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Rate and Regulatory Matters (Tables)
6 Months Ended
Jun. 30, 2023
Regulated Operations [Abstract]  
Schedule of Solar Projects The following table provides information with respect to each agreement:
Boomtown
Solar Project(a)
Huck Finn
Solar Project(b)
Split Rail
Solar Project(c)
Cass County
Solar Project(c)
Vandalia
Solar Project(c)
Bowling Green
Solar Project(c)
Agreement typeBuild-transferBuild-transferBuild-transfer
Development-transfer(d)
Self-build(e)
Self-build(e)
Facility size
150-MW
200-MW
300-MW
150-MW
50-MW
50-MW
Status of MoPSC CCNApproved April 2023Approved February 2023
Filed June 2023(f)
Filed June 2023(f)
Filed June 2023(f)
Filed June 2023(f)
Status of FERC approval of acquisitionRequested May 2023Received March 2023Expect to request by mid-2024Not applicableNot applicableNot applicable
Earliest completion date(g)(h)
Fourth quarter 2024Fourth quarter 2024Mid-2026Fourth quarter 2024Fourth quarter 2025First quarter 2026
(a)The Boomtown Solar Project is expected to support Ameren Missouri’s transition to renewable energy generation and serve customers under the Renewable Solutions Program discussed below.
(b)The Huck Finn Solar Project represents approximately $0.35 billion of capital expenditures and is expected to support Ameren Missouri’s compliance with the state of Missouri’s renewable energy standard. Investments in the project will be eligible for recovery under the RESRAM.
(c)These solar projects are expected to support Ameren Missouri’s transition to renewable energy generation.
(d)Ameren Missouri entered into an agreement to acquire the Cass County Solar Project, which includes project design, land rights, and engineering, supply, and construction agreements for a solar generation facility. Ameren Missouri will construct the facility after obtaining a CCN from the MoPSC and acquiring the project. Acquisition of the project is expected by mid-2024.
(e)Ameren Missouri entered into engineering, supply, and construction agreements to construct these solar projects.
(f)Ameren Missouri expects decisions by the MoPSC in the first quarter of 2024.
(g)Expected completion dates may be impacted by potential sourcing issues resulting from a United States Department of Commerce investigation of solar panel components imported from four Southeast Asian countries initiated in March 2022 and the detention of certain solar panel components sourced from China as a result of the Uyghur Forced Labor Prevention Act that became effective in June 2022.
(h)Expected completion dates are dependent on the timing of regulatory approvals, among other things.
Schedule of MYRP details The following table includes the forecasted revenue requirement, the requested and recommended ROE, the requested and recommended capital structure common equity percentage, and the forecasted average annual rate base for 2024 through 2027, as reflected in Ameren Illinois’ revised MYRP filing and the ICC staff’s filing:
Year
Forecasted Revenue Requirement (in millions)(a)
Requested/Recommended ROE(b)(c)
Requested/Recommended Capital Structure Common Equity Percentage(b)(d)
Forecasted Average Annual Rate Base (in billions)
Ameren Illinois’ July 2023 Filing:
2024$1,29110.5%53.99%$4.3
2025$1,38710.5%53.97%$4.6
2026$1,48410.5%54.02%$4.9
2027$1,56010.5%54.03%$5.2
ICC Staff’s July 2023 Filing:
2024$1,2118.9%50.00%$4.1
2025$1,2928.9%50.00%$4.4
2026$1,3718.9%50.00%$4.6
2027$1,4298.9%50.00%$4.8
(a)If an initial rate increase phase-in provision, discussed below, is approved by the ICC, it would not affect the annual revenue requirement, but would affect the timing of associated recovery from customers.
(b)ROE and capital structure common equity percentage requested in Ameren Illinois’ July 2023 filing and recommended in the ICC staff’s July 2023 filing.
(c)The ICC staff filing recommended an ROE based on the annual average of the monthly yields of the 30-year United States Treasury bonds plus 580 basis points, to be updated annually for each applicable calendar year of the MYRP. An estimated ROE of 8.9% was used to calculate the forecasted revenue requirements in the ICC staff filing, which is based on the average monthly yields of the 30-year United States Treasury bonds for 2022. The ICC staff proposed that variances in the revenue requirement resulting from a change in the ROE would be excluded from the reconciliation cap discussed below.
(d)A capital structure of up to and including 50% common equity is deemed prudent and reasonable by law. A higher equity ratio requires specific ICC approval.