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Carlsbad Desalination Project
Energy Use and Pricing

Presentation to Water Planning Committee, July 26, 2012
Objectives


 Present Clean Energy Capital’s analysis of the energy-related costs of the
  Carlsbad Desalination Project

 Provide an overview of the risk allocation set forth in the Water Purchase
  Agreement (WPA)

 Discuss the key drivers of future electricity prices

 Present three electricity price projections (low, mid, high)

 Quantify the impact of the price projections on the cost of desalinated water

 Answer questions of the Water Planning Committee




                                                                                  2
Electricity Requirements of the Project

                                                       Annual Electricity Usage
 Electricity Requirements
                                                  AF / Year          48,000    56,000
      36 MW peak demand
                                                  Plant MWh         178,050   208,133
      24/7 demand profile
                                                  Pumpstation MWh    75,389    87,955
      250,000 to 300,000 MWh / annum
                                                  Total MWh         253,439   296,088

 Electricity Supplier: San Diego Gas & Electricity (SDG&E)

 Service to be provided through a newly-constructed substation
      Approximately $19 million capital cost
      Included in the capital budget
      Investment will be rebated by SDG&E over initial years of operation




                                                                                        3
Rate Structure: ALTOU + EECC Tariff


                                 ALTOU + EECC

      Transmission and distribution               Electric energy commodity
                                                    charge ($/kWh)
      Basic services charges ($/month)
                                                   Dept. of Water Resources Bond
      Peak demand charge ($/kW)                    Charge ($/kWh)
      Energy charge ($/kWh)                       State surcharges ($/kWh)

 Components vary with:
      Season: Winter versus Summer
      Time of Day: On-peak, semi-peak, off-peak

 Electricity pricing for the Project will benefit from its large and constant load
      Current price of 9.29 cents/kWh, versus SDG&E industrial average of 14.38



                                                                                      4
Risk Allocation in the WPA

Poseidon bears consumption risk              Water Authority bears price risk
   Electricity consumption allowances are      The price of energy is passed through
    established in the WPA (kWh/kgal)            in the Water Unit Price
       Raw seawater temperature
                                                The “price of energy” is expected to be
       Raw seawater TDS
                                                 SDG&E’s ALTOU+EECC tariff
       Plant operating mode
                                                The Water Authority has the right to:
   Poseidon bears “over-under” risk
                                                    Direct energy supply to a third-party
    versus consumption allowance
                                                     power provider

   Poseidon is incentivized to operate             Supply energy itself
    efficiently

   Consumption allowance will be trued-
    up after three years operations




                                                                                             5
The Electricity Charge


 Energy Consumption Allowance x Energy Price = Electricity Charge
      The Electricity Charge is approximately 25% of the Water Unit Price

 The Electricity Charge has two components:
      Fixed Electricity Charge
      Variable Electricity Charge

                       Water Authority Payment Obligation
                                                     Fixed               Variable
                                               Electricity Charge   Electricity Charge
Product Water Taken by the Water Authority             X                     X
Unexcused Demand Shortfall                             X
Unexcused Supply Shortfall
Excused Demand or Supply Shortfall
Excess Water                                                                 X

                                                                                         6
Historic Electric Prices


 SDG&E’s average industrial rate increased by 1.18% annually 1981-2010
      Inflation during this period was 2.61%
      Relative to other goods and services, electricity has become less expensive




                                                                                     7
Future Electricity Prices – Key Drivers


    Factors driving higher growth rate       Factors driving lower growth rate

•   Renewable Portfolio Standard (RPS)   •   Natural Gas Prices
•   AB 32                                •   Demand-Side Response
                                         •   Rate-Setting Process




                                                                                 8
Renewable Portfolio Standard (RPS)


 SDG&E is committed to increase its renewable energy production to 33%
  by 2020
      The primary renewable resources are wind, solar, biomass and geothermal
      These resources are typically more expensive than traditional generation
      A portion of the cost of investment is offset through federal subsidies

 Implementation of RPS depends on rate increases approved by the
  California Public Utilities Commission (CPUC)
      Generally, the California investor-owned utilities have not met their intermediate
       RPS targets

 RPS is expected to increase the rate of electricity price escalation during
  the period of utility investment

