Portsmouth Water Plc: A report on the determination of adjustment
factors and infrastructure charges for Portsmouth Water Plc
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Summary
Under the reference made by the Director General of Water
Services (the Director) on 29 September 1994 (see Appendix
1.1), we are required to determine the adjustment factor,
K, and the standard amount by which infrastructure charges
are calculated for Portsmouth Water plc (Portsmouth) for the
ten years from 1 April 1995 to 31 March 2005. The adjustment
factor, K, is the percentage by which weighted average charges
for the supply of water services are allowed to change relative
to the retail price index. The infrastructure charge is one
of a number of charges that can be levied to recover the costs
of providing new connections.
The Director had determined an adjustment factor for Portsmouth
of -1.5 for each of these ten years, and a standard amount
for the infrastructure charge of £200. In evidence to
us, the company proposed an adjustment factor of [
* ] for 1995/96 (the first year of K2), [
* ] for 1996/97 to 1999/2000 (the remaining four years
of K2) and [ * ] for the subsequent
five years (K3), and a standard amount for the infrastructure
charge of £400. In contrast, therefore, to the price
reductions determined by the Director, the company believed
moderate price increases were necessary.
Portsmouth supplies water services to some 640,000 customers
in Hampshire and West Sussex. Its charges are the lowest of
any company supplying water in England and Wales (about 30
per cent below the average charge), and it is amongst the
most efficient of the companies in the industry. In its view,
the Director's determination was based on an unrealistic estimate
of the revenue that could be earned from commercial customers;
on assumptions relating to operating cost savings which it
could not achieve; on an improper assessment of the capital
employed; and on an unacceptable reduction in its profitability.
In consequence, it projected that it would be unable to finance
the proper carrying out of its functions.
We have been unable to accept several of the assumptions
on which Portsmouth's financial projections were based; in
particular we do not believe that operating costs need to
increase as significantly in real terms. On the contrary,
we see scope for a limited reduction in many of these costs,
albeit less in K3 than projected by the Director given the
company's relative efficiency. On the other hand, we have
accepted that the Director's determination was based on an
erroneous forecast of commercial metered demand originally
made by the company and incorporated in the body of its business
plan submissions. We believe it is appropriate to allow for
a slight decline in this element of demand, rather than the
significant increases originally projected.
In our view, the water industry is of relatively low risk,
given the almost complete lack of actual or potential competition,
the stable revenue base, and the obligation on the Director
to ensure that the companies can continue to finance their
functions. Given, however, the diversity of the companies
in terms of size, access to capital markets and tax status,
we have judged the pretax cost of capital for the water industry
as a whole to be in the range of 6 to 8 per cent. We believe
the cost of capital for Portsmouth is likely to be toward
the upper end of that range, given the relatively small scale
of Portsmouth's business, and its comparatively high likely
level of tax payments due to its relatively small investment
programme. Portsmouth's rate of return is currently well in
excess of the cost of capital which suggests considerable
scope for reducing rates of return, taking account of the
interests of customers without calling into question the company's
ability to finance its functions. In our view, it would be
appropriate in making our determinations to assume a reduction
in the company's return on capital value from its current
levels of approximately [ * ]
per cent toward the cost of capital by the end of K2. The
Director, using a different approach to cost and revenue projections,
had assumed a reduction in return toward the cost of capital
by the end of K3.
We have therefore found that an adjustment factor of -1.5
for K2 would provide a reasonable return on capital value
for that period. A somewhat higher adjustment factor than
that set by the Director would, however, seem necessary for
K3. We have seen no evidence to support a higher level of
infrastructure charges than that determined by the Director.
We have therefore determined in respect of Portsmouth an
adjustment factor of -1.5 to be applied (subject to some technical
adjustments set out in paragraph 2.96) in K2 followed by -0.5
in K3 as being adequate to enable the company to finance the
proper carrying out of its functions. On infrastructure charges
we have determined a standard amount of £200.
Full text
Contents |
Part I |
Summary and Conclusions |
| Chapter
1 |
Summary |
| Chapter
2 |
Conclusions |
Part II |
Background and evidence |
| Chapter
3 |
Overview of the water industry |
| Chapter
4 |
Price regulation and cost of capital |
| Chapter
5 |
Portsmouth and its users |
| Chapter
6 |
Financial performance |
| Chapter
7 |
Capital costs |
| Chapter
8 |
Operating expenditure for maintaining services at existing
levels |
| Chapter
9 |
Financial projections |
| Chapter
10 |
Views of the Director |
| Chapter
11 |
Views of the DoE, the DWI and the NRA |
| Chapter
12 |
Views of third parties |
| Chapter
13 |
Views of Portsmouth |
| |
List of signatories |
Appendices |
|
| (The numbering of the appendices indicates
the chapters to which they relate) |
| 1.1 |
Conduct of the reference |
| 2.1 |
The MMC's projections |
| 3.1 |
Section 2 of the 1991 Act |
| 4.1 |
Relevant extracts from Conditions A, B and C of Portsmouth's
Appointment |
| 4.2 |
The Dividend Growth Model and the Capital Asset Pricing
Model |
| 4.3 |
Indicative values |
| 5.1 |
Future commercial demand |
| 6.1 |
Brockhampton Group: consolidated profit and loss statements
(HCA basis) |
| 6.2 |
Brockhampton Group: consolidated balance sheets (HCA
basis) |
| 6.3 |
Brockhampton Group: consolidated cash flow statements |
| 6.4 |
Portsmouth: profit and loss statements (HCA basis) |
| 6.5 |
Portsmouth: balance sheets (HCA basis) |
| 6.6 |
Portsmouth: reconciliation between HCA-based financial
performance and CCA-based financial performance |
| 6.7 |
Portsmouth: profit and loss statements (CCA basis) |
| 6.8 |
Portsmouth: balance sheets (CCA basis) |
| 6.9 |
Portsmouth: cash flow statements |
| 6.10 |
The water industry: Regulatory Accounting Guidelines |
| 7.1 |
Detailed analysis of Portsmouth's proposed expenditure
required to serve new development and growth in demand |
| 8.1 |
Summary of OFWAT's paper Operating Expenditure in the
Water Industry, trends and implications |
| 8.2 |
Summary of the final report on Water and Sewerage Industries
General Efficiency and the Potential for Improvement |
| 8.3 |
Summary of Portsmouth's paper The effects of wage increases
on Portsmouth Water's operating costs |
| 9.1 |
The Director's use of the financial model |
| 9.2 |
Volumes and number of customers |
| 9.3 |
Infrastructure charges |
| 9.4 |
Capital value: Portsmouth |
| Glossary |
|
| Index |
|
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