submit that there is good cause to grant their request for expedited consideration. Specifically, parties agreed to request that Initial Comments on the Offer of Settlement be required to be filed on or before April 19, 1999, and that Reply Comments be required to be filed on or before April 29, 1999. Further, the parties agreed that Initial Comments on Revised RMR Rate Schedules should be required to be filed on or before April 23, 1999 and that Reply Comments be required to be filed on or before April 29, 1999. SERVICE OF COMMENTS AND OTHER MATERIALS In light of their interest in expedition, the parties making this filing request that in addition to the normal method of service of documents specified in the Commission s Rules of Practice and procedure, copies of all Initial Comments and Reply Comments also be sent by e-mail to the addresses included in Appendix A to this letter. 1 Very truly yours, /s Edward Berlin Edward Berlin Attorney for the California Independent System Operator Corporation El Segundo Power /s Stuart K. Gardiner Stuart K. Gardiner Attorney for Pacific Gas and Electric Attorney for Duke Energy Moss Landing Attorney for Duke Energy Oakland Attorney for Duke Energy South Bay, 1 Service by email to this list can also be accomplished by an email to Mark Klupt at mrklupt@swidlaw.com or to Bridget Shahan at bshahan@cammckenna.com either of whom will forward the documents to be served to the list recipients.

Page 5 /s Nicholas W. Fels Nicholas W. Fels Attorney for San Diego Gas & Electric /s Dennis Elliott Dennis Elliott Williams Energy Marketing & Trading /s Randolph Q. McManus Randolph Q. McManus Attorney for Reliant Energy Etiwanda, L.L.C. /s Randolph Q. McManus Randolph Q. McManus Attorney for Reliant Energy Mandalay, L.L.C. /s James C. Beh James C. Beh Attorney for Southern Energy Delta, /s James C. Beh James C. Beh Attorney for Southern Energy Potrero, Cabrillo Power I Cabrillo Power II /s Lindsey How Downing Lindsey How Downing Attorney for Geysers Power, /s Jay Fujitani Jay Fujitani Attorney for Southern California Edison /s Ronald N. Carroll Ronald N. Carroll Attorney for Enron Power Marketing, Inc /s Erik Saltmarsh Erik Saltmarsh Attorney for California Electricity Oversight Board Signed and Dated this 2nd Day of April, 1999 Enclosures