Legislature(2019 - 2020)BARNES 124

02/26/2020 01:00 PM House RESOURCES

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02:10:42 PM Start
02:11:52 PM Presentation(s): Analysis of "fair Share Act"
03:42:46 PM Adjourn
* first hearing in first committee of referral
+ teleconferenced
= bill was previously heard/scheduled
-- Delayed to 15 Minutes Following Session --
+ Presentation: Analysis of "Fair Share Act" TELECONFERENCED
Initiative by Rich & Christina Ruggiero, IN3NERGY
+ Bills Previously Heard/Scheduled TELECONFERENCED
                    ALASKA STATE LEGISLATURE                                                                                  
               HOUSE RESOURCES STANDING COMMITTEE                                                                             
                       February 26, 2020                                                                                        
                           2:10 p.m.                                                                                            
                                                                                                                                
MEMBERS PRESENT                                                                                                               
                                                                                                                                
Representative Geran Tarr, Co-Chair                                                                                             
Representative Grier Hopkins, Vice Chair                                                                                        
Representative Sara Hannan                                                                                                      
Representative Chris Tuck                                                                                                       
Representative Ivy Spohnholz                                                                                                    
Representative Dave Talerico                                                                                                    
Representative George Rauscher                                                                                                  
Representative Sara Rasmussen                                                                                                   
                                                                                                                                
MEMBERS ABSENT                                                                                                                
                                                                                                                                
Representative John Lincoln, Co-Chair                                                                                           
                                                                                                                                
COMMITTEE CALENDAR                                                                                                            
                                                                                                                                
PRESENTATION(S):  ANALYSIS OF "FAIR SHARE ACT"                                                                                  
                                                                                                                                
     - HEARD                                                                                                                    
                                                                                                                                
PREVIOUS COMMITTEE ACTION                                                                                                     
                                                                                                                                
No previous action to record                                                                                                    
                                                                                                                                
WITNESS REGISTER                                                                                                              
                                                                                                                                
RICH RUGGIERO, Chief Executive Officer                                                                                          
IN3NERGY                                                                                                                        
Houston, Texas                                                                                                                  
POSITION STATEMENT:  Co-provided a PowerPoint presentation,                                                                 
titled "190GTX Review Alaska Legislature February 2020."                                                                        
                                                                                                                                
CHRISTINA RUGGIERO, Managing Member                                                                                             
IN3NERGY                                                                                                                        
Houston, Texas                                                                                                                  
POSITION STATEMENT:  Co-provided a PowerPoint presentation,                                                                 
titled, "190GTX Review Alaska Legislature February 2020."                                                                       
                                                                                                                                
ACTION NARRATIVE                                                                                                              
                                                                                                                                
2:10:42 PM                                                                                                                    
                                                                                                                                
CO-CHAIR  GERAN   TARR  called   the  House   Resources  Standing                                                             
Committee meeting to order at  2:10 p.m.  Representatives Hannan,                                                               
Talerico, Spohnholz, Hopkins, Rauscher,  and Tarr were present at                                                               
the call  to order.   Representatives Tuck and  Rasmussen arrived                                                               
as the meeting was in progress.                                                                                                 
                                                                                                                                
^PRESENTATION(S):  ANALYSIS OF "FAIR SHARE ACT"                                                                                 
         PRESENTATION(S):  ANALYSIS OF "FAIR SHARE ACT"                                                                     
                                                                                                                              
2:11:52 PM                                                                                                                    
                                                                                                                                
CO-CHAIR TARR  announced the only  order of business would  be an                                                               
analysis of  the Fair  Share Act  Initiative [2020  19OGTX Ballot                                                               
Measure].                                                                                                                       
                                                                                                                                
2:14:47 PM                                                                                                                    
                                                                                                                                
RICH RUGGIERO, Chief Executive  Officer, IN3NERGY, explained that                                                               
both  presiding  officers of  the  Alaska  State Legislature  had                                                               
requested  an analysis  of  the  wording of  the  Fair Share  Act                                                               
Initiative  from  the  standpoint  of  IN3NERGY's  experience  in                                                               
writing  legislation,   regulation,  and  contracts.     He  said                                                               
IN3NERGY studied the  initiative and, with its  background in oil                                                               
taxation and  AS 43.55,  put together its  analysis.   He pointed                                                               
out  that  the  slides  of the  PowerPoint  presentation  do  not                                                               
contain everything that  is in the memorandum  [from Mr. Ruggiero                                                               
to Representative Tuck, dated 2/25/20,  included in the committee                                                               
packet]; therefore, he encouraged  the committee to ask questions                                                               
within each section, as needed.                                                                                                 
                                                                                                                                
2:16:50 PM                                                                                                                    
                                                                                                                                
CHRISTINA   RUGGIERO,   Managing   Member,   IN3NERGY,   directed                                                               
attention to  a PowerPoint presentation entitled,  "190GTX Review                                                               
Alaska  Legislature February  2020"  [hard copy  included in  the                                                               
committee packet].   She noted that slide 4  contained a glossary                                                               
to clarify  that in  the presentation,  "19OGTX" would  be called                                                               
"Initiative."   She further  noted that  the oil  producing asset                                                               
that  meets  the  qualification  criteria in  Section  2  of  the                                                               
Initiative would be referred to as "40/400."                                                                                    
                                                                                                                                
MR. RUGGIERO  further clarified 40/400  refers to  40,000 barrels                                                               
of oil per  day (bopd) and 400 million  in cumulative production.                                                               
He remarked that  IN3NERGY does not know the  definition of field                                                               
or  a  "non-unitized   reservoir,"  and  he  said   he  would  be                                                               
discussing  that later.   He  explained that  IN3NERGY wanted  to                                                               
keep terms  generic so as  not to  form opinions about  what they                                                               
meant.                                                                                                                          
                                                                                                                                
