Filed with the Iowa Utilities Board on September 17, 2018, RMU STATE OF IOWA DEPARTMENT OF COMMERCE IOWA UTILITIES BOARD

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STATE OF IOWA DEPARTMENT OF COMMERCE IOWA UTILITIES BOARD IN RE: DOCKET NO. RMU-2018-0100 ELECTRIC VEHICLE INFRASTRUCTURE JOINT UTILITY STAKEHOLDER COMMENTS MidAmerican Energy Company ( MidAmerican ), Interstate Power and Light Company ( IPL ), the Iowa Association of Electric Cooperatives ( IAEC ), and the Iowa Municipal Utility Association ( IAMU ) (together the Joint Utility Stakeholders ) submit the following Comments in response to the Iowa Utilities Board s ( Board ) August 27, 2018 Order Requesting Stakeholder Comment and Setting Workshop ( Order ). 1. The market for highly fuel-efficient plug-in electric vehicles and plug-in hybrid electric vehicles (collectively, EVs ) continues to evolve and grow in Iowa. Among other benefits, the growth of the EV market will reduce vehicle emissions, offer energy efficient and cost-effective transportation, and promote economic development enabled by a robust, reliable, and strategically located EV charging network throughout the state. 2. According to the Iowa Energy Plan published in 2016 by the Iowa Economic Development Authority ( IEDA ) and the Iowa Department of Transportation ( IDOT ), as of the summer of 2016 there were already over 1,000 EVs registered in Iowa and nearly 100 public EV charging stations. 1 In its July 2016 Advancing Iowa s Electric Vehicle Market report (the Iowa EV Market Report ), IEDA projects that, under its High EV sales scenario, sales in Iowa may 1 Iowa Energy Plan, at p. 66 (Dec. 2016) (available at http://www.iowaenergyplan.org/ docs/iowaenergy Plan.pdf). 1

grow from as many as 2,100 EVs per year in 2020 to more than 15,000 by 2040, with a total of up to 101,950 EVs on the road in Iowa in 2040. 2 While these projections are necessarily uncertain, there can be little doubt that the EV market is projected to grow significantly in the coming years compared to the present. This continued growth of EVs and other alternative fuel vehicles will require strategic collaboration between utilities, automakers, fuel retailers, and related industry stakeholders to create and promote policies that will clear regulatory hurdles for alternative fueling infrastructure like EV charging stations. 3 3. To accommodate anticipated growth in demand for EVs and related charging infrastructure, the Iowa Energy Plan has called on IEDA and IDOT to develop a detailed plan for the development of EV charging corridors to enable EV owners in Iowa or those traveling through Iowa to quickly charge their vehicles, thereby facilitating longer distance travel. 4 The Iowa EV Market Report identifies Interstates 80, 35, 29, and 380 as potential EV charging corridors and concludes that Level 3/DC Fast Charging stations, which can provide 50-70 miles of range in just 20 minutes, would be needed to reduce range anxiety and develop a full electric highway through the main interstate corridors of Iowa. 5 4. In light of the potential growth of the EV market and the existing barriers to EV adoption represented by the limited number of publicly available charging stations, the state of Iowa is presented with a unique opportunity to provide clear regulatory guidance that will offer certainty for utilities and EV charging service providers alike, thereby facilitating the development 2 Iowa EV Market Report at pp. 19-22 (July 2016) (available at https://www.iowaeconomicdevelopment.com/userdocs/documents/ieda/advancingiowaselectricvehicle MarketReport.pdf). 3 Iowa Energy Plan at p. 66. 4 Id. at p. 67. 5 Iowa EV Market Report at pp. 33-34. 2

of EV charging infrastructure available to the public. Indeed, other states are in various stages of adopting legislative and regulatory policies designed to create a framework for the adoption and growth of a coordinated EV infrastructure. Some have found that electric utilities are naturally positioned to help address or remove many of the barriers to EV adoption. 6 5. The Joint Utility Stakeholders agree that Iowa should implement policies designed to promote EV infrastructure and that recognize utilities roles in a carefully coordinated and successful long-term EV infrastructure implementation strategy. Accordingly, the Joint Utility Stakeholders support the proliferation of EVs and the expansion of EV infrastructure, but see a need for clear guidance on whether and, if so, when EV charging service providers become public utilities under Iowa Code 476.1 and, therefore, subject to the Board s regulation. Because identifying EV charging service providers as public utilities may hinder the development of EV charging infrastructure, the Joint Utility Stakeholders propose that the Board use this rulemaking to clarify that EV charging service providers are not public utilities, subject to the conditions listed below. 6. Specifically, to support EV expansion, the Board should: 1) clearly define EV charging services; and 2) create a bright line rule exempting EV charging services, whether on a time or per kwh basis, from Board regulation as a public utility. Several jurisdictions have adopted a bright line rule clarifying that an EV charging service provider is not a public utility. 7 The Board should take a similar approach here, subject to certain parameters that must be followed by the EV 6 See e.g., Policy and Interpretive Statement Concerning Commission Regulation of Electric Vehicle Charging Services, Washington Utilities and Transportation Commission Docket UE-160799 at p. 27 (June 14, 2017); Rulemaking to implement the provisions of Senate Bill 145, Public Utilities Commission of Nevada Docket No. 17-08021 (May 9, 2018) (available at http://pucweb1.state.nv.us/pdf/aximages/dockets_2015_thru_present/2017-8/29834.pdf). 7 See e.g., MAINE REVISED STATUTES Title 35-A, Sections 313-A and 3201; MINNESOTA STATUTES 216B.02; 220 ILLINOIS COMPILED STATUTES 5/3-105(c); IDAHO STATUTES 61-119; UTAH CODE 54-2- 1(8)(c); FLORIDA STATUTES 366.94; VIRGINIA CODE 56-1.2:1 and 56-232.2:1. 3

