1 ffy2011 presented at ffy2011 eap annual training august 11 & 12, 2010 section 2 content: ...
TRANSCRIPT
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FFY2011
Presented at FFY2011 EAP Annual Training August 11 & 12, 2010
Section 2 content: Chapter 1
Program Control Environment
Chapter 2 Overview of Service Provider Responsibility
Chapter 3 Vendor
EAP EAP Annual Annual TraininTraininggSection 2Section 2 (Of 6)(Of 6)
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Program Description EAP Business Strategy Model EAP Internal Controls Framework (ICF)
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
Chapter ContentChapter Content
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Program ManagementProgram Management
A number of concepts have been developed over time Each added to EAP improvements & made a good
program even better Lately we have tried to more fully integrate these
concepts into whole comprehensive approach We are not yet done, further work is ahead
Incremental Development Of EAP Business Incremental Development Of EAP Business Models & StrategiesModels & Strategies
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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The Minnesota ModelThe Minnesota Model EAP employs a “Coordinated Responsibility Model” The Model assumes households, vendors, and the program all have a
role in assuring heat for low-income households during the winter. Program responsibility includes providing heating payment
supplements, case management and advocacy for households, and maintaining influence with vendors.
Energy Vendor responsibility is to be as flexible as possible so energy payments leverage the highest possible level of service to the household.
Household responsibility is to make reasonable and planned payments for energy service, access government aid when necessary and communicate with vendors and government service providers.
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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EAP Management ApproachEAP Management ApproachProven Process Including Project Plans Tools Continuous Improvement
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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Formal & Documented Project Formal & Documented Project PlansPlans Built with stakeholder input
PAC EACA JAD State Staff Policy makers
Puts a well-understood and accepted process in place for reaching the project’s results
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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Approach by Advanced Approach by Advanced StrategiesStrategies Used to develop eHEAT Trained all EAP State Staff Developed Internal Plans
Master Plan Project Plans
Conducted JADs Issues Management Broadened application
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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Project (Effort) DefinitionsProject (Effort) Definitions Intentions: Goals or outcomes intended Values: Principles, standards and ideals incorporated
into the project or effort Focus: What’s included and excluded Context: Situations existing around the project, not
part of it but can affect it
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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Business Strategy ModelBusiness Strategy ModelWhy Do We Need a BSM?Provides a Shared Vision Gives people a sense we are all serving the same goals ... we
are all working together Helps build a high-performing team Helps provide consistent messages to key stakeholders Helps guide day-to-day decisions and actions BSM Intention Statement is our Mission – State Plan, Local Plan We know you have heard it before but this is our basic
foundation/strategy/mission
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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EAP BSM Intention EAP BSM Intention StatementStatementMaintain affordable, continuous, and safe home energy for low-income Minnesota households
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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VisionVisionWhat happens if we don’t have a shared vision? We each have a vision that underlies our behavior If it is not shared – we appear to be
Out of sync Disorganized Inefficient Inconsistent Selfish Ultimately not worthy of confidence Appear unreliable (different responses from different individuals)
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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The Business Strategy ModelThe Business Strategy Model Handout in Folder
Vision
Offerings Markets External Internal
Means
Definitions Why does your unit or organization
exist?
What guides the behavior of your organization?
What products or services do we provide?
To whom do we provide them?
What factors outside our organization must we monitor and adjust to?
How should we organize ourselves to meet our intentions, within our values?