MS. RUGGIERO  restated that the  IN3NERGY analysis is  based only                                                               
on  the two-page  Initiative and  IN3NERGY's prior  knowledge and                                                               
experience.   She  drew attention  to slide  6, which  provided a                                                               
summary of  the Initiative, and  she discussed the  bullet points                                                               
on  slide   6,  which  read  as   follows  [original  punctuation                                                               
provided]:                                                                                                                      
                                                                                                                                
     ? Based  on our  petroleum fiscal policy  experience we                                                                    
     conducted  a review  of  19OGTX,  the Initiative,  that                                                                    
     looks  to  raise  additional  revenue  from  production                                                                    
     taxes                                                                                                                      
                                                                                                                                
     ?   In   general,   the  Initiative   lacks   necessary                                                                    
     specificity   making  it   improbable  that   a  common                                                                    
     interpretation    could    be   reached.    Alternative                                                                    
     interpretations of the Initiative are possible                                                                             
                                                                                                                                
     ? The Initiative seems to  be written to satisfy a goal                                                                    
     of increasing  revenue from production tax  in the near                                                                    
     term.  It does  not  contain any  provisions which  are                                                                    
     designed  to encourage  or  incentivize investment  and                                                                    
     production                                                                                                                 
                                                                                                                                
     ? If the  voters approve it, there will  very likely be                                                                    
     an extended period of  uncertainty within the petroleum                                                                    
     industry  as   all  interested  and   impacted  parties                                                                    
     attempt  to  push  their   interpretation  of  what  is                                                                    
     written                                                                                                                    
                                                                                                                                
MS. RUGGIERO  addressed the bullet  points on slide 7,  a summary                                                               
of the  Initiative, which read  as follows  [original punctuation                                                               
provided]:                                                                                                                      
                                                                                                                                
     ? Producers pay the state 4 different types of taxes:                                                                      
          ? Royalty                                                                                                             
          ? Property Tax                                                                                                        
          ? Production Tax                                                                                                      
          ? Corporate Income Tax                                                                                                
                                                                                                                                
     ? The  Initiative only makes changes  to the Production                                                                    
     Tax                                                                                                                        
          ? Creates increased gross minimum tax                                                                                 
          ? Creates a net tax on PTV                                                                                            
          ? Maintains the 'greater of' structure                                                                                
                                                                                                                                
     ?  The Initiative  eliminates the  use of  the GVR  and                                                                    
     non-GVR  per-barrel  credits  for assets  that  qualify                                                                    
     under Section 2                                                                                                            
                                                                                                                                
2:20:31 PM                                                                                                                    
                                                                                                                                
MS. RUGGIERO  moved on to slide  9, which addresses Section  1 of                                                               
the Initiative.  Section 1, as  shown on slide 9, read as follows                                                               
[original punctuation provided]:                                                                                                
                                                                                                                                
     Section 1.   The uncodified law of the  State of Alaska                                                                  
     is amended by adding a new section to read:                                                                                
          SHORT TITLE. This  Act shall be know  as the "Fair                                                                    
     Share Act."                                                                                                                
     Notwithstanding Any  Other Statutory Provisions  to the                                                                  
     Contrary, the  Oil and Gas  Production Tax in  AS 43.55                                                                  
     Shall Be Amended as Follows:                                                                                             
                                                                                                                                
MS. RUGGIERO  covered the bullet  points shown on slide  9, which                                                               
read as follows [original punctuation provided]:                                                                                
                                                                                                                                
     ? Titled  the "Fair Share  Act" , there is  no language                                                                    
     to define what constitutes a  fair share of certain oil                                                                    
     revenues  for Alaska.  Without  a  defined goal,  where                                                                    
     ambiguity  exists  numerous   interpretations  will  be                                                                    
     possible                                                                                                                   
                                                                                                                                
     ? With  the inclusion of the  term "Notwithstanding" it                                                                    
     appears the  language of the Initiative  is to override                                                                    
     existing  production tax  calculations contained  in AS                                                                    
     43.55 for assets that qualify under Section 2                                                                              
                                                                                                                                
     ? The only direct reference  to a particular part of AS                                                                    
     43.55  and changes  to it  are in  Section 4  paragraph                                                                    
     (a), the per barrel credits                                                                                                
                                                                                                                                
2:22:05 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO, in  response to  Representative  Tuck, said  "Fair                                                               
Share Act"  appears in the  title but, to his  understanding, not                                                               
anywhere in  AS 43.45.  In  response to a follow-up  question, he                                                               
emphasized the  ambiguous nature of  the Act and  reasserted that                                                               
the result  would be  litigation, and  one of  the determinations                                                               
that would need to be made would be what "Fair Share" meant.                                                                    
                                                                                                                                
2:24:22 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO,  in response  to  a  question from  Representative                                                               
Rasmussen,  clarified his  observation that  while the  Act would                                                               
raise  taxes, it  does not  include  language that  "incentivized                                                               
anything."     He  said  usually   there  would  be   credits  as                                                               
incentivization, but outside of those  already in AS 43.55, there                                                               
is no  further incentivization.   He said  that when  an investor                                                               
does not  know how  the investment dollar  will be  treated, that                                                               
has "a significant  negative impact on economics."   He said that                                                               
during  his "big  oil  days,"  this [Act]  would  have given  him                                                               
pause,  and he  would  have asked  his "folks"  to  "hold off  on                                                               
anything that we weren't committed  to until we found out exactly                                                               
how  this was  going  to work  if this  initiative  passed."   In                                                               
response to  another question  from Representative  Rasmussen, he                                                               
said based  on the research  of IN3NERGY,  there is no  chance of                                                               
increasing  oil  production in  the  immediate  future, which  he                                                               
speculated  meant  a  couple  of   years  before  there  was  any                                                               
certainty about "what's going to happen here."                                                                                  
                                                                                                                                
2:27:15 PM                                                                                                                    
                                                                                                                                
CO-CHAIR TARR, in response  to Representative Rauscher, explained                                                               
the origin of the short title of the Initiative.                                                                                
                                                                                                                                