 Once in service, renewable generating resources have little or no fuel cost


                                                                                            9
Assembly Bill 32 (AB 32)
- The California Global Warming Solutions Act of 2006


 AB 32 will phase-in a carbon cap-and-trade system for California
      Cap-and-trade works by establishing a cap on CO2 emissions for target emitters
      SDG&E is included as a target emitter
      The Project is not

 AB 32 will require emitters to:
      Produce no more CO2 emissions than their cap amount, or
      Purchase carbon credits from the State or other emitters, or
      Acquire offsets in the form of greenhouse gas savings

 Over time, the State will gradually lower the caps until a 15% reduction in
  emissions is achieved
      This 15% reduction is required by 2020
      However, implementation is complex and has been delayed



                                                                                        10
Assembly Bill 32 (AB 32) – cont.
- The California Global Warming Solutions Act of 2006


 AB 32 compliance is expected to exert upward pressure on electricity prices

 However, the impact on SDG&E’s cost of power is unclear
      Much depends on the initial allocation of credits
      SDG&E expects to at least partially satisfy its carbon cap as a result of its RPS
       investments in renewable generating resources
      Depending on the timing of AB 32 implementation, versus RPS implementation,
       SDG&E could be a buyer or a seller of credits




                                                                                           11
Natural Gas


 SDG&E generates 60% of its electricity
  from natural gas
      Natural gas availability and pricing is a key
       driver of electricity prices

 The natural gas outlook is favorable
      Combined-cycle gas turbines are highly
       efficient and emit up to 50% less carbon
       than coal-fired power plants
      Natural gas reserves have expanded
       dramatically
      Prices are expected to settle at $4–5/mBtu

 U.S. natural gas fundamentals are
  expected to exert downward pressure on
  future electricity price escalation

                                                       12
Demand-Side Response


 Price elasticity: demand for electricity will respond to electricity pricing

 Higher escalation rates create higher incentives for conservation

 Lower demand growth exerts a downward pressure on electricity price
  escalation, especially over the long term




                                                                                 13
Rate-Setting Process


 SDG&E lacks rate-setting authority
      Instead, rate-setting authority is vested in the California Public Utilities
       Commission (CPUC)

 CPUC regulation of rates is considered to be a significant constraining
  factor on both electricity price escalation and RPS implementation

 SDG&E adjusts its rates every 3-4 years through rate cases with the CPUC
      SDG&E would typically expect to receive approval of rate increases of 3 – 6%
       every three years
      This range equates to annual rate escalation of 1 – 2%

 SDG&E’s historic electricity price escalation of 1.18% annually is equivalent
  to a rate case increase every three years of approximately 3.60%




                                                                                      14
Future Electricity Prices
- California Energy Commission Projections


 Rate forecasts for SDG&E’s industrial rate from 2010 to 2022
 These forecasts incorporate variations in the key drivers discussed on
  previous slides
 Forecasted escalation varies from 0.5% - 1.7% annually




                                                                           15
Future Electricity Prices
- Staff / Clean Energy Capital Projections for the Project


           • Future escalation at historic average escalation rate
             of 1.18%
Low
           • Treating historic rates as a Low Scenario
Scenario     emphasizes the likelihood that future escalation will
             be higher than historic experience


           • Assumes significant RPS / AB 32 implementation
           • Escalation at 3% annually for next 15 years (5
Mid          successive 9% rate cases)
Scenario   • Reversion thereafter to 1.18% historic average
           • Blended average escalation of 2.0%
           • 170% of historic average


           •   Assumes high RPS / AB 32 implementation
           •   Escalation at 3.4% annually for next 18 years (6
High
               successive 10+% rate cases)
Scenario   •   Blended average escalation of 2.38%
           •   More than double historic average



                                                                     16
Future Electricity Prices
- Staff / Clean Energy Capital Projections for the Project


 Electricity price projections for the Project are summarized below

 The Mid Scenario will be used as the Base Case for proforma modeling

 Actual energy prices may be higher or lower than the forecasts




                                                                         17
Electricity Charge Projections

 Electricity charge escalation is expected to be comparable with Operating
  Charge escalation and the fixed escalation of the Capital Charge

 Electricity costs are expected to remain approximately 25% of the Water
  Unit price over the term of the WPA




                                                                              18
Strategies for Managing Electricity Price Risk


 The Water Authority’s right to direct power supply mitigates the Water
  Authority’s price risk
      In a third-party supply scenario, SDG&E would be expected to continue to provide
       transmission and distribution services

 Third-Party power supply alternatives might include:
      Long-term commitment to natural gas generating facility
      Long-term commitment to renewable energy generating facility
      Water Authority self-generation




                                                                                     19
Disclaimer




This presentation has been prepared by Clean Energy Capital Securities LLC ("CEC"). No responsibility is taken or accepted by CEC for
the adequacy, completeness or accuracy of the assumptions on which it is based and all liability therefore is expressly excluded.