Intentions
Values
Means
Environments
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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Program ManagementProgram ManagementEAP and PAC BSM SharedEAP & PAC BSM are same except means, but share Intentions Values Means (Offerings & Markets) Environments
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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Program ManagementProgram ManagementPAC BSM- Background
How we got here Developed for the program by the State Staff Extracted PAC specific content from a combination of program
BSM and PAC effort definition
Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
EAP BSM - ValuesEAP BSM - Values
4 categories1. Overall2. Regarding Households3. Regarding Collaboration4. Regarding Policy Direction
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
EAP BSM - ValuesEAP BSM - Values1. Overall
a. Affordable, safe, and dependable energy b. Advocacy c. Good stewardship of resources d. Being realistic about limitationse. Qualityf. Partners and Partnerships (see Coordinated Responsibility Model)g. Understanding the program in the context of broader public policy
and other needs of low-income Minnesotans h. Being the compass but not the mapi. Reward positive, proactive behavior by all energy stakeholders
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
EAP BSM - ValuesEAP BSM - Values2. Regarding Households
a. Dignity and privacy b. Participation (see Coordinated Responsibility Model)c. Empower people to make informed decisions regarding
their energy use and needsd. Serving the most in need – balancing total number of
participants makeup of participants, and levels of service
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
EAP BSM - ValuesEAP BSM - Values3. Regarding Collaboration
a. The responsibility to provide a safety netb. Working towards the same goalsc. Stakeholders personal commitment and accountability d. Represent our own personal perspective, the views of our
stakeholder group, and the world from multiple perspectives
e. Actively coordinate across programs and departments
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
EAP BSM - ValuesEAP BSM - Values4. Regarding Policy Direction
a. Creative and flexible approaches b. Consistency c. Balance of simplicity and fairness d. Recommendations based on a sound community analysise. More strategic than operationald. Timely and proactive in order to mitigate emerging
problems
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
EAP BSM - Means OfferingsEAP BSM - Means OfferingsOfferings (Program Products & Services) Energy bill payment Furnace repair or replacement Energy related crisis intervention Advocacy Outreach Referral Information Education Conservation, coordination and collaboration Demonstrate effectiveness of investment
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
EAP BSM - Means OfferingsEAP BSM - Means OfferingsState Staff Offerings Oversight, monitoring and quality control Compliance with Federal and State requirements Policy Decision making Planning Training and Technical Support Stakeholder involvement and communication Program advocacy and information
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
Markets (Customers) Households, emphasizing low-
income: Families with children under
age five Families with members who
are disabled Seniors
EAP Director and Staff Local Service Providers Policy decision makers Funders (e.g. HHS) Energy Vendors
Mechanical Contractors PAC members Weatherization Assistance
Program Partner organizations Community Tax payers Utility rate payers
EAP BSM - Means MarketsEAP BSM - Means Markets
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
PAC BSM - OfferingsPAC BSM - Offerings Direction Oversight Advocacy, education and outreach
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
BSM EnvironmentsBSM Environments Internal External
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
Environmental Consideration Implications
Unique & necessary role of Households, Energy Vendors & Government (Coordinated Responsibility Model)
Particular consideration to the definition and communication of all stakeholder roles
Active pursuit of involvement and partnership by using a shared business methodology
Increased likelihood of success Increased commitment of time on the front-end for all of stakeholders Devote scarce staff resources to the way we do business and invest in state staff skills and techniques
Direction: Maximize local knowledge, control and delivery of services
Contract out to local service providersState Office actively pursued feedback and adjustments
Our leadership & peers are interested in and supportive of our efforts
Understand and align needs and expectations of leadership and peers Keep leadership and peers informed
Our partners & community are interested in & supportive of our efforts
Understand & align needs and expectations of partners and community Keep partners and community informed
We have custom developed technology tools to support our business
We can directly influence what our tools do/not support – constrained to resources Increased consistency of the program – less local control
Internal Environmental ConsiderationsInternal Environmental Considerations
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Chapter 1Chapter 1Program Control EnvironmentProgram Control Environment
Environmental Consideration Implications
In the Office of Energy Security Primary state energy policy agency Not a social service agency – our offerings are unique in this organization
Federal LIHEAP block grant Constraints and flexibility in how we deliver the program e.g. we determine to offer furnace repair and replacement
There are other related programs (e.g. CWR, DHS, Heat Share and Affordability Programs)
Effects public understanding,
Resource amounts & timing of resources are out of our control
Effects availability, delivery and types of services offer at program start up and dictates end date and carryover.