2:28:25 PM                                                                                                                    
                                                                                                                                
MS. RUGGIERO,  in response to  Representative Spohnholz,  said no                                                               
incentives were being offered through the Initiative.                                                                           
                                                                                                                                
MR.  RUGGIERO, in  response to  a  follow-up question,  confirmed                                                               
that  any  incentives  already  in AS  43.55  would  remain;  the                                                               
Initiative does not add any new incentives.                                                                                     
                                                                                                                                
2:30:19 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO,  in response to Representative  Rasmussen, said the                                                               
"existing language"  creates the  right incentives,  as evidenced                                                               
by the  number of tax credits  created.  People spent  money as a                                                               
result  of  the incentives.    He  clarified that  "the  business                                                               
uncertainty"  would cause  either a  slowing down  or halting  of                                                               
spending  by  "various parties."    In  response to  a  follow-up                                                               
question, he confirmed that even  with the existing incentives in                                                               
place, he  thinks the  Initiative would  have a  major [negative]                                                               
impact on the business decisions that would be made.                                                                            
                                                                                                                                
2:32:00 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO  returned to the  PowerPoint presentation,  to slide                                                               
11,  which  addresses  Section  2   of  the  Initiative  and  the                                                               
applicability of  the new law.   He remarked that he  was "adding                                                               
up all the ambiguity."  Section 2,  as shown on slide 11, read as                                                               
follows [original punctuation provided]:                                                                                        
                                                                                                                                
     *Section 2, Applicability.   The provisions in Sections                                                                  
     3 and 4 only apply  to oil produced from fields, units,                                                                    
     and nonunitized  reservoirs north  of 68  degrees north                                                                    
     latitude  that  have  produced   in  excess  of  40,000                                                                    
     barrels of  oil per day  in the previous  calendar year                                                                    
     and  in   excess  of   400,000,000  barrels   of  total                                                                    
     cumulative oil  production.  For other  oil production,                                                                    
     the tax shall be unchanged by the Act.                                                                                     
                                                                                                                                
MR. RUGGIERO  covered the bullet  points on slide 11,  which read                                                               
as follows [original punctuation provided]:                                                                                     
                                                                                                                                
     ? This section is used  to define which North Slope oil                                                                    
     and gas assets will be subject  to the new taxes in the                                                                    
     Initiative                                                                                                                 
                                                                                                                                
     ?  It   applies  to  "fields,  units   and  nonunitized                                                                    
     reservoirs"                                                                                                                
                                                                                                                                
     ?  Producing assets  qualify if  they have  produced in                                                                    
     excess  of  40,000 bopd  and  have  produced more  than                                                                    
     400,000,000  barrels   over  the  life  of   the  asset                                                                    
     (hereinafter referred to as "40/400 Assets")                                                                               
                                                                                                                                
     ?  While  we believe  the  description  was to  isolate                                                                    
     three    fields,   the    above    language   is    not                                                                    
     straightforward and raises several questions                                                                               
                                                                                                                                
MR.  RUGGIERO said  he  cannot  reason why  the  drafters of  the                                                               
Initiative would  use terms that were  not used in AS  43.55.  He                                                               
moved  on to  slide  12, which  highlighted  "fields, units,  and                                                               
nonunitized  reservoirs"  and  covered  the  following  [original                                                               
punctuation provided]:                                                                                                          
                                                                                                                                
     ?  AS  43.55  primarily uses  "leases  and  properties"                                                                    
     throughout to  refer to oil  and gas operations  in the                                                                    
     state.  We  did  not  find  any  usage  of  the  phrase                                                                    
     "fields,  units  or   nonunitized  reservoirs"  in  any                                                                    
     statute  or regulation  governing the  taxation of  oil                                                                    
     and gas                                                                                                                    
                                                                                                                                
     ? We are  unable to discern why terms not  common to AS                                                                    
     43.55   would  be   chosen   to   assess  against   the                                                                    
     qualification criteria                                                                                                     
                                                                                                                                
     ?  It is  unclear  whether it  defines  three types  of                                                                    
     assets, i.e. fields,  units and nonunitized reservoirs,                                                                    
     or  whether  that  term  is  to  be  interpreted  as  a                                                                    
     singular grouping.  Likewise, there is no  reference to                                                                    
     determine what  the intended definition(s)  is(are) for                                                                    
     fields, units and nonunitized reservoirs                                                                                   
                                                                                                                                
MR. RUGGIERO said IN3NERGY made  the assumption that the drafters                                                               
of the  Initiative intended for  fields, units,  and non-unitized                                                               
reservoirs to be considered "three different types of assets."                                                                  
                                                                                                                                
2:34:47 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO shared the bullet points  on slide 13, which read as                                                               
follows [original punctuation provided]:                                                                                        
                                                                                                                                
     ? While the term 'field' is  very common in the oil and                                                                    
     gas industry, we looked in  statute and regulations for                                                                    
     a more precise Alaska definition                                                                                           
                                                                                                                                
     ?  Various  Alaska  agencies  describe  operations  and                                                                    
     publish   data   for   wells,  pads,   leases,   pools,                                                                    
     participating  areas, fields,  units and  general areas                                                                    
     such as North Slope, Middle Earth and Cook Inlet                                                                           
                                                                                                                                
     ? AS  31.05.170 defines,  for that  particular chapter,                                                                    
     "field"  as  a  general  area  which  is  underlain  or                                                                    
     appears  to be  underlain  by at  least  one pool,  and                                                                    
     includes  the underground  reservoir containing  oil or                                                                    
     gas. More than one pool can be part of a defined field                                                                     
                                                                                                                                
MR. RUGGIERO  explained that  although "field"  is a  common term                                                               
used in the  industry, it is important to consider  how terms are                                                               
used by the State of Alaska  in order to consider the Initiative.                                                               
He indicated that IN3NERGY's  research through Alaska regulations                                                               
showed  the  term  "field" defined  loosely  depending  on  which                                                               
source was used.                                                                                                                
                                                                                                                                
MR. RUGGIERO  directed attention  to the  bullet points  on slide                                                               
14, which read as follows [original punctuation provided]:                                                                      
                                                                                                                                
