Jim Sconyers 
jim_scon(a)yahoo.com 
304.698.9628 
Remember: Mother Nature bats last.
----- Forwarded Message ----
From: Tina Rappaport <tinazipp(a)gmail.com>
Sent: Sat, December 11, 2010 2:07:16 PM
Subject: PATH LINE may get dismissed - YOUR HELP IS NEEDED FAST - act by
Dear friends across the beautiful state of West Virginia,
We are at a historic crossroad and YOU can make a difference. 
The Consumer Advocate Division of the WV Public Service Commission has 
recommended to the Commission that the PATH application be dismissed, for now. 
We are pushing for you and all your friends, relatives and neighbors to flood 
the WV PSC with a brief letter of support by Tuesday, Dec. 14th or sooner.
Summarized details about this latest development can be found below and the full 
document may be accessed on Bill Howley's blog
What you need to know is that this is huge and we want the PSC to listen to the 
PSC's Consumer Advocate Division AND the good people of West Virginia.
Please send a short note and have everyone you know do the same. This is the 
moment to act and encourage others to do the same. You may use this simple note:
Send and address to:  (You can save a stamp if you scan your letter and email it 
to Ali Haverty at almahaverty(a)gmail.com and she'll FAX it in)
Sandra Squire
Executive Secretary
Public Service Commission of West Virginia
201 Brooks Street
Charleston, West Virginia 25301
DATE: December ____, 2010
RE: Case Number: 09-0770-E-CN
To the Commissioners of the West Virginia Public Service Commission,
I/We fully support the PSC staff's motion to dismiss this case.
Respectfully yours,
(Your Name/s and address)
INTERVENORS - Bill Howley isn't worrying about serving those not on the PSC 
email list this time, and I suggest we all follow suit and just get this done 
fast and simple. Read below for more details.
My best always,
Tina Rappaport, 304-655-0003
________________________________________________________________________________________________________
 
Folks whether or not you are an intervernor or not you should send a note to the 
West Virginia PSC  Today NOW ASAP stating your support for the PSC’s Staff’s 
motion to Dismiss the PATH Case. 
 
The address of the PSC and case number as a reminder.  The case number should be 
on all correspondence.
The PATH case number is 09-0770-E-CN.
The WV PSC Address -
Sandra Squire
Executive Secretary
Public Service Commission of West Virginia
201 Brooks Street
Charleston, West Virginia 25301
 
 
Please do this Now…John Cobb
 
Here is Bill Howely’s not to us all on this Important Need…
 
 
 
From:WVaPATH@yahoogroups.com [mailto:WVaPATH@yahoogroups.com] On Behalf Of Bill 
Howley
Everyone, I mean everyone, who is intervenor in the PATH Case needs to file a 
simple joinder statement to the PSC staff's motion to dismiss.  You can put it 
in the form of a formal filing, or you can send it as a letter.  I'm not going 
to worry about serving everyone else by mail on this one.
We just need to overwhelm the Commissioners with a major show of support for the 
motion to dismiss.
This may be our only shot at killing this thing.  We need to pull out all the 
stops and get it done by the middle of next week. 
Take a few minutes and bang out a simple statement "I fully support the PSC 
staff's motion to dismiss."  It can be that simple.  But we have to let the 
Commissioners know that people across the state want this stopped.
Invite everyone you know who is not an intervenor to send letters. 
This is a great time for everyone else to get their nose into the PSC case.
 
To help you understand today’s Motion to Dismiss the Path Case I have excerpt 
key portions of the PSC Staff’s Motion to Dismiss…feel free to use any portion 
of this or just state your support the Staff’s Motion to dismiss…John Cobb!
 
This is a (simplified recap) of the PSC’s Staff’s Motion to Dismiss 
PATH12/10/2010:
 
 
The Staffof the West Virginia Public Service Commission respectfully submits 
Staff’s Motion, requesting that the Commission dismiss Power Companies 
application for PATH as insufficient, or in the alternative, require the 
Applicants to request a tolling and implement further case processing 
procedures.
 