Weather Effects demand during seasonal changes and effects consumption amounts
Economy Increase demand on program services
Fuel prices Changes impact of benefits and need for services
External Environmental ConsiderationsExternal Environmental Considerations
Chapter Description
Chapter outlines at a high level activities required of the EAP Coordinator & SP leadership.
It outlines using Internal Controls Framework (ICF). Summarizes information detailed in the Policy
Manual, referring to the appropriate chapter for policy details.
Chapter 2Overview of Service Provider ResponsibilityOverview of Service Provider Responsibility
Page 1
Chapter Contents
Control Environment Risk Assessment Control Activities Communication and Information Monitoring
Chapter 2Overview of Service Provider ResponsibilityOverview of Service Provider Responsibility
Page 1
Training Topics Advance EAP internal Controls & Frameworkby Reviewing ICF understanding? Reviewing where EAP is with ICF Discussing what is next with ICF?
Chapter 2Overview of Service Provider ResponsibilityOverview of Service Provider Responsibility
What is ICF? The Framework is used assess the Internal Controls maturity to determine how competently an organization
Identifies its risks Documents & assigns its control procedures How it monitors performance & effectiveness its procedures
Chapter 2Overview of Service Provider ResponsibilityOverview of Service Provider Responsibility
Internal Control DefinitionDefines internal control as a process, effected by individuals within an organization, designed to provide reasonable assurance regarding the achievement of these objectives:
1. Effectiveness & efficiency of operations2. Reliability of financial reporting 3. Compliance with applicable laws & regulations.
Chapter 2Overview of Service Provider Responsibility
Page 1
The Framework InteractionsThe Schnese Snow Globe illustrates the relationship if control frames
Chapter 2Overview of Service Provider Responsibility
1. Control Environment
Service Providers should establish and maintain an ethical and procedural work environment throughout the organization that sets a positive and supportive attitude toward internal control and conscientious management.
Chapter 2Overview of Service Provider Responsibility
Page 1
Service Provider EAP Organizational CompetenceService Providers should assure: Service Provider human resource materials A reasonable EAP resourcing model EAP staff have functional position description EAP staff have proper agency knowledge EAP staff have proficient eHEAT competencies EAP staff demonstrate knowledge of Service Provider policies and
procedures Formal and new staff training Support of technical environment necessary to deliver EAP Training for staff to work with diverse populations
Chapter 2Overview of Service Provider Responsibility
Page 2
Implementations Control EnvironmentLocal Plan, contracts gives assurances by documenting internal
controls competenciesSP connects Business Strategy Model (BSM) & SP MissionSP participates in EAP management methodology including
joint approach to development, EACA, JADs, training etc.SP have realistic staffing model, structure of authority and show
a commitment to EAPService Providers participates in EAP training and trains staff
Chapter 2Overview of Service Provider Responsibility
2. Risk Management
Chapter 2Overview of Service Provider Responsibility
Risk planning is geared toward events that occur when things are different than planned. Service Providers should have procedures in place to deal with unplanned events. . . .
. . .The goal is assuring the Service Provider’s ability to maintain financial strength, a positive public image, and the overall quality of its products and government services.