Any projections or other estimates in these materials, including estimates of returns, cash flows or performance, are forward looking
statements based upon certain assumptions and are preliminary in nature. Actual results are difficult to predict and may depend upon
factors within or beyond CEC's control. Actual events may differ from those assumed and changes to any assumptions may have a
material impact on any projections or estimates. Certain assumptions may have been only to simplify the presentation and/or the
calculation of any projections or estimates, and CEC does not represent that any such assumptions will reflect actual future events or that
all assumptions in achieving such projections or estimates have been considered or stated. CEC disclaims any and all liability relating to
these materials, including without limitation any express or implied representations or warranties for, statements (including forward-looking
statements) contained in, and omissions from, the information herein.

CIRCULAR 230 DISCLOSURE
TO ENSURE COMPLIANCE WITH REQUIREMENTS IMPOSED BY THE INTERNAL REVENUE SERVICE, WE INFORM YOU THAT (A)
ANY UNITED STATES FEDERAL TAX ADVICE CONTAINED HEREIN (INCLUDING ANY ATTACHMENTS OR ENCLOSURES) WAS
NOT INTENDED OR WRITTEN TO BE USED, AND CANNOT BE USED, FOR THE PURPOSE OF AVOIDING UNITED STATES
FEDERAL TAX PENALTIES, (B) ANY SUCH ADVICE WAS WRITTEN TO SUPPORT THE PROMOTION OR MARKETING OF THE
TRANSACTIONS OR MATTERS ADDRESSED HEREIN AND (C) ANY TAXPAYER TO WHOM THE TRANSACTIONS OR MATTERS
ARE BEING PROMOTED, MARKETED OR RECOMMENDED SHOULD SEEK ADVICE BASED ON ITS PARTICULAR
CIRCUMSTANCES FROM AN INDEPENDENT TAX ADVISOR.



         Clean Energy Capital Securities LLC is a registered broker dealer and Member, FINRA / SIPC



                                                                                                                                                20

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Energy Use and Pricing for Carlsbad Seawater Desalination

