Stipulated Facts. The Settling Parties have stipulated to the facts set forth below for purposes of this Settlement Agreement. 1. In 2020, PG&E initiated a total of seven PSPS events and submitted seven post event reports to the Commission. 2. As authorized by the Commission, SED investigated PG&E’s compliance with Resolution ESRB-8, Decision (D.) ▇▇-▇▇-▇▇▇ and D.▇▇-▇▇-▇▇▇ in executing its 2020 PSPS events. 3. On June 15, 2022, the SED issued a proposed Administrative Enforcement Order (AEO) to PG&E pursuant to the Commission Enforcement Policy adopted by Resolution M-4846. 4. In the AEO, SED alleges that PG&E did not comply with provisions of Commission Resolution ESRB-8, D.▇▇-▇▇-▇▇▇, and D.▇▇-▇▇-▇▇▇, as identified in the AEO and detailed in attachment to the Administrative Enforcement Order “2020 Public Safety Power Shutoff (PSPS) Post Event Report Review” (2020 Post Event Report). 5. In the AEO, SED directs PG&E to take six corrective actions to address findings in the AEO. ▇▇▇ also recommends that PG&E pay a monetary penalty of $12 million due to PG&E’s failure to notify some customers during de-energization and re-energization. 6. PG&E submitted a Request for Hearing of the proposed AEO on the grounds that the $12 million penalty was excessive. PG&E has implemented or will implement the corrective actions, including modifying procedures to provide notice to customers upon de-energization.
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Sources: Settlement Agreement, Settlement Agreement