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Risk CompetenceSP has risk a assessment process Indentifying Internal and external risk Assessing the impact and the likelihood these risks
might occur Selecting whether to avoid, reduce, share, or accept
various risks Considers controls to mitigate risk or to contain it to
an acceptable level
Chapter 2Overview of Service Provider Responsibility
Implementations Risk Management SP conduct risk assessment & mitigation activitiesState and SP conduct oversight activities including:
Data, file and other checks Data & Technology practices (eHEAT user management)
SP make a maintain disaster plansLocal Employee Applications processes and utilization of state
requirementsSP uses incident reporting processSP uses error & fraud processes
Chapter 2Overview of Service Provider Responsibility
3. Control Activities
Service Provider should design and implement internal control in processing applications, determining eligibility and delivering benefits. These procedures assure program services are timely, accurate, uniform and equally available throughout the State. They address essential EAP required procedures
Chapter 2Overview of Service Provider Responsibility
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Control Activities Competence There are realistic policies & procedures to help
ensure management directives are carried out Control activities occur throughout the organization
at all levels in all functions
Chapter 2Overview of Service Provider Responsibility
Implementation Control Environment SP processes have approvals & authorizations for benefit
determination & payments (Separation of duties) SP conduct and support verifications for:
Income eligibility & documentation vendor registration payment process for ERR contractors. Household check points
SP conducts analytical procedures or quality controls SP conducts reconciliations like allocation and FSR
Chapter 2Overview of Service Provider Responsibility
4. Information & CommunicationService Provider’s should communicate the internal control policies and procedures to all staff and stakeholders so they understand what is expected of them and the scope of their freedom to act in relation to program participants and partners.
Chapter 2Overview of Service Provider Responsibility
Page 6
Information & Communication Competence Organization identifies, captures & communicates pertinent
information in a timely manner to the right people to enable them to carry out their responsibilities
Information systems are effective Internal information, and external events, activities &
conditions are communicated to enable management to make informed business decisions and employees & partners to perform their roles & duties
Chapter 2Overview of Service Provider Responsibility
Implementation Communication & Information SP has communication plan to dissemination information SP has routines, like meetings, to inform staff and partners SP conducts appropriate and effective outreach SP retains information over time SP is up to date with routine EAP communication:
Weekly newsletter The Energizer & Ad hoc email Web information and program tools Association meetings (Executive Directors & Coordinators)
T&TA SP is responsive to reporting & other deadlines
Chapter 2Overview of Service Provider Responsibility
5. Monitoring
Monitoring relates to Service Provider’s separate evaluations of internal control, such as control self-assessments or internal procedures and performance . . .
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Chapter 2Overview of Service Provider Responsibility
Monitoring Competence: Monitoring is performed by management & supervisors on a
continuous or periodic basis Identifying control deficiencies and reporting to top
management and are remedied in a timely manner with appropriate corrective actions
Is periodic follow-up on corrective actions taken to ensure control weaknesses are strengthened and no longer exist
Chapter 2Overview of Service Provider Responsibility
Implementation Monitoring SP uses performance goals like WACT to adjust resources SP measures average days from log to paid to monitor
efficiency SP uses customer feedback SP monitors effect on production when implementing new
tools or processes (Ex: Scanning)
Chapter 2Overview of Service Provider Responsibility
What is Controls Maturation Internal Controls mature as people become more
aware of them It becomes the culture and language Results in improvement of Control Activities in a
continuous improvement process Risk management is strengthened
Chapter 2Overview of Service Provider ResponsibilityOverview of Service Provider Responsibility
Our Responsibility Advance our understanding ICF Understand how existing EAP controls fit ICF Continue to implement new ICF activities Strengthening controls when weaknesses are detected Provide supervision to ensure controls operate effectively Obtain ICF information & training for selves & staff necessary
