96-18899. Filing and Reporting Requirements for Interstate Natural Gas Company Rate Schedules and Tariffs  

  • [Federal Register Volume 61, Number 144 (Thursday, July 25, 1996)]
    [Rules and Regulations]
    [Pages 38565-38567]
    From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
    [FR Doc No: 96-18899]
    
    
    
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    Federal Register / Vol. 61, No. 144 / Thursday, July 25, 1996 / Rules 
    and Regulations
    
    [[Page 38565]]
    
    
    
    DEPARTMENT OF ENERGY
    
    Federal Energy Regulatory Commission
    
    18 CFR Part 154
    
    [Docket No. RM95-3-002; Order No. 582]
    
    
    Filing and Reporting Requirements for Interstate Natural Gas 
    Company Rate Schedules and Tariffs
    
    Issued July 19, 1996.
    AGENCY: Federal Energy Regulatory Commission, DOE.
    
    ACTION: Final rule; order on clarification.
    
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    SUMMARY: The Federal Energy Regulatory Commission is issuing an order 
    clarifying Order No. 582, the final rule amending part 154 of the 
    Commission's regulations under the Natural Gas Act. Pursuant to Order 
    No. 582, two working groups were established to resolve electronic 
    filing issues. The order on clarification makes clear that formulas 
    contained in an electronic filing must be manipulable; it also 
    clarifies that if there are no underlying software ``links'' used to 
    develop a spreadsheet, links need not be created for a filing.
    
    EFFECTIVE DATE: July 19, 1996.
    
    FOR FURTHER INFORMATION CONTACT: Richard A. White, Office of the 
    General Counsel, Federal Energy Regulatory Commission, 888 First 
    Street, N.E., Washington, DC 20426, (202) 208-0491.
    
    SUPPLEMENTARY INFORMATION: In addition to publishing the full text of 
    this document in the Federal Register, the Commission also provides all 
    interested persons an opportunity to inspect or copy the contents of 
    this document during normal business hours at 888 First Street, N.E., 
    Washington, DC 20426.
        The Commission Issuance Posting System (CIPS), an electronic 
    bulletin board service, provides access to the texts of formal 
    documents issued by the Commission. CIPS is available at no charge to 
    the user and may be accessed using a personal computer with a modem by 
    dialing (202) 208-1397 if dialing locally or 1-800-856-3720 if dialing 
    long distance. To access CIPS, set your communications software to use 
    19200, 14400, 12000, 9600, 7200, 4800, 2400, or 1200bps, full duplex, 
    no parity, 8 data bits, and 1 stop bit. The full text of this document 
    will be available on CIPS indefinitely in ASCII and WordPerfect 5.1 
    format for one year. The complete text on diskette in WordPerfect 
    format may also be purchased from the Commission's copy contractor, La 
    Dorn Systems Corporation, also located in the Public Reference Room at 
    888 First Street, N.E., Washington, DC 20426.
    
        Before Commissioners: Elizabeth Anne Moler, Chair; Vicky A. 
    Bailey, James J. Hoecker, William L. Massey, and Donald F. Santa, 
    Jr.
        Filing and Reporting Requirements for Interstate Natural Gas 
    Company Rate Schedules and Tariffs
    
    Docket No. RM95-3-002
    
    Order on Clarification
    
        Issued July 19, 1996.
    
        This order responds to requests for clarification of Order No. 582 
    1 filed by Associated Gas Distributors (AGD) and The Process Gas 
    Consumer Group, the America Iron and Steel Institute, and the Georgia 
    Industrial Group (Industrials).2
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        \1\ Filing and Reporting Requirements for Interstate Natural Gas 
    Companies Rate Schedules and Tariffs, Order No. 582, 60 FR 52960 
    (October 11, 1995), II FERC Stats. & Regs. para. 19,100-19,183 
    (1995) (regulatory text), III FERC Stats. & Regs. para. 31,025 
    (1995) (preamble).
        \2\ The Industrials further request that the Commission give 
    additional directions to the Working Group, as may be required in 
    light of these clarifications.
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    I. Background
    
