HomeMy WebLinkAbout12.28.22 Board Correspondence - FW EAP Testing Report submitted in FERC P-137-000,et al. by Pacific Gas and Electric Company,et al.From:Clerk of the BoardTo:BOSSubject:Board Correspondence - FW: EAP Testing Report submitted in FERC P-137-000,et al. by Pacific Gas and Electric Company,et al.
Date:Wednesday, December 28, 2022 8:30:20 AM
Please see Board Correspondence below.
Shaina PaulsenAssociate Clerk of The BoardButte County Administration25 County Center Drive, Suite 200, Oroville, CA 95965T: 530.552.3304 | F: 530.538.7120
-----Original Message-----From: 'FERC eSubscription' <eSubscription@ferc.gov>Sent: Tuesday, December 27, 2022 3:46 PMSubject: EAP Testing Report submitted in FERC P-137-000,et al. by Pacific Gas and Electric Company,et al.
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On 12/27/2022, the following Filing was submitted to the Federal Energy Regulatory Commission (FERC), Washington D.C.:
Filer: Pacific Gas and Electric Company Pacific Gas and Electric Company (as Agent)
Docket(s): P-137-000 P-233-000 P-619-000 P-803-000 P-1121-000 P-1962-001 P-2105-000 P-2106-000 P-2687-000Lead Applicant: Pacific Gas and Electric CompanyFiling Type: EAP Testing ReportDescription: Pacific Gas and Electric Company submits 2023 Comprehensive Tests of Emergency Action Plans in response to the August 4, 2022 FERC letter for the Shasta, Feather River and Mokelumne River Watersheds under P-137 etal.
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Power Generation
77 Beale Street
San Francisco, CA 94105
Mailing Address:
Mail Code N11D
P.O. Box 770000
San Francisco, CA 94177
December 27, 2022
Via Electronic Submittal (E-File)
Frank L. Blackett, P.E., Regional Engineer
Federal Energy Regulatory Commission
San Francisco Regional Office
100 First Street, Suite 2300
San Francisco, CA 94105-3084
RE: 2023 Comprehensive Tests of Emergency Action Plans (EAP’s)
Dear Frank L. Blackett:
This letter is in response to your letter dated August 4, 2022, regarding 2023
comprehensive tests of Pacific Gas and Electric Company’s (PG&E’s) Emergency Action
Plan’s for the Shasta, Feather River and Mokelumne River Watersheds, which includes the
projects listed in enclosure 1. PG&E acknowledges and confirms receipt of the
requirement to conduct a functional exercise for each of the projects listed in enclosure 1.
For reference, follow-up items from your letter are summarized below, each followed by
PG&E’s response and schedule, if applicable, in italics:
1) Within ninety days after the date of the course (September 27-28, 2022) you should
provide an estimated date for conducting your functional exercise to this office. The
exercise should be scheduled prior to September 30, 2023.
For the Mokelumne River Watershed which includes FERC Project No. 137, the estimated
date PG&E plans to conduct the functional exercise is August 14th -18th , 2023.
For the Shasta Watershed which includes FERC Project Nos. 233, 1121, 2106, 2687, the
estimated date PG&E plans to conduct the functional exercise is June 28, 2023.
For the Feather River Watershed which includes FERC Project Nos. 619, 803, 1962, 2105,
the estimated date PG&E plans to conduct the functional exercise is October 25, 2023.
For each of these functional exercises, PG&E plans to engage emergency management
agencies (EMA’s) and other EAP stakeholders to confirm these exercise dates and identify
exercise locations. When exercise dates and locations are confirmed, PG&E will provide a
plan and schedule, at least 90 days in advance of each exercise, in accordance with FERC
Chapter VI: Emergency Action Plans (revised July 2015) Section 6-2.2.3.
Frank L. Blackett, P.E., Regional Engineer
December 27, 2022
Page 2
Thank you for your review and input on the 2023 Emergency Action Plan (EAP) functional
exercise plan and schedule. If any further information is needed, please contact me any
time at 530-616-1079 or by email at AWH9@pge.com.
Sincerely,
Andrew Hagen
EAP Coordinator
Principal, Public Safety Specialist
Enclosure:
1. Projects included in 2023 EAP Functional Exercises
Projects Requiring EAP Functional Exercise in 2023 Enclosure 1