to meaningfully take responsibility for internal controls Share these Chapters with SP leadership
Chapter 2Overview of Service Provider ResponsibilityOverview of Service Provider Responsibility
ICF Improvements Next In FFY2011 EAP will focus on: Advancing Risk Management Improvement of self monitoring internal controls for continuous
improvement Continue framing is a way of organizing existing & then making
improvement if needed Everything you see is organized through ICF & this will
continue
Chapter 2Overview of Service Provider ResponsibilityOverview of Service Provider Responsibility
Training Topics 1. Context2. Chapter Structure3. Policy & Procedure Changes
Refund Checks received After September 30 Sharing Data Vendor Agreement Improvements
4. Vendor Monitoring and Issues Management
Chapter 3Vendors
More scrutiny on vendor management from: Events in Pennsylvania General Account Office (GAO) Investigator General (IG) Federal & State continue to greater Internal Controls Vendor controls are the major area of transactions
Important Context
Chapter 3Vendors
State Plan Supplement DOC added Minnesota EAP Vendor Control Activities Summary: Vendors are identified by households on application Vendors enter into agreements with each EAP Service Provider Vendor registers with the DOC and are entered into eHEAT system Vendor registers with Minnesota Management Budget (MMB) and are
entered into accounting and procurement system. MMB validates duplications and bank accounts for EFT
When a payment is made to a vendor the household and vendor receives notification and transaction details
Service Providers conduct annual vendor monitoring and sample files and payment records
DOC does annual review of eHEAT vendor files for activity MMB does annual data review and purge
Chapter 3Vendors
Chapter Structural changes Moved from Chapter 10 to Chapter 3 Reduced sections from 17 to 6 Re-categorized information (Ex: Payment section now
includes payment assignment, refunds and payments made in error)
Chapter 3Vendors
Content Consumption and Cost Information Requirements Payment Requirements Crisis, Outreach, Advocacy & Other Service Requirements Agreement, Registration & Participation Requirements Vendor Audit & Reporting Requirements Legal Requirements
Chapter 3Vendors
Page 1
Policy Manual Clarification
Chapter 3Vendors
Page 4
Deliver Remaining EAP BenefitsThe vendor should deliver any EAP benefit remaining on the household’s account before September 30. To avoid additional costs, delivery may be made during the vendor’s regular delivery route. If unable to deliver remaining EAP benefit, encourage households to leave the balance on the account for the upcoming heating season.
Delivered Fuels Refunds After September 30Part of overall efforts intended to: Optimize the use of funds for fuel, Reduce adverse public perception of the program
Approach Taken: Reduced promotion: Removed statement on letter saying household can
ask for refund after September 30 Advice HHD to use: SP & Vendors encourage households to keep EAP
credits in active vendor accounts for future energy costs. Deliver Credits pre-Sept. 30: SP work with delivered fuel vendors to
identify EAP households with credits and use remaining credits during the program year.
Chapter 3 (Also in Chapter 11)
Vendors
Delivered Fuels Refunds After September 30Coming Soon DOC will collect information to understand the size & nature in early
September This information will be used to report to stakeholders and to determine if
any future action is needed
Chapter 3 Vendors
Policy Manual Vendor Data Practices
Chapter 3Vendors
Page 8
Sharing EAP Private Data With Vendors . . . The private household data collected by EAP has restricted uses. Generally, an EAP household’s consent allows their data only to be used for determining and delivering EAP services. . . .
Any request for information must include an Informed Consent to Release Private Data signed by the household before requesting and receiving the information unless they are included in the EAP Application Permissions.
Additional information is available in Chapter 14: Data Practices and Records of the EAP Policy Manual.
Vendor Agreement Changes
Chapter 3Vendors
Reduced timelines for refunds requested by SP from 30 days to10 business days, and Process and refund all credits attributable to EAP payments within 10 business days after a client ceases to be a customer.
Vendor Agreement Changes
Chapter 3Vendors
Removed statement about Vendor reporting difference of number of HHD members from App
Vendors Monitoring
Monitoring vendors is essential to ensure program quality and integrity. An EAP vendor is bound by the requirements of the LIHEAP Act and the Vendor Agreement. Monitoring can also assure vendors follow these rules. Service Providers are required to monitor vendors.