        Order No. 582 updated procedural rules governing the form and 
    composition of interstate natural gas pipeline tariffs and the filing 
    of rates and charges for the transportation of natural gas in 
    interstate commerce under sections 4 and 5 of the Natural Gas Act (NGA) 
    and section 311 of the Natural Gas Policy Act. Among other things, 
    Order No. 582 directed Commission staff to convene informal conferences 
    with natural gas industry members to resolve outstanding electronic 
    filing issues. Two working groups were established--one to complete 
    work on Form Nos. 2, 2A and 11 and one to complete work on rate case 
    filings. The working groups met on December 1 and 12, 1995, February 7, 
    1996 and February 8, 1996.
        Questions have arisen in the working groups concerning the use of 
    ``password protection'' 3 and ``links.'' 4
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        \3\ Present technology allows formulas used in preparing a rate 
    filing to be embedded into the electronic file such that a user may 
    have the software perform the calculations using alternate factors. 
    Spreadsheet software also commonly provides the option of assigning 
    password protection to a file. Such protection allows subsequent 
    users without the password to have ``read only'' access to the file; 
    that is, the subsequent user is able to read the file and view 
    formulas, but cannot modify or copy the file.
        \4\ A link is a software feature that allows a user to insert or 
    adjust an item once and have the new or adjusted item automatically 
    inserted in other designated locations.
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    II. Password Protection
    
        AGD requests clarification that (1) in requiring pipelines to file 
    native spreadsheet formats with links and formulas, the Commission 
    intended to provide pipeline customers and other interested parties 
    with a useful tool to fully analyze the pipeline's filing, and (2) any 
    efforts by the pipelines to undermine this intent--such as the use of 
    password protection to limit the usefulness of electronic data--are 
    prohibited as inconsistent with the Commission's orders.
        The Industrials request clarification that Statements H, I and J be 
    fully accessible to the public, with spreadsheet formulas and links 
    intact. Also, the Industrials request clarification that the issue of 
    password protection (or any other form of security) was intended to be 
    addressed by the Working Group on Filings, not as a means to block such 
    public access to the data and formulas, but to ensure public 
    participation in rate cases while accommodating the legitimate needs of 
    pipelines to ensure the security of confidential data and the integrity 
    of the formulas.
    
    a. Positions of Participants
    
        The issue presented here is whether Order No. 582 requires that the 
    formulas contained in the electronic filing be mere readable symbols, 
    as in a hard
    
    [[Page 38566]]
    
    copy, or should be manipulable such that pipeline customers or other 
    interested parties may analyze such files by inserting different 
    factors. That is, does Order No. 582 provide for an electronic tool for 
    analyzing the pipeline's filing that is not provided by the hard copy.
        Industrials state that password protection must be discussed in 
    terms of balancing the pipeline's need for security and the public's 
    right to utilize the spreadsheet formulas and data. Industrials argue 
    that only such balancing will ensure meaningful public participation in 
    pipeline rate cases.
        Industrials argue that the password protection issue was delegated 
    to the Working Groups to determine how the pipeline's legitimate desire 
    to prevent the release of confidential data and to protect the 
    integrity of formulas could be accommodated in the Commission's rule 
    allowing full accessibility to the data and formulas. Industrials point 
    out that the Commission explained that the electronic filing could 
    always be checked against the paper copy filed by the pipeline for 
    security purposes to ensure that the filing's data and formulas have 
    not been tampered with.5
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        \5\ III FERC Stats. & Regs. at 31,437.
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        Industrials state that the ready electronic availability of 
    spreadsheet data and formulas will greatly ease the burden on 
    intervenors to analyze a pipeline's rate filing. Because intervenors 
    and protestors face a short period within which to file interventions 
    and protests, Industrials state that such facilitation is necessary to 
    allow the interventions and protests to be meaningful.6 Unless the 
    filed spreadsheet data is served in a manipulable version, intervenors 
    will still have to re-input the data and formulas themselves. 
    Industrials state that this task is extremely time-consuming and would 
    lead to continued delays in analysis and development of positions. 
    Industrials state that intervenors would be deprived of the opportunity 
    to bring matters to the attention of the Commission in their 
    interventions, which matters might be capable of summary disposition in 
    the suspension order or other fast track decision making. Further, 
    Industrials state, re-inputting data almost inevitably will lead to the 
    introduction of errors. This is expensive and redundant. Industrials 
    state that, unless a non-password protected version of all spreadsheet 
    data is served on all parties as part of the original filing, most of 
    the time savings and efficiency gains achieved by the Commission's 
    orders will be undermined.
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        \6\ In light of the short time period in which the Commission 
    and interested parties have to review the filing, several items have 
    been added to speed processing of the filing and minimize additional 
    requests for information. III FERC Stats. & Regs. at 31,388.
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        The Industrials state that, though the pipelines need to file a 
    fixed version of spreadsheet data that conforms to the paper copy to 
    ensure the accuracy of the data and integrity of the formulas, a 
    blanket denial of access to the data and formulas is not the solution. 
    Industrials state that one solution is to require the filing of two 
    sets of electronic spreadsheet data and formulas: One set password-
    protected for security purposes, and the other, without such password 
    protection, available to the public for use in evaluating the filing. 
    Industrials state that its proposed solution balances the interests of 
    all parties involved.
        AGD argues that if a pipeline imposes password protection on its 
    electronic rate filings, such files will be of value only in 
    understanding the logic underlying the pipeline's proposed rate design. 
    AGD states that such files will not allow the pipeline's customers or 
    other interested parties to fully analyze such files or even to copy 
    data.
    