  • 1. Carlsbad Desalination Project Energy Use and Pricing Presentation to Water Planning Committee, July 26, 2012
  • 2. Objectives  Present Clean Energy Capital’s analysis of the energy-related costs of the Carlsbad Desalination Project  Provide an overview of the risk allocation set forth in the Water Purchase Agreement (WPA)  Discuss the key drivers of future electricity prices  Present three electricity price projections (low, mid, high)  Quantify the impact of the price projections on the cost of desalinated water  Answer questions of the Water Planning Committee 2
  • 3. Electricity Requirements of the Project Annual Electricity Usage  Electricity Requirements AF / Year 48,000 56,000  36 MW peak demand Plant MWh 178,050 208,133  24/7 demand profile Pumpstation MWh 75,389 87,955  250,000 to 300,000 MWh / annum Total MWh 253,439 296,088  Electricity Supplier: San Diego Gas & Electricity (SDG&E)  Service to be provided through a newly-constructed substation  Approximately $19 million capital cost  Included in the capital budget  Investment will be rebated by SDG&E over initial years of operation 3
  • 4. Rate Structure: ALTOU + EECC Tariff ALTOU + EECC  Transmission and distribution  Electric energy commodity charge ($/kWh)  Basic services charges ($/month)  Dept. of Water Resources Bond  Peak demand charge ($/kW) Charge ($/kWh)  Energy charge ($/kWh)  State surcharges ($/kWh)  Components vary with:  Season: Winter versus Summer  Time of Day: On-peak, semi-peak, off-peak  Electricity pricing for the Project will benefit from its large and constant load  Current price of 9.29 cents/kWh, versus SDG&E industrial average of 14.38 4
  • 5. Risk Allocation in the WPA Poseidon bears consumption risk Water Authority bears price risk  Electricity consumption allowances are  The price of energy is passed through established in the WPA (kWh/kgal) in the Water Unit Price  Raw seawater temperature  The “price of energy” is expected to be  Raw seawater TDS SDG&E’s ALTOU+EECC tariff  Plant operating mode  The Water Authority has the right to:  Poseidon bears “over-under” risk  Direct energy supply to a third-party versus consumption allowance power provider  Poseidon is incentivized to operate  Supply energy itself efficiently  Consumption allowance will be trued- up after three years operations 5
  • 6. The Electricity Charge  Energy Consumption Allowance x Energy Price = Electricity Charge  The Electricity Charge is approximately 25% of the Water Unit Price  The Electricity Charge has two components:  Fixed Electricity Charge  Variable Electricity Charge Water Authority Payment Obligation Fixed Variable Electricity Charge Electricity Charge Product Water Taken by the Water Authority X X Unexcused Demand Shortfall X Unexcused Supply Shortfall Excused Demand or Supply Shortfall Excess Water X 6
  • 7. Historic Electric Prices  SDG&E’s average industrial rate increased by 1.18% annually 1981-2010  Inflation during this period was 2.61%  Relative to other goods and services, electricity has become less expensive 7
  • 8. Future Electricity Prices – Key Drivers Factors driving higher growth rate Factors driving lower growth rate • Renewable Portfolio Standard (RPS) • Natural Gas Prices • AB 32 • Demand-Side Response • Rate-Setting Process 8
  • 9. Renewable Portfolio Standard (RPS)  SDG&E is committed to increase its renewable energy production to 33% by 2020  The primary renewable resources are wind, solar, biomass and geothermal  These resources are typically more expensive than traditional generation  A portion of the cost of investment is offset through federal subsidies  Implementation of RPS depends on rate increases approved by the California Public Utilities Commission (CPUC)  Generally, the California investor-owned utilities have not met their intermediate RPS targets  RPS is expected to increase the rate of electricity price escalation during the period of utility investment  Once in service, renewable generating resources have little or no fuel cost 9
  • 10. Assembly Bill 32 (AB 32) - The California Global Warming Solutions Act of 2006  AB 32 will phase-in a carbon cap-and-trade system for California  Cap-and-trade works by establishing a cap on CO2 emissions for target emitters  SDG&E is included as a target emitter  The Project is not  AB 32 will require emitters to:  Produce no more CO2 emissions than their cap amount, or  Purchase carbon credits from the State or other emitters, or  Acquire offsets in the form of greenhouse gas savings  Over time, the State will gradually lower the caps until a 15% reduction in emissions is achieved  This 15% reduction is required by 2020  However, implementation is complex and has been delayed 10
  • 11. Assembly Bill 32 (AB 32) – cont. - The California Global Warming Solutions Act of 2006  AB 32 compliance is expected to exert upward pressure on electricity prices  However, the impact on SDG&E’s cost of power is unclear  Much depends on the initial allocation of credits  SDG&E expects to at least partially satisfy its carbon cap as a result of its RPS investments in renewable generating resources  Depending on the timing of AB 32 implementation, versus RPS implementation, SDG&E could be a buyer or a seller of credits 11
