Another Ratepayer Ripoff
Investments in Conservation & Renewables Yield Far Greater Benefits
If They Build It, You Will Pay
Hold on to your wallets, because here comes another ratepayer backed boondoggle.
South Jersey gas and electric ratepayers will be forced to pick up the huge cost of providing private gas pipeline infrastructure to serve the privately owned re-powered B.L. England power plant. They also will bear the risk of cost increases and the private entities will recover the costs plus profits on those investments.
The South Jersey Gas Company (SJG) is already before the Board of Public Utilities (BPU) right now seeking an almost 9% rate increase – an $11.48 per month increase for the typical homeowner – perhaps resulting from a 2010 BPU approval of $450 million infrastructure investment.
This half billion dollar boondoggle is sure to increase rates even higher, particularly due to unique risks associated with the economics and financing of fracked gas, which the NY Times called a “Ponzi scheme”.
So, lets look at the costs and risks of this project and examine how BPU addressed them.
Shockingly, Rate Counsel raised no objections.
According to original estimates by South Jersey Gas, pipeline construction would cost $63 million. That estimate was recently increased to $90 million.
The final cost is likely be even higher, including multi-million dollar “mitigation” or “offset” bribes to the Pinelands Commission for their approval – so lets say $100 million.
According to South Jersey Gas documents, the re-powering of the B.L. England plant will cost $400 million. Again, final costs are likely to be much higher – let’s say $500 million.
And those costs do not including the plant and pipeline operating costs or the costs of the gas.
The source of the gas for this pipeline project is Marcellus shale fracking.
Anyone who knows anything about the financing and production and depletion rates of fracked natural gas wells knows that high up front capital costs and steep depletion curves lead to dramatic reductions in both energy return on investment (EROI) and the traditional economic return on investment (ROI).
Simply put, it costs more energy and more money to produce diminishing amounts of gas.
So steep gas price increases are baked into this billion dollar boondoggle cake.
So, now let’s take a look at how the Board of Public Utilities addressed these huge technical, financial, and economic risks to ratepayers.
Did BPU do a rigorous review of the underlying production/depletion and economics of fracked gas drilling and look out for you?
Or did BPU focus on assuring South Jersey Gas Co. (SJG) profits?
On June 21, 2013, the BPU issued a mere 4 page Order approving construction of the gas pipeline – click to read.
First of all, the SJG petition for approval was submitted by SJG to BPU on March 8, 2013.
From what I can tell from reading the Order, it looks like there was no public interest, independent expert testimony, or environmental group intervention in the BPU review of the SJG petition.
Nor was there any pubic hearing or formal consultation with the Pinelands Commission, or review by independent experts in the environmental, engineering, and economics of frack gas well drilling and financing.
There was one public hearing in Upper Township. It was sparsely attended and no expert witnesses were involved.
The BPU Order claims that “No members of the public voiced opposition to the pipeline alignment.”
This may be true, but it is absurd on its face and points to major defects in the BPU review of the project – which might as well have been held in the Governor’s Office.
The Board did not review this project for consistency with the climate change and emission reduction goals and energy policy adopted in the 2007 Global Warming Response Act. NO CLIMATE CONSIDERATIONS WHATSOEVER. Shocking negligence.
It appears that BPU conducted – at best – a cursory policy review and cherry picked certain pro-gas aspects of the Christie 2011 Energy Master Plan.
The Board deferred response to environmental concerns raised by the public (at that one public hearing) to the environmental permitting process.
These are HUGE flaws, especially because the environmental permits – both for the pipeline construction and the BL England plant re-powering – do NOT consider the key issues, such as project need and justification, alternatives, global warming, fracking gas, Pinelands, et al impacts.
Despite these procedural and substantive weaknesses, the petition was quietly and quickly approved by BPU in just weeks, a remarkably rapid approval.
The substance of the BPU Order is provided on just 4 pages.
I’ll try to touch on issues as they are presented in the order:
The pressure in the pipeline will be 700 pounds per square inch.
This is a high pressure line, almost triple the 250 pressure in a typical SJG line.
This high pressure raises major issues regarding: 1) pipeline safety; 2) pipeline capacity and growth inducing potential; and 3) pipeline gas leak and greenhouse gas impacts associated with pipeline emission rates.
Natural gas has a huge greenhouse gas warming potential – at least 25 times that of CO2 – so pipeline leaks and [lifecycle gas] emissions are a major concern and have the potential to wipe-out any carbon reductions from converting BL England from coal to gas.
High pressure also implies a huge potential capacity (capacity is a function of the volume of the pipeline times the pressure. Higher pressure can move much more gas).
BPU implied the pipeline would promote “reliability” and serve as backup for 63,000 customer in Cape May.
But a recent SJG press release states a FAR larger number: 267,000!
Once online, the annual throughput of gas to the BL England facility will be about 20 million dekatherms, essentially equal to the amount of gas SJG currently provides to approximately 267,000 homes in a year.
Just how much gas is SJG bringing into the region? How much new growth with this gas support – and all of it located in the highly vulnerable shore region and environmentally sensitive Pinelands?
No capacity estimates were even presented by BPU – another major flaw.
Safety risks are greater under high pressure – it appears that BPU merely deferred to SJG representations on safety issues.
Pinelands forest fire risks were not even considered.
And I saved the best for last.
Although the Pinelands Commission lawyer, Ms. Roth, emphatically stated publicly at the July 27, 2013 meeting that the Commission was NOT anticipating a Memorandum of Agreement (MOA) with BPU at that time, the BPU’s June 21, 2013 approval already INCLUDES A MOA WITH THE PINELANDS COMMISSION! see @ page 3:
Like I said, it’s Chinatown!
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