This summary was computer-generated without any editorial revision. It is not official, has not been checked for accuracy, and is NOT citable.
Facts
- The Socorro Electric Cooperative, Inc. (SEC), a rural electric cooperative, appealed an order from the New Mexico Public Regulation Commission (Commission) that rejected SEC's proposed rate increases and directed SEC to adopt rates the Commission determined to be just and reasonable. SEC had filed an Advice Notice proposing to increase rates by approximately $1.25 million or 5.06% from its 2017 test year and to reallocate revenue collections among its customer classes based on a Cost of Service Study. Several SEC members filed protests with the Commission, leading to an evidentiary hearing and the Commission's eventual rejection of SEC's proposed rates (paras 1-5).
Procedural History
- NMPRC Case No. 18-00383-UT: The Commission rejected rates proposed by SEC and directed SEC to adopt rates determined by the Commission to be just and reasonable.
Parties' Submissions
- Appellant (SEC): Argued that the Commission exceeded its authority by rejecting SEC's proposed rates and fixing different rates, contending that the Commission could only approve or deny rates as proposed. SEC also claimed the order was arbitrary, capricious, and not supported by substantial evidence (paras 2, 42-43).
- Appellee (Commission): Defended its authority to fix just and reasonable rates for SEC and maintained that its ratemaking decisions were within its jurisdiction, reasonable, and supported by substantial evidence. The Commission's position was supported by the City of Socorro and the New Mexico Institute of Mining and Technology, both intervenors and members/ratepayers of SEC (para 3).
Legal Issues
- Whether the Commission exceeded its statutory authority by rejecting SEC's proposed rates and ordering SEC to adopt different rates deemed just and reasonable by the Commission.
- Whether the Commission's decision to reject SEC's proposed rates and its ratemaking decisions were arbitrary, capricious, and unsupported by substantial evidence.
Disposition
- The Supreme Court of the State of New Mexico affirmed the Commission’s final order.
Reasons
-
The Court found that the Commission properly exercised its authority to fix just and reasonable rates for SEC once its jurisdiction under Section 62-8-7(H) was invoked. The Court held that the Commission did not exceed its statutory authority, as it had the mandate to determine whether a cooperative’s proposed rates were just and reasonable and to fix such rates if found unreasonable. The decision to reject SEC's proposed rates and the Commission's ratemaking decisions were within the scope of the Commission's authority, reasonable, and supported by substantial evidence. The Court also concluded that the Commission's actions were not arbitrary or capricious, noting the Commission's broad discretion in setting rates and determining the appropriate method for establishing just and reasonable rates. The Court emphasized that regulatory commissions have substantial latitude in protecting the public interest and that the regulation of rates is a matter of public concern, thus falling within the Commission's regulatory authority (paras 22-60).
You are being directed to the most recent version of the statute which may not be the version considered at the time of the judgment.