     ?  Neither  AS 43.55  nor  the  Initiative provide  any                                                                    
     guidance  on  what  grouping   of  wells  constitute  a                                                                    
     'field'                                                                                                                    
                                                                                                                                
     ?  Under AS  43.55.900 "unit"  is defined  and means  a                                                                    
     group  of  tracts   of  land  that  is   subject  to  a                                                                    
     cooperative or a unit plan  of development or operation                                                                    
     that has been certified  by the commissioner of natural                                                                    
     resources under AS 38.05.180(p)                                                                                            
                                                                                                                                
     ? The  North Slope contains  a number of  "units". Each                                                                    
     unit contains a number of pools and fields                                                                                 
                                                                                                                                
MR.  RUGGIERO named  Prudhoe Bay  Unit, Kuparuk  River Unit,  and                                                               
Pikka  Unit as  units  with  which the  committee  would be  well                                                               
aware.  He noted that AS 43.55 addresses taxation.                                                                              
                                                                                                                                
2:37:18 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO  paraphrased the  bullet points  on slide  15, which                                                               
read as follows [original punctuation provided]:                                                                                
                                                                                                                                
     ? It appears there are two  ways to qualify as a 40/400                                                                    
     Asset:  (1)  the  combined  daily  production  and  the                                                                    
     combined  cumulative production  of all  the pools  and                                                                    
     fields in a unit meet  the two threshold levels, or (2)                                                                    
     a single 'field' within a  unit meets the two threshold                                                                    
     levels which  by definition then  the field  and entire                                                                    
     'unit' of which  it is part of would both  qualify as a                                                                    
     40/400 Asset                                                                                                               
                                                                                                                                
     ? The 'fields' qualifying  as 40/400 Assets are Alpine,                                                                    
     Kuparuk and  Prudhoe Bay. Because those  fields qualify                                                                    
     then the  Colville River Unit,  Kuparuk River  Unit and                                                                    
     Prudhoe Bay Unit are 40/400 Assets as well                                                                                 
                                                                                                                                
MR.  RUGGIERO said  he thinks  that primarily,  either a  field -                                                               
when its definition is determined -  or a unit qualifies, but the                                                               
interesting question  is, "What if  a field  is also part  of the                                                               
unit?"    He explained  that  upcoming  was language  that  would                                                               
require a  tax return  for each field  and each  unit; therefore,                                                               
there is  a question of whether  there may be double  taxation or                                                               
"all sorts  of very interesting  regulations on how to  sort that                                                               
out,"  because the  Initiative appears  to  require separate  tax                                                               
returns.                                                                                                                        
                                                                                                                                
2:38:59 PM                                                                                                                    
                                                                                                                                
CO-CHAIR  TARR  summarized  that  under  the  Initiative,  it  is                                                               
possible, for example,  that the Prudhoe Bay  field could qualify                                                               
other fields within the unit to also be taxed.                                                                                  
                                                                                                                                
MR. RUGGIERO directed attention to the  map on slide 16, with red                                                               
circles  around the  areas that  would likely  qualify as  40/400                                                               
assets:   Colville River  Unit, Kuparuk  River Unit,  and Prudhoe                                                               
Bay Unit.   He drew attention  to slide 17, which  shows that the                                                               
Colville River Unit consists of  the following six pools:  Alpine                                                               
Oil, Fiord  Oil, GMT1 Undef Oil,  Nan-K Oil Term, Nanuq  Oil, and                                                               
Qannik Oil.  He continued:                                                                                                      
                                                                                                                                
     So, I  don't know whether  Alpine field is  just Alpine                                                                    
     Oil or  whether it's  Alpine plus  the other  five that                                                                    
     are  there.   If it's  just the  Alpine Oil  pool, then                                                                    
     also the Colville  River Unit will qualify  as a 40/400                                                                    
     asset  ....   We've got  both the  field, and  then the                                                                    
     unit that  it's a part of,  and then that pulls  in all                                                                    
     the smaller pools, as well, to be qualified in there.                                                                      
                                                                                                                                
MR. RUGGIERO  showed slides 18 and  19, which list the  oil pools                                                               
in the  Kuparuk River  Unit and  Prudhoe Bay  Unit, respectively.                                                               
He reiterated that in terms  of qualification, the reach could be                                                               
broad or narrow depending on the definition of terminology.                                                                     
                                                                                                                                
2:40:57 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO,  paraphrased the bullet  points on slide  20, which                                                               
read as follows [original punctuation provided]:                                                                                
                                                                                                                                
     ?   We  were   unable  to   find  any   definition  for                                                                    
      nonunitized   reservoir"   in    Alaska   statute   or                                                                    
     regulation.                                                                                                                
                                                                                                                                
        In industry  a "unitized"  reservoir is  a reservoir                                                                    
     that  crosses  ownership   boundaries.  That  agreement                                                                    
     decides on how  much of the reserves are  owned by each                                                                    
     party,  what  the  optimum  development  plan  and  the                                                                    
     naming of the operator.  A unitization agreement is for                                                                    
     the operation of a single reservoir.                                                                                       
                                                                                                                                
     ? Units in  Alaska do not represent  the unitization of                                                                    
     a reservoir.                                                                                                               
                                                                                                                                
     ?  One alternative  interpretation  is  that all  wells                                                                    
     that produce from the same  reservoir could be deemed a                                                                    
     "nonunitized reservoir"                                                                                                    
                                                                                                                                
MR. RUGGIERO said in Alaska  there are formations that run across                                                               
the  North Slope;  therefore, it  could be  said that  every well                                                               
that is  in the same formation  and the same reservoir  would, if                                                               
they  all met  the  requirements,  become a  40/400  asset.   For                                                               
example,  if  everything in  West  Sak,  which "goes  across  the                                                               
[North]  Slope," becomes  part of  a nonunitized  reservoir, then                                                               
"collectively all  that could work  towards qualifying  for being                                                               
covered under Section 2."                                                                                                       
                                                                                                                                
