---------------------- Forwarded by Jeff Dasovich/SFO/EES on 09/15/2000 07:23 
PM ---------------------------


	Jeff Dasovich
	09/08/2000 06:44 PM
	
Sent by: Joseph Alamo
To: Paul Kaufman/PDX/ECT@ECT, Susan J Mara/SFO/EES@EES, Mona L 
Petrochko/SFO/EES@EES, Sandra McCubbin/SFO/EES@EES, John 
Neslage/ENRON_DEVELOPMENT@ENRON_DEVELOPMENT, Gia 
Maisashvili/ENRON_DEVELOPMENT@ENRON_DEVELOPMENT
cc:  
Subject: Valuation of GA Activities

John/Gia:

You asked that we attempt to evaluate our activities.  Working with TW, I've 
valued this one.

The California Commission ruled that the "Hector Road" natural gas recent 
point in California ought to be made a primary receipt point.  This would 
have had the effect of TW losing access right to 200 MMcf/d of capacity at 
SoCalGas' Needles receipt point.

Best case scenario:  Under SFV rates, loss to TW is commodity rates (wash) 
and the fuel margin.  TW calculates the fuel margin to be $5.8MM/yr.

Bad case:  If shippers on TW try to make the case that TW is at fault for 
losing the primary access rights, then TW is at risk for the demand component 
of the contracts associated with the 200 MMcf/d.  TW calculates the demand 
charges loss to be $16.5 MM/yr.

Worse case:  In addition to actual damages listed above, shippers face 
performance penalties and other contractual damages (from their customers) 
and they try to pass those costs on to TW.

In discussions with TW, we concluded that the most likely case fell between 
"best" and "bad," somewhere in the $12-15MM/yr range (nominal).

TW believes that without the assistance of CA Gov't Affairs in the case, the 
$12-15 MM/yr would have been lost.  

Be happy to discuss with you further.

Best,
Jeff