Staff asserts certain new developments pertaining to the status of the Dominion 
Power Alternative 1, to PATH to Rebuild the Mt. Storm-Doubs 500kV, transmission 
line…and to rebuild the Mt Storm – Pruntytown  transmission line at a lower cost 
than the PATH project means that theCommission does not have all the information 
it needs to properly evaluate this PATH project and other reasonable 
alternatives.
 
Further, the result ofthese rebuilds will be a more stable line with 65% 
increased capacity.
 
Now, the owner of that line needs to rebuild it because of the advanced age of 
its infrastructure and the inherent danger of a collapse.
 
The Staff of the PSC asserts that “It is ludicrous to continue to move forward 
with the PATH project while major changes are being contemplated for critical 
transmission infrastructures that should be factored into assessment of the need 
for PATH.”
 
The Staff further asserts that, “Certain PJM approved upgrades to the 
transmission system have potentially moved all potential future voltage 
violations and potential blackouts out beyond 2019.”
 
It is now possible that the PATH project might not be needed until 2020 or 
beyond.
 
Given the lack of information concerning a full and meaningful evaluation of 
these issues, Staff believes this Application as currently filed is incomplete 
and should be dismissed.
 
The estimated cost for the entirety of Dominion  Rebuild Alternative 1,  is 
$500-600 million as compared to over $2.1 billion for the PATH project.
 
The Staff further declares “Even more glaring, the “Liberty” project alternative 
all located in Pennsylvania, which is several hundred million dollars cheaper 
than PATH and resolves all of the thermal and reactive violations through 2025, 
has been rejected as a replacement for by PATH by PJM and the Power Companies 
because it does not provide as much of a megawatt margin as the PATH project.”
 
Under West Virginia Code 524-2-1 la(d)( l), a proposed transmission line must
66.. .economically, adequately and reliably contribute to meeting the present 
and anticipated requirements for electric power ...” As PJM has not done so, 
Staff believes the Applicants need to provide an analysis and testimony as to 
how PATH economically contributes to meeting the requirements for electric power 
in light of viable alternatives that are significantly cheaper and provide most 
of the same benefits.
 
Once again, the Application as it is currently filed lacks information as to how 
the PATH
project strikes this balance in light of the alternatives that have been 
proposed. This omission is especially striking for Dominion Alternative 1. That 
alternative involves the rebuild of two lines and the addition of voltage 
compensators, actions which will occur on existing rights-of-way, which will 
result in the taking of little to no additional public land, and which should 
have very little environmental impact, especially compared to PATH.
 
The question that comes to mind given these factors is does PATH represent a 
reasonable balance betweenreasonable power needs and reasonable environmental 
factors when there is an alternative that will have substantially lower 
environmental impacts that resolves the identified power problems in the near 
and medium term? Staff believes this Application is further deficient due to the 
lack of that analysis and should be dismissed.
 
Obviously, this analysis and the economic analysis should focus on, but not 
necessarily be limited too, Dominion Alternative 1 as this Commission, the State 
of West Virginia and its residents all have a large stake in that alternative 
and a portion of that alternative has already been approved by PJM.
 
Further, it is reasonable to include in any new testimony a discussion of the 
need to rebuild the Pruntytown-Mt. Storm line. The rebuild of that line is a 
major component of Dominion Alternative 1, that line is approximately the same 
age as the Mt. Storm-Doubs line which needs to be rebuilt due to its age, and is 
owned by a subsidiary of Allegheny Power, the parent of one of the Applicants in 
this proceeding.
 
Therefore,  Staff moves the Commission (1) to dismiss PATH’S Application
without prejudice; (2) permit for re-filing once a new analysis has been 
completed that
includes all the recent developments; (3) order the Applicants to file updated 
testimony in
regards to the economic and environmental aspects of this project, including a 
discussion of the need to rebuild the Pruntytown-Mt. Storm line.
 
John Cobb 2/11/2010
304-452-9634