Chapter 3Vendors
Page 6
SP Monitoring HatSP Monitoring Hat SP act as a monitoring agent for EAP SP validate key transaction SP document findings, actions & outcomes Looking for incidents of error or fraud
Chapter 3Vendors
VendorVendor
Monitoring Monitoring
Process Process
as as A-Path-to-a- SolutionA-Path-to-a- Solution
Chapter 3Vendors
Definition Definition to ensure quality & Integrityto ensure quality & Integrity
Chapter 3Vendors
Steps, on Page 6, help detail scope
Vendors must allow the Service Provider and DOC access to their records for compliance monitoring. Monitoring includes verifying transactions between the vendor and the Service Provider. Including but not limited to cost information, application of payments to household accounts, billing to eligible households, providing equal services to EAP eligible households, and any or all other activities agreed to in the Vendor Agreement.
Page 6
Analysis Analysis is discovery & Assessmentis discovery & Assessment
Chapter 3Vendors
Take initial random sample If sample has issue, ask for larger sample. Additional
discovery as needed can include: Asking for explanation (In writing preferably) Monitor determines the size in discovery depends on the vendor or
risk level
Assess and specify the findings and their nature Errors can be one-off or systemic Do not start with fraud, if intent is questioned it is an investigation
Design Design is determining actionsis determining actions
Chapter 3Vendors
Design actions based on findings: If a one-off error occurrence, document and close If problem is systemic determine appropriate corrective
action If effect requires reparations to HHD harmed, determine
process If suspected fraud, develop an investigation and escalate
(Incident Report) and pursue as related to policy Document your requests and judgments
Realize Realize is acquiring solutionsis acquiring solutions
Chapter 3Vendors
Ask vendor to acquire, assemble or construct corrective actions
Vendor must construct solution SP can support and validate SP documents
Implement Implement is determining actionsis determining actions
Chapter 3Vendors
The vendor is responsible to implement solution SP Monitoring is responsible to support Vendor should communicate when it has been implemented SP should document vendor communication
Production Production is desired effectis desired effect
Chapter 3Vendors
Follow up to determine if issue is corrected May be next years visit or soon into the program year Follow up depends on the risk related to severity of
impact and probability of occurrence
Rules of thumb Vendors Monitoring Documentation is key
Keep to the facts and have vendor document responses SP files are the program records
Team with other SP when effective Follow up (Next year or sooner as needed) Ask Field Representatives for help Escalate as needed. May need to at any step in
process
Chapter 3Vendors
Issue ManagementIssue Management (Vendor)Vendor) Vendors need to work directly with SP It is not effective for DOC manage local relationships Talk it through, describe what you are seeing Work issues through the “Path” (but less formal) Team with other SP Escalate as needed. (FR can help ID these times to
escalate)
Chapter 3Vendors
If you find a record has changed during year or during monitoring Ask the vendor for the explanation Do discover and assessment Follow “Path” based on findings
Consumption Record Changes
Chapter 3Vendors
Parameter: Consumption records can be changed forrecalculating the Primary Heat Benefit
Tools to find facts Vendor Agreement says vendor must contact SP if need
to change consumption record Previous consumption used is saved and visible on
‘Complete’ screen ‘screen for each time it is calculated And on ‘Application Summary’ eHEAT now records creation date/user, last modified
date/user. Ask eheat.doc if you need this information
Consumption Record Changes
Chapter 3Vendors
Go to ‘Payments’ menu Demonstrate one criteria Explain other criteria only if you think they are relevant
to the particular vendor Demonstrate export (if relevant) Look at results – point out EFT # Show how to enter EFT in search criteria
FFY2011 EAP Annual TrainingHow to Train Vendors 101
Basic Payment Step-By-Step
Go to ‘Application’ tab Click go Be specific about what Benefits mean Consumption Vendor customer number edit
FFY2011 EAP Annual TrainingHow to Train Vendors 101
Basics Application Step-By-Step
Cold Weather RuleEnergy Assistance Program Fall TrainingAugust 11, 2010
Public Utilities CommissionTracy Smetana
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Public Utilities Commission
• Regulates – local and in-state long distance telephone
companies– investor-owned electric and natural gas
utilities– permitting for power plants, pipelines,
transmission lines• Five Commissioners – appointed by Governor– serve staggered terms
• 40 staff
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Public Utilities Commission
• Services provided by the Consumer Affairs Office–Mediation between customers and their
utility companies– Consumer Education– Telephone Discount Programs– Cold Weather Rule– Utility Resource– Public Comments
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Cold Weather Rule
• Protects customers from having heat shut off in the winter.– Residential– Heat affected– Electric and natural gas
• October 15 through April 15
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Cold Weather Rule
• Regulated CWR Companies– Alliant Energy/Interstate Power & Light– CenterPoint Energy– Community Utility Company– Dakota Electric Association– Great Plains Natural Gas– Greater Minnesota Gas– Island Gas– Minnesota Energy Resources– Minnesota Power– Northwest Natural Gas– Northwest Natural Gas of Murray County– Northwestern Wisconsin Electric– Otter Tail Power– Xcel Energy
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Cold Weather Rule
Prior to CWR Season:
• Bill inserts
• Many utilities also work to reconnect as many as possible. This step is not required by the Cold Weather Rule.