charging service provider in order to avoid being defined as a public utility under Iowa Code 476.1. These include the following: The EV charging service provider must purchase all electricity for EV charging services from the electric utility that has the statutory obligation and right to serve that customer. One of Iowa s largest EV charging service providers, ChargePoint, appears to agree with this principle when it argued that [t]here is no danger of site hosts seeking to compete with the monopoly utility because site hosts must purchase electricity from their public utility. 8 An EV charging service provider using its own generation to supply EV charging services (through asset ownership, non-utility leasing arrangement, or non-utility power purchase agreement) would be more likely deemed a public utility, especially where electricity, as fuel for vehicles, is an essential commodity that is being sold on equal terms to the public with no right by the EV charging service provider to discriminate. Moreover, at least two jurisdictions require that, in order for EV charging service provider not to be considered a public utility, the EV charging service provider must procure the electricity for the EV charging stations from the authorized public utility. 9 The EV Charging Provider should notify the electric utility of the provision of EV charging services that include Level 2 or DC Fast Charging stations for public use. 8 In re: Iowa 80 Truckstop, Inc. and Truckstops of Iowa, Inc., Docket No. TF-2017-0305, Petition to Intervene and Statement of Position of ChargePoint, Inc. (Aug. 16, 2018). 9 VIRGINIA CODE 56-1.2:1 ( The provision of electric vehicle charging service by a person that is not a public utility shall not constitute the retail sale of electricity if: 2) The person providing the electric vehicle charging service has procured the furnished electricity from the public utility that is authorized by the Commission to engage in the retail sale of electricity within the exclusive service territory in which the electric vehicle charging service is provided. ); IDAHO CODE 61-119 (2015) (exempting electricity [p]urchased from a public utility as defined in section 61-129, Idaho Code, to charge the batteries of an electric motor vehicle as provided by order or rule of the commission; ). 4

Each customer that seeks to provide EV charging services that will include Level 2 or DC Fast Charging stations for public use should be required to provide the electric utility with advance written notice of the installation of such charging stations. Advance notice of EV charging station locations will help utilities plan for system load changes and ensure the reliability of the grid and allow for safety issues to be addressed. Reasonable Consumer Protections. The parties should determine and discuss reasonable consumer protections, and the appropriate state agency to oversee such consumer protection programs. No negative impact on the authority of municipal utilities and electric cooperatives to regulate electricity rates. Any rules the Board promulgates should ensure that the resale of electricity for EV charging do not negatively impact the control of local boards and councils over the rates and service of electric utilities whose rates are locally regulated. 7. While the Joint Utility Stakeholders acknowledge that there are several other issues related to EV infrastructure policy that may be addressed in this rulemaking docket, the guiding principles set forth above are a critical first step in defining when EV charging service providers will, and will not, be deemed public utilities. These guiding principles will also serve as a launching point for future EV infrastructure regulatory policy while also providing certainty for both utilities and third-party investment in critical EV charging infrastructure. WHEREFORE, the Joint Utility Stakeholders respectfully request that the Board give these comments due consideration, including using the guiding principles set forth above as a roadmap for implementation of rules that will foster development and growth of an EV charging network 5

throughout the state of Iowa that is consistent with Iowa law and long-standing utility regulations and policy. Respectfully Submitted, The Joint Utility Stakeholders MIDAMERICAN ENERGY COMPANY /s/ Benjamin M. Clark Benjamin M. Clark Senior Attorney MidAmerican Energy Company 666 Grand Avenue, Suite 500 P.O. Box 657 Des Moines, IA 50306-0657 Phone: (515) 252-6762 bmclark@midamerican.com INTERSTATE POWER AND LIGHT COMPANY /s/ Michael S. Greiveldinger Michael S. Greiveldinger Managing Attorney Alliant Energy Corporate Services, Inc. 200 First Street S.E. P.O. Box 351 Cedar Rapids, IA 52406-0351 Phone: (608) 458-3318 michaelgreiveldinger@alliantenergy.com IOWA ASSOCIATION OF MUNICIPAL UTILITIES /s/ Timothy J. Whipple Timothy J. Whipple Iowa Association of Municipal Utilities General Counsel 1735 NE 70th Ave Ankeny, IA 50021 Phone: (515) 289-1999 twhipple@iamu.org IOWA ASSOCIATION OF ELECTRIC COOPERATIVES /s/ Dennis L. Puckett Dennis L. Puckett Sullivan & Ward, P.C. 6601 Westown Parkway Suite 200 West Des Moines, Iowa 50266 Phone: (515) 244-3500 dpuckett@sullivan-ward.com 6