  • 12. Natural Gas  SDG&E generates 60% of its electricity from natural gas  Natural gas availability and pricing is a key driver of electricity prices  The natural gas outlook is favorable  Combined-cycle gas turbines are highly efficient and emit up to 50% less carbon than coal-fired power plants  Natural gas reserves have expanded dramatically  Prices are expected to settle at $4–5/mBtu  U.S. natural gas fundamentals are expected to exert downward pressure on future electricity price escalation 12
  • 13. Demand-Side Response  Price elasticity: demand for electricity will respond to electricity pricing  Higher escalation rates create higher incentives for conservation  Lower demand growth exerts a downward pressure on electricity price escalation, especially over the long term 13
  • 14. Rate-Setting Process  SDG&E lacks rate-setting authority  Instead, rate-setting authority is vested in the California Public Utilities Commission (CPUC)  CPUC regulation of rates is considered to be a significant constraining factor on both electricity price escalation and RPS implementation  SDG&E adjusts its rates every 3-4 years through rate cases with the CPUC  SDG&E would typically expect to receive approval of rate increases of 3 – 6% every three years  This range equates to annual rate escalation of 1 – 2%  SDG&E’s historic electricity price escalation of 1.18% annually is equivalent to a rate case increase every three years of approximately 3.60% 14
  • 15. Future Electricity Prices - California Energy Commission Projections  Rate forecasts for SDG&E’s industrial rate from 2010 to 2022  These forecasts incorporate variations in the key drivers discussed on previous slides  Forecasted escalation varies from 0.5% - 1.7% annually 15
  • 16. Future Electricity Prices - Staff / Clean Energy Capital Projections for the Project • Future escalation at historic average escalation rate of 1.18% Low • Treating historic rates as a Low Scenario Scenario emphasizes the likelihood that future escalation will be higher than historic experience • Assumes significant RPS / AB 32 implementation • Escalation at 3% annually for next 15 years (5 Mid successive 9% rate cases) Scenario • Reversion thereafter to 1.18% historic average • Blended average escalation of 2.0% • 170% of historic average • Assumes high RPS / AB 32 implementation • Escalation at 3.4% annually for next 18 years (6 High successive 10+% rate cases) Scenario • Blended average escalation of 2.38% • More than double historic average 16
  • 17. Future Electricity Prices - Staff / Clean Energy Capital Projections for the Project  Electricity price projections for the Project are summarized below  The Mid Scenario will be used as the Base Case for proforma modeling  Actual energy prices may be higher or lower than the forecasts 17
  • 18. Electricity Charge Projections  Electricity charge escalation is expected to be comparable with Operating Charge escalation and the fixed escalation of the Capital Charge  Electricity costs are expected to remain approximately 25% of the Water Unit price over the term of the WPA 18
  • 19. Strategies for Managing Electricity Price Risk  The Water Authority’s right to direct power supply mitigates the Water Authority’s price risk  In a third-party supply scenario, SDG&E would be expected to continue to provide transmission and distribution services  Third-Party power supply alternatives might include:  Long-term commitment to natural gas generating facility  Long-term commitment to renewable energy generating facility  Water Authority self-generation 19
  • 20. Disclaimer This presentation has been prepared by Clean Energy Capital Securities LLC ("CEC"). No responsibility is taken or accepted by CEC for the adequacy, completeness or accuracy of the assumptions on which it is based and all liability therefore is expressly excluded. Any projections or other estimates in these materials, including estimates of returns, cash flows or performance, are forward looking statements based upon certain assumptions and are preliminary in nature. Actual results are difficult to predict and may depend upon factors within or beyond CEC's control. Actual events may differ from those assumed and changes to any assumptions may have a material impact on any projections or estimates. Certain assumptions may have been only to simplify the presentation and/or the calculation of any projections or estimates, and CEC does not represent that any such assumptions will reflect actual future events or that all assumptions in achieving such projections or estimates have been considered or stated. CEC disclaims any and all liability relating to these materials, including without limitation any express or implied representations or warranties for, statements (including forward-looking statements) contained in, and omissions from, the information herein. CIRCULAR 230 DISCLOSURE TO ENSURE COMPLIANCE WITH REQUIREMENTS IMPOSED BY THE INTERNAL REVENUE SERVICE, WE INFORM YOU THAT (A) ANY UNITED STATES FEDERAL TAX ADVICE CONTAINED HEREIN (INCLUDING ANY ATTACHMENTS OR ENCLOSURES) WAS NOT INTENDED OR WRITTEN TO BE USED, AND CANNOT BE USED, FOR THE PURPOSE OF AVOIDING UNITED STATES FEDERAL TAX PENALTIES, (B) ANY SUCH ADVICE WAS WRITTEN TO SUPPORT THE PROMOTION OR MARKETING OF THE TRANSACTIONS OR MATTERS ADDRESSED HEREIN AND (C) ANY TAXPAYER TO WHOM THE TRANSACTIONS OR MATTERS ARE BEING PROMOTED, MARKETED OR RECOMMENDED SHOULD SEEK ADVICE BASED ON ITS PARTICULAR CIRCUMSTANCES FROM AN INDEPENDENT TAX ADVISOR. Clean Energy Capital Securities LLC is a registered broker dealer and Member, FINRA / SIPC 20