    b. Discussion
    
        The aspect of ``protecting'' data was discussed in two sections of 
    Order No. 582. In the section titled ``Dissemination of Data by the 
    Commission,'' the Commission stated:
    
        Password protection or other forms of security should be 
    discussed at the conference. However, as long as a paper copy is 
    available, there is a reliable way to check the accuracy of the 
    electronic data. Both the electronic data and the paper version of 
    the filing are part of the official filing and should contain the 
    same information.7
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        \7\ III FERC Stats. & Regs. at 31,437.
    
        In the section titled ``Appropriate Format for Numeric Data,'' the 
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    Commission stated:
    
        One of the stated goals of the conference was to ensure that all 
    spreadsheets contain the underlying formulas and links. Delimited 
    formats are not capable of transmitting formulas and equations. The 
    Commission agrees with the parties arguing for a spreadsheet format 
    where the formulas in the workpaper or statement are important to 
    the understanding of the pipeline's filing. To be useful, the data, 
    required in subpart D, by Statements I and J and the state tax 
    formulations in Statement H, must be received with the formulas 
    included. These formulas are necessary to understand the pipeline's 
    position with respect to cost allocation and rate design. In section 
    4 rate cases, the Commission has routinely obtained the formulas 
    through data requests asking that the information be in spreadsheet 
    form. The requirement that the initial filing be in spreadsheet 
    format avoids the burden of having the same data submitted once as a 
    tab delimited file and again, in response to a data request, in 
    spreadsheet form, in order to capture the formulas. Accordingly, 
    Statements I and J and a portion of H, containing state tax 
    formulations submitted pursuant to subpart D, must be filed in the 
    same format generated by the spreadsheet software used to create the 
    statement or workpaper. These spreadsheets must include all the 
    formulas and all links to other spreadsheets filed in the same rate 
    case.8
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        \8\ III FERC Stats. & Regs. at 31,435.
    