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Cold Weather Rule
CWR PAYMENT PLAN
• Reconnect service OR prevent disconnection.• Available to all residential customers, regardless of income.• Payment installments need not be equal; may be based on
factors such as lump sum payments or additional income expected during payment period.
• If income at or below 50% of state median, payments no more than 10% of household income.
• Make and keep CWR payment plan• Customer must contact utility to request modification of CWR
payment plan• Payment agreement ends April 15 unless utility and customer
agree to a different end date
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Cold Weather Rule
• Disconnect notice
• Ten working days prior to disconnection date
• CWR “packet” must be included
• What’s next?
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Cold Weather Rule
• Customer contacts utility– NO written application required– Household income at/below 50% of state
median income• Enter into mutually acceptable CWR
payment plan• Consider household’s financial resources
and circumstances• No more than 10% of household income
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Cold Weather Rule
• Customer contacts utility– NO written application required– Household income greater than 50% of
state median income• Enter into mutually acceptable CWR
payment plan• Consider household’s financial and other
extenuating circumstances
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Cold Weather Rule
• Customer contacts utility– Utility and customer do NOT agree on a
CWR payment plan• Utility informs customer of right to appeal• Utility sends appeal form to customer• Customer has 10 working days to complete
appeal and send to PUC• PUC has 20 working days to issue decision on
appeal
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Cold Weather Rule
• Customer contacts utility– Customer fails to keep CWR payment
plan• Customer subject to disconnection
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Cold Weather Rule
• Customer does not contact utility–Must investigate whether occupied or
vacant• If vacant, proceed with disconnection• If occupied
– Make contact, may require 2nd visit– Offer CWR payment plan
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Cold Weather Rule
• Disconnection of service not allowed –While appeal is pending– On Friday, unless CWR payment plan
offered – On Saturday, Sunday, holiday or day
before a holiday–When utility offices are closed–When no utility personnel available to
make CWR payment plan–When Commission offices are closed
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Cold Weather Rule
• No deposit or late fees if household income at or below 50% of state median
• No disconnection during any appeal
• Timely payment = within 7 calendar days
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Cold Weather Rule
• Cooperative/Muni CWR– Written application required– Applies only to households at/below 50% of
state median income– Appeal process does not include PUC– Requires 20 calendar day notice– Requires notice to Energy Assistance
provider before disconnecting unoccupied residential unit
– Reconnection provision recently added
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Cold Weather Rule
• Keys to protection
– Contact utility company– Payment plan based on customer’s
financial situation–Make and keep a payment plan– PUC available to answer questions,
assist customers
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Utility Programs
• Electric Discounts– Xcel Energy• Required by law• Low Income households only (LIHEAP)
– Eligible seniors and/or disabled, 50% off first 300 kwh
– Affordability Program for eligible customers spending more than 3% of household’s annual income
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Utility Programs
• Electric Discounts–Minnesota Power• Available to all residential customers,
regardless of household income• Tiered rate schedule• Proposal to change to a low income program
pending