2:42:58 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO paraphrased  confusing  aspects  of the  Initiative                                                               
regarding production, shown in the  bullet points on slide 21, as                                                               
follows [original punctuation provided] :                                                                                       
                                                                                                                                
     ? It is unclear whether  production has to average over                                                                    
     40,000 bopd  for an entire  year or only  exceed 40,000                                                                    
     bopd on a single day in the previous year                                                                                  
                                                                                                                                
     ? Use  of a couple  extra words, such as  "averaged" or                                                                    
     "produced  on  any  day"  would  have  easily  provided                                                                    
     clarity                                                                                                                    
                                                                                                                                
     ? For 40/400  Assets, do the new  taxes apply beginning                                                                    
     January in  the following  year? Do  they apply  for an                                                                    
     entire calendar  year if during  a year  the production                                                                    
     falls  below 40,000  bopd? The  Initiative provides  no                                                                    
     direction or clarity                                                                                                       
                                                                                                                                
MR. RUGGIERO discussed further points  of confusion, shown in the                                                               
bullet  points  on slide  22,  as  follows [original  punctuation                                                               
provided]:                                                                                                                      
                                                                                                                                
     ? In  the future,  some new  units may  have production                                                                    
     above  40,000  bopd  but  have   not  yet  reached  the                                                                    
     cumulative criteria of 400,000,000 barrels                                                                                 
                                                                                                                                
     ?  Once the  cumulative production  exceeds 400,000,000                                                                    
     barrels do the  new taxes apply immediately  or do they                                                                    
     apply at the start of  the next calendar year? There is                                                                    
     no language to guide this decision                                                                                         
                                                                                                                                
     ? Where is  production to be measured?  Barrels sold to                                                                    
     the  market? Barrels  into TAPS  [Trans-Alaska Pipeline                                                                    
     System]?   Or,  wellhead   barrels?  How   are  barrels                                                                    
     consumed in  field operations  counted? Section  2 just                                                                    
     mentions barrels                                                                                                           
                                                                                                                                
     ?  Does Section  2  refer to  the  production of  total                                                                    
     barrels  or  taxable barrels?  As  much  as a  +/-  12%                                                                    
     difference                                                                                                                 
                                                                                                                                
MR. RUGGIERO said there can  be a 5-10 percent difference between                                                               
wellhead and market; a 10 percent  difference on 400 million is a                                                               
lot of barrels and days of  production where "you're either in or                                                               
you're not  in, under Section 2,  as a [40/400] asset."   He said                                                               
theses are significant  questions as to when  this would actually                                                               
take effect.                                                                                                                    
                                                                                                                                
MR.  RUGGIERO gave  a summary  of  Section 2  of the  Initiative,                                                               
which  is shown  in the  bullet points  on slide  23, as  follows                                                               
[original punctuation provided]:                                                                                                
                                                                                                                                
     ? It appears the intent is  to raise taxes only for the                                                                    
     large legacy fields of Alpine, Kuparuk and Prudhoe Bay                                                                     
                                                                                                                                
     ?  Depending  on  how  fields,  units  and  nonunitized                                                                    
     reservoirs  are defined,  there  are numerous  possible                                                                    
     interpretations,  some which  could have  much more  of                                                                    
     the  current  North   Slope  production  qualifying  as                                                                    
     40/400 Assets                                                                                                              
                                                                                                                                
     ? Other than being  immediately applicable to the three                                                                    
     large fields,  it is unclear  when the new  taxes begin                                                                    
     to apply and when they stop applying                                                                                       
                                                                                                                                
2:46:12 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO responded  to  questions from  the  committee.   In                                                               
response  to  Representative  Rauscher,  he  explained  that  the                                                               
confusion he  had expressed regarding  a starting date had  to do                                                               
with what  day the  taxes under the  Initiative would  "kick in."                                                               
He said,  "This Initiative is  silent on when that  would occur."                                                               
In response  to a question  from Representative Rasmussen,  as to                                                               
whether  fiscal year  versus calendar  considerations would  have                                                               
any  impact  on  investment,  he  said the  taxation  is  set  by                                                               
calendar year,  which is  offset from Alaska's  fiscal year.   In                                                               
response  to  a  follow-up  question,   he  emphasized  that  any                                                               
confusion  created under  the Initiative  would lead  to "a  high                                                               
degree of uncertainty from the  producers as to what game they're                                                               
playing in," which  would result in producers  holding back until                                                               
they understand the rules of the game.                                                                                          
                                                                                                                                
2:48:53 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO,  in  response to  Co-Chair  Tarr,  suggested  that                                                               
clearer articulation  might be:   "all units  on the  North Slope                                                               
that exceed  40/400."  He  explained that  the units are  a known                                                               
factor.                                                                                                                         
                                                                                                                                
2:50:08 PM                                                                                                                    
                                                                                                                                
MS.  RUGGIERO proffered  that Mr.  Ruggiero was  referring to  an                                                               
option  in which  a term  is used  that is  already defined  or a                                                               
definition  is created  where there  is  none.   She added,  "But                                                               
using the field,  units, and nonunitized reservoirs  -- there's a                                                               
possibility of  interpretation that sets  a very wide net  and in                                                               
which case  the state would be  taxing more areas than  is likely                                                               
intended."                                                                                                                      
                                                                                                                                
MR.  RUGGIERO,  in  response to  Representative  Rasmussen,  said                                                               
IN3NERGY did not  look for any prior court cases,  and he said he                                                               
is not "aware of anything like that."                                                                                           
                                                                                                                                
MS. RUGGIERO added that even if  there was a case somewhere else,                                                               
she would seek for clarity in Alaska's terminology.                                                                             
                                                                                                                                
2:52:00 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO, in  response to  Representative Hannan,  confirmed                                                               
that Alpine,  Kuparuk River, and  Prudhoe Bay Units have  all met                                                               
the  40/400 measure.   In  response  to a  follow-up comment,  he                                                               
noted that  in the  past, smaller units  have been  consumed into                                                               
larger  units  for purposes  optimization.    Some newer  players                                                               
could  be concerned  that if  consumed into  a larger  unit, they                                                               
would  be considered  from  day  one to  be  40/400 assets,  even                                                               
though they  had not yet  produced, because the larger  unit into                                                               
which they were captured was already qualified.                                                                                 
                                                                                                                                
2:54:17 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO,  in response  to Representative  Hopkins, clarified                                                               
that  sometimes  an independent  unit  goes  through its  initial                                                               
"exploration,  appraisal, and  development  plan,"  and there  is                                                               
nothing  to prevent  Alaska Oil  and Gas  Conservation Commission                                                               
(AOGC) or others to decide it  is better if that independent unit                                                               
is consumed  into another  existing unit.   He  said it  does not                                                               
have anything to  do with "whether or not they  know what's under                                                               
the ground."   He explained, "How  units here are created  are at                                                               
the   convenience  of   operations   and  optimization,   whereas                                                               
elsewhere  units are  created because  it's a  common reservoir."                                                               
In  response  to a  follow-up  question,  he confirmed  that  the                                                               
common  reservoir is  where the  lease applications  would impact                                                               
taxation.                                                                                                                       
                                                                                                                                
2:56:12 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO,  in response  to  a  question from  Representative                                                               
Talerico, confirmed  that one issue  is that there  are operators                                                               
in Alaska that are operating more  than one unit.  In response to                                                               
a follow-up comment, he said  he would be addressing the creation                                                               
of multiple tax returns when addressing Sections 5 and 6.                                                                       
                                                                                                                                
MR.  RUGGIERO,  in response  to  Representative  Hannan, said  AS                                                               
43.55.160 creates a  series of six or seven  ringfences in Alaska                                                               
for tax purposes.   An operator with operations in  each of those                                                               
ringfences would  have to do  six or seven tax  returns; however,                                                               
an  operator operating  only  on the  North  Slope, for  example,                                                               
would submit only one tax return.   In response to Co-Chair Tarr,                                                               
he said it's just one tax  return on the North Slope, "unless gas                                                               
is  used in  state," which  he indicated  was addressed  under AS                                                               
43.55.160(b).                                                                                                                   
                                                                                                                                
2:58:16 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO,  in response  to  a  question from  Representative                                                               
Hopkins as  to whether  producers have  the ability  to designate                                                               
the field  units in their reservoirs  or whether that is  done by                                                               
AOGCC or some other entity, said he does not know the process.                                                                  
                                                                                                                                
MR. RUGGIERO, in  response to a comment  from Representative Tuck                                                               
that  the  presentation was  not  intended  for guessing  at  the                                                               
intent of the Initiative but to  look at the language as written,                                                               
said he  agrees; however,  some ambiguities  could result  in the                                                               
difference of  millions of dollars.   For example, he  said while                                                               
there  may not  be much  pushback regarding  the average  for the                                                               
year  or a  single  day,  in terms  of  whether  the language  is                                                               
"barrels"  or  "taxable barrels"  there  is  a difference  of  50                                                               
million barrels  to get to the  cumulative, and that is  a lot of                                                               
oil that either does or does  not get taxed under the Initiative.                                                               
He  said there  could be  "a  good fight  over that,"  especially                                                               
since  everything in  AS 43.55  addresses taxable  barrels -  not                                                               
total barrels.                                                                                                                  
                                                                                                                                
3:00:45 PM                                                                                                                    
                                                                                                                                
MS.  RUGGIERO  brought  the committee's  attention  back  to  the                                                               
PowerPoint and began discussion of  Section 3(a), the language of                                                               
which was shown on slide 25, as follows:                                                                                        
                                                                                                                                
     *Section  3, Alternative  Gross  Minimum Tax   For  oil                                                                  
     production   from   fields,  units,   and   nonunitized                                                                    
     reservoirs  that meet  the conditions  in  Sec. 2,  the                                                                    
     amount of tax  due for each calendar month  shall be no                                                                    
     less than:                                                                                                                 
          (a) 10 percent of the  gross value at the point of                                                                    
     production  when  the   average  per-barrel  price  for                                                                    
     Alaska North  Slope crude  oil for  sale on  the United                                                                    
     States  West  Coast  (La. Basin)  during  the  calendar                                                                    
     month for which the tax is due is less than $50;                                                                           
                                                                                                                                
MS. RUGGIERO  paraphrased the  bullet points  on slide  25, which                                                               
read as follows [original punctuation provided]:                                                                                
                                                                                                                                
     ? This is  a monthly gross tax that  appears to replace                                                                    
     the current  gross minimum tax  that ranges from  0% to                                                                    
     4% of  the GVPP with a  new gross tax ranging  from 10%                                                                    
     to 15% of the GVPP                                                                                                         
                                                                                                                                
     ?  The   Initiative  does  not  contain   any  language                                                                    
     specifically altering  the definition of GVPP  from how                                                                    
     it is defined in current statute                                                                                           
                                                                                                                                
     ? It is  unclear why the parenthetical  (La. Basin) has                                                                    
     been  added to  the definition  of the  ANS WC  trigger                                                                    
     price  and what  change that  would cause  from current                                                                    
     statute                                                                                                                    
                                                                                                                                
MS. RUGGIERO explained  that since the definition  of gross value                                                               
at  the  point  of  production  (GVPP)  is  not  altered  in  the                                                               
Initiative, IN3NERGY assumes  it remains the same as it  is in AS                                                               
43.55.  She  moved on to slide 26, which  showed Section 3(b), as                                                               
follows [original punctuation provided]:                                                                                        
                                                                                                                                
          (b) an additional 1 percent  of the gross value at                                                                    
     the point of production for  each $5 increment by which                                                                    
     the  average per-barrel  price for  Alaska North  Slope                                                                    
     crude  oil for  sale on  the United  States West  Coast                                                                    
     (La.  Basin) during  the calendar  month for  which the                                                                    
     tax is  due is equal  to or  exceeds $50.   The maximum                                                                    
     tax rate  calculated in this  section shall  not exceed                                                                    
     15 percent, which is reached  when the price per barrel                                                                    
     is equal to or exceeds $70; and                                                                                            
                                                                                                                                
MS. RUGGIERO  directed attention  to the  bullet points  on slide                                                               
26, which read as follows [original punctuation provided]:                                                                      
                                                                                                                                
     ? The  language is  not clear if  the 1%  gross minimum                                                                    
     tax increase at prices above  $50 per barrel is in step                                                                    
     increments  of  $5 or  if  the  increase is  continuous                                                                    
     (like progressivity) at the rate of 1% per $5 increase                                                                     
          ? e.g.  at $53 ANS  WC is the applicable  tax rate                                                                    
          11%    [10%+1%    >$50     but<$55]    or    10.6%                                                                    
          [10%+1%*($3/$5)]                                                                                                      
                                                                                                                                
     ?  A step  function  would be  consistent with  current                                                                    
     gross minimum  tax language. This could  have been made                                                                    
     clear and unambiguous                                                                                                      
                                                                                                                                
     ? For  some reason  the last  sentence does  not define                                                                    
     where the price per barrel is to be taken from                                                                             
                                                                                                                                
MS. RUGGIERO turned to slide  27, which illustrated the gross tax                                                               
changes  between  current  statute  and initiative  when  a  step                                                               
function  and $70  Alaska North  Slope crude  sales price  on the                                                               
West  Coast  of the  United  States  (ANSWC)  are assumed.    She                                                               
explained that  under the current system,  "you top out at  the 4                                                               
percent at  $25 per barrel  and above," and under  the Initiative                                                               
there  would  be a  10  percent  tax on  amounts  up  to $50  and                                                               
"anything above $70 would be taxed at the 15 percent."                                                                          
                                                                                                                                
3:03:14 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO drew  attention to Section 3(c), on  slide 28, which                                                               
read as follows [original punctuation provided]:                                                                                
                                                                                                                                
          (c)    No     credits,    carried-forward    lease                                                                    
     expenditures,  including  operating  losses,  or  other                                                                    
     offsets many  reduce the  amount of  tax due  below the                                                                    
     amounts calculated in this section.                                                                                        
                                                                                                                                
MR. RUGGIERO discussed the bullet  points on slide 28, which read                                                               
as follows [original punctuation provided]:                                                                                     
                                                                                                                                
     ?  Under  AS  43.55, when  calculating  the  applicable                                                                    
     gross  tax there  are no  provisions for  adjusting the                                                                    
     GVPP, through the use of credits, net operating losses                                                                     
     ("NOLs") or similar                                                                                                        
                                                                                                                                
      ? Deductions from GVPP are allowed under AS 43.55 to                                                                      
     derive the PTV                                                                                                             
                                                                                                                                
     ? As such, we do not see why paragraph (c) is included                                                                     
     in this Section versus Section 4                                                                                           
                                                                                                                                
     ? If the intent was to make the gross tax calculation                                                                      
     a hard floor, that could have been explicitly written                                                                      
                                                                                                                                
3:04:20 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO,  in response  to Co-Chair  Tarr, clarified  what he                                                               
meant by  "pierce the floor."   He said  under AS 43.55,  a gross                                                               
minimum tax  is calculated, and  then the net tax  is calculated,                                                               
and then  "you take  the greater of  the gross or  the net."   He                                                               
offered  an example  to  show  that "there  are  things that  ...                                                               
pierce  that  minimum floor,  and  there  are other  things  that                                                               
cannot."   He said IN3NERGY  thinks the intent of  the Initiative                                                               
is  that no  other  deductions  or credits  would  be allowed  to                                                               
pierce the floor.                                                                                                               
                                                                                                                                
MR. RUGGIERO  indicated that  IN3NERGY was  asked what  an offset                                                               
was.   He noted that  AS 43.55 does  not use the  term "offsets."                                                               
He surmised that  the drafter of the Initiative  was including "a                                                               
catchall" to "make it as big as  they want" or "as narrow as they                                                               
want" by using an undefined term.                                                                                               
                                                                                                                                
3:06:19 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO, in  response to  Representative  Hopkins, said  AS                                                               
43.55 uses the term "ANS West  Coast price" and, for some reason,                                                               
the drafter of  the Initiative has added "(La. Basin)".   He said                                                               
it  was unclear  whether  the term  was being  added  to imply  a                                                               
difference.   He  said  in  this instance,  "La."  refers to  Los                                                               
Angeles, and  he interprets the  Initiative to mean that  for the                                                               
purpose of the  gross tax, the price at the  "La." Basin would be                                                               
used.   In response to  Representative Hopkins, he  confirmed his                                                               
understanding that this  was not just about Alaska  oil but about                                                               
oil sold in the "La." Basin.                                                                                                    
                                                                                                                                
3:08:44 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO continued the  PowerPoint presentation and discussed                                                               
Section 4  of the Initiative,  which is  written on slide  30, as                                                               
follows [original punctuation provided]:                                                                                        
                                                                                                                                
     *Section  4,   Tax  on  Production  Tax   Value.    For                                                                  
     production   from   fields,  units,   and   nonunitized                                                                    
     reservoirs that meet the conditions in Sec. 2:                                                                             
          (a)   The   per-taxable-barrel    credit   in   AS                                                                    
     43.55.024(i) and (j) shall not be used; and                                                                                
          (b)  An additional  production tax  shall be  paid                                                                    
     for  each  month  for   which  the  producer's  average                                                                    
     monthly Production  Tax Value  of taxable oil  is equal                                                                    
     to or more  than $50.  The additional tax  shall be the                                                                    
     difference between  the average monthly  Production Tax                                                                    
     Value of  a barrel  of oil and  $50, multiplied  by the                                                                    
     volume of taxable oil produced  by the producer for the                                                                    
     month, multiplied by 15 percent.                                                                                           
                                                                                                                                