        The first passage above clearly directs staff to develop ways to 
    assure the accuracy of data filed electronically: to protect against 
    the accidental or intentional alteration of a filing. However, when the 
    Commission grants confidential treatment of data, the data must not be 
    made public and must not be in the public electronic data bases. 
    Methods for maintaining the confidentiality of information filed 
    electronically for which confidential treatment has been sought and 
    granted must be addressed at future meetings.
        The Industrials' discussion of the need for non-password protected 
    files to achieve time-saving and efficiency is consistent with the 
    purposes of Order No. 582. The formulas are critical for Staff and 
    intervenors to understand the pipeline's position on cost allocation 
    and rate design.9 The Commission intended that spreadsheet data, 
    and underlying formulas and links to other spreadsheets, be accessible 
    to the public. In Order No. 582, the Commission agreed with parties 
    that having PC-compatible spreadsheet files with formulas and linkages 
    intact available to customers and intervenors will speed the processing 
    of rate cases and allow many issues to be resolved in the suspension 
    order.10 Requiring parties, including staff, to input all the 
    figures from the rate case and spend weeks and rounds of discovery to 
    recreate the pipeline's computations is grossly inefficient and unduly 
    burdensome. Receiving the rate case in a manipulable format is critical 
    given the 12-day period for comment and protest.
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        \9\ III FERC Stats. & Regs. at 31,435.
        \10\ III FERC Stats. & Regs. at 31,434-5.
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        The Commission clarifies its intent to utilize the electronic 
    format to facilitate more efficient and speedy analyses of rate filings 
    by requiring that all formulas be manipulable as described herein.
    
    III. Links
    
        As noted above, Order No. 582 requires pipelines to submit their 
    filings in native spreadsheet format with links
    
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    and formulas. The issue has been raised as to whether a pipeline that 
    prepares two separate files for a Statement, without links between such 
    files (perhaps because the two files were prepared by different 
    individuals) must, nonetheless, create such links for the filing.
        AGD states that by separating a filing (e.g., Statements J and K) 
    into multiple files, pipelines would minimize the usefulness of such 
    information and deprive interested parties of the ability to engage in 
    meaningful analysis. AGD requests clarification that pipelines cannot 
    avoid the requirements of Order No. 582--in particular, the requirement 
    that pipelines must submit rate filings in native spreadsheet format 
    with links and formulas--by submitting the relevant information in 
    separate files without links.
        The Commission does not agree with AGD that the absence of such 
    links will deprive interested parties of the ability to engage in 
    meaningful analysis. Upon examination, a reviewer will be able to 
    locate links between two or more spreadsheets whether or not the link 
    is electronic. If there is no direct link between two spreadsheets 
    showing progressive calculations, an explanation of the relationship 
    between the two spreadsheets is required.11 The reviewer's 
    analysis will not be significantly compromised because two spreadsheets 
    showing progressive calculations are not linked electronically.
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        \11\ Section 154.201(b)(5) requires that ``[w]here workpapers 
    show progressive calculations, any discontinuity between one working 
    paper and another must be explained.''
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        A pipeline must support its rate adjustments with step-by-step 
    mathematical calculations accompanied by narrative explanations 
    sufficient to permit the Commission and interested parties to duplicate 
    the company's calculations.12 This may be done, in part, by 
    placing links in the spreadsheets or it may be done other ways. AGD has 
    provided insufficient reasons for limiting the pipelines' options when 
    complying with the regulations.
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        \12\ 18 CFR 154.201(b)(2).
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        If a pipeline creates a link in the preparation of its rate filing, 
    that link may not be severed prior to submitting the rate filing to the 
    Commission. The Commission strongly encourages the use of electronic 
    links. However, the Commission clarifies that if there are no 
    underlying links used to develop the spreadsheet, as in the example 
    above, links need not be created for the filing.
        The Commission orders:
        The requests for clarification of Order No. 582, the final rule 
    issued in this docket on September 28, 1995, are granted and denied as 
    discussed in the text of this order.
    
        By the Commission.
    Lois D. Cashell,
    Secretary.
    [FR Doc. 96-18899 Filed 7-24-96; 8:45 am]
    BILLING CODE 6717-01-P
    
    
    

Document Information

Effective Date:
7/19/1996
Published:
07/25/1996
Department:
Federal Energy Regulatory Commission
Entry Type:
Rule
Action:
Final rule; order on clarification.
Document Number:
96-18899
Dates:
July 19, 1996.
Pages:
38565-38567 (3 pages)
Docket Numbers:
Docket No. RM95-3-002, Order No. 582
PDF File:
96-18899.pdf
CFR: (1)
18 CFR 154