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Utility Programs
• Natural Gas Discounts– CenterPoint Energy• Available to all residential customers,
regardless of household income• Tiered rate schedule
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Utility Programs
• Gas Affordability Programs (GAP)– Required by state law– Must be LIHEAP recipient
• Affordable monthly payment– Household pays percentage of monthly income
» 4% for Xcel Gas customers» 6% for others
– GAP funds pay the remainder• Arrearage forgiveness
– Household with arrears upon entering the program– Customer pays a portion of arrears each month– GAP funds match customer payment– 12-24 months
• Greater Minnesota Gas– Waive monthly facility fee
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Utility Programs
• Conservation and Rebate Programs– Required by law
• Natural Gas and Electric Utilities• Investor-owned, Cooperatives, Municipals• Percentage of revenue (varies by company type)• Low income conservation program
– Examples• “Energy Star” appliance rebates• Fluorescent bulb recycling programs• Free/discounted energy audits• Cycled central air conditioning
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Life Support Households
• Medical equipment requiring electricity necessary to sustain life is in use.
• Written certification from a medical doctor. • The customer must enter into a payment
agreement.
• Applies to all electric utilities.• Statute is silent on re-certification.
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Hot Weather Rule
• No disconnection if National Weather Service issues…• Excessive heat watch• Heat advisory• Excessive heat warning
• Applies to all electric utilities
• Reconnection is not required106
Public Utilities CommissionMinnesota Statutes
• 216B.091 Monthly Reports
• 216B.096 Cold Weather Rule; Public Utility. Regulated Utilities
• 216B.097 Cold weather rule, cooperative or municipal utility.
• 216B.0975 Disconnection during extreme heat conditions.
• 216B.098 Residential customer protections.
• www.revisor.leg.state.mn.us 107
Telephone Discounts
• Available to customers of – Traditional landline telephone service– Some cellular– Not Voice Over Internet Protocol (VOIP)
• Participate in qualifying program OR household income at or below 135% of federal poverty
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Telephone Discounts
• Qualifying programs– Medicaid/Medical Assistance– Food Support– Minnesota Family Investment Plan (MFIP)– Supplemental Security Income (SSI)– Federal Housing Assistance (Section 8)– Temporary Assistance to Needy Families (TANF)– Low Income Home Energy Assistance (LIHEAP)– National School Free Lunch Program– Bureau of Indian Affairs General Assistance if living on a reservation– Tribally Administered Temporary Assistance for Needy Families (TANF) if
living on a reservation– Tribal National School Free Lunch Program if living on a reservation
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Telephone Discounts• Link Up– One time credit when hooking up new service
• Telephone Assistance Plan (TAP)• Lifeline– Minimum discount = $1.75/month, up to
$10/month
• Application + proof of income to local telephone company
• http://www.puc.state.mn.us/PUC/consumers/telephone-discounts/index.html
• www.lifeline.org 110
PUC or AG?
• Appliance repair programs =AG• Cell phones = AG• Entertainment lines/900 calls = AG• False advertising/marketing = AG• Internet provider = AG• Landlord/tenant issues = AG• Military personnel utility payment plans = AG• Non-utility charges on telephone bill = AG• Recording telephone calls = AG• State to state or international long distance = AG• Voice Over Internet Protocol (VOIP) = AG
• 651-296-3353 or 1-800-657-3787• www.ag.state.mn.us
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Public Utilities Commission
Tracy SmetanaConsumer MediatorMinnesota Public Utilities Commission121 Seventh Place East, Suite 350St Paul MN 55101-2147651-296-0406, option 1 1-800-657-3782, option 1Fax [email protected]@state.mn.uswww.puc.state.mn.us
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