MR.  RUGGIERO highlighted  the first  bullet point  on slide  30,                                                               
which  read as  follows  [original punctuation  provided, with  a                                                               
technical change]:                                                                                                              
                                                                                                                                
       [Subsection]  (a) clearly and explicitly  states that                                                                    
     the credits  now allowed  in AS  43.55.024 (i)  and (j)                                                                    
     shall not be used for 40/400 Assets                                                                                        
                                                                                                                                
MR. RUGGIERO then  directed attention to slide  31, which focused                                                               
on  [subsection](b) of  Section  4.   He  paraphrased the  bullet                                                               
points, which read as follows [original punctuation provided]:                                                                  
                                                                                                                                
     ? Under  AS 43.55 both  the gross  tax on GVPP  and the                                                                    
     net tax on PTV are referred to as a "production tax"                                                                       
                                                                                                                                
     ?  Given   the  above,   it  is  unclear   whether  "An                                                                    
     additional   production   tax"    means   (1)   another                                                                    
     production tax in addition to  the Section 3 production                                                                    
     tax;  or  (2)  an  additional   tax  on  top  of  other                                                                    
     production taxes currently in AS 43.55                                                                                     
                                                                                                                                
     ?  Nowhere in  the Initiative  is there  any direct  or                                                                    
     implied reference to the current  applicable net tax on                                                                    
     PTV in AS 43.55                                                                                                            
                                                                                                                                
MR. RUGGIERO  directed attention to  slide 32, where  "of taxable                                                               
oil" and  "of a barrel of  oil" in [subsection] (b)  of Section 4                                                               
are  shown   outlined  in  gold   boxes.    He   paraphrased  the                                                               
information  in   the  bullet  points,  which   read  as  follows                                                               
[original punctuation provided]:                                                                                                
                                                                                                                                
     ? Two  different definitions of  PTV are used,  PTV "of                                                                    
     taxable oil" and PTV "of a barrel of oil"                                                                                  
                                                                                                                                
     ? PTV "of taxable oil"  defines the gross income. It is                                                                    
     sales  revenues minus  transportation and  lease costs.                                                                    
     It will always exceed $50                                                                                                  
                                                                                                                                
     ?  PTV "of  a  barrel of  oil" is  the  PTV divided  by                                                                    
     applicable  production  to  derive a  per  barrel  unit                                                                    
     value                                                                                                                      
                                                                                                                                
     ? As worded, the additional tax will apply every month                                                                     
                                                                                                                                
3:11:33 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO  said Section  4 applies when  the value  of taxable                                                               
oil is above $50.  He said he  would bet all his money that every                                                               
month, the PTV  of a qualifying 40/400 asset would  be above $50.                                                               
He said  this means production of  just two barrels.   He stated,                                                               
"So,  this is  always going  to be  live and  always going  to be                                                               
applicable."   He then used slide  33 to illustrate that  "one is                                                               
per taxable  oil, and the other  one is just per  barrel of oil."                                                               
He continued as follows:                                                                                                        
                                                                                                                                
     So,  to  get unit  value,  I  take the  production  tax                                                                    
     value, the  PTV, and I  divide by the quantity  of oil.                                                                    
     If I'm dividing  by total barrels, ...  that's a larger                                                                    
     number, so  the unit value's  going to be  smaller than                                                                    
     if I  divide it  by taxable barrels.   So,  again, when                                                                    
     we're  talking  about  ambiguity,   we  mixed  PTV  "of                                                                    
     barrels" with  PTV "per barrel,"  and we  mixed taxable                                                                    
     barrels with  total barrels.   So, we've got kind  of a                                                                    
     confusion.  You could put  a matrix here and have about                                                                    
     16  different alternative  combinations of  this, that,                                                                    
     and the other to go through there.                                                                                         
                                                                                                                                
MR. RUGGIERO said AS 43.55  always refers to production tax value                                                               
per barrel  of taxable  oil.   He added,  "But that's  not what's                                                               
chosen here."                                                                                                                   
                                                                                                                                
3:14:00 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO  brought attention to  Section 5 of  the Initiative,                                                               
shown on slide 35, as follows [original punctuation provided]:                                                                  
                                                                                                                                
     *Section  5, Separate  Treatment.   For each  producer,                                                                  
     the  taxes set  forth  in  Sections 3  and  4 shall  be                                                                    
     calculated separately for the following:                                                                                   
          (a) For oil and for gas;                                                                                              
          (b)   For  each   calendar  month   (annual  lease                                                                    
     expenditures  shall be  divided  equally  among the  12                                                                    
     months of the tax year); and                                                                                               
          (c)   For  each   of   the   fields,  units,   and                                                                    
     nonunitized  reservoirs, the  lease expenditures  shall                                                                    
     be   calculated,   deducted,    and   carried   forward                                                                    
     separately.                                                                                                                
                                                                                                                                
MR. RUGGIERO addressed the bullets points on slide 35, which                                                                    
read as follows [original punctuation provided]:                                                                                
                                                                                                                                
     ? Section  2 noted the taxes  under Sections 3 &  4 can                                                                    
     only apply  to oil. Section  5 now states the  taxes in                                                                    
     Sections 3  & 4 apply to  gas as well. Both  can not be                                                                    
     true                                                                                                                       
                                                                                                                                
     ?  The inclusion  of gas  here  opens the  door to  any                                                                    
     number  of  interpretations  including  that  gas  from                                                                    
     40/400  Assets would  be  ringfenced  from other  North                                                                    
     Slope gas and taxed via Sections  3 & 4 and not current                                                                    
     AS 43.55                                                                                                                   
                                                                                                                                
     ?  Another possible  interpretation is  that all  costs                                                                    
     related  to  gas  are  to be  separate  from  oil,  not                                                                    
     combined as they are now  under AS 43.55 and subtracted                                                                    
     from oil revenue to determine oil taxes                                                                                    
                                                                                                                                
MR. RUGGIERO directed attention to slide  36.  He stated that the                                                               
slide shows  comparisons of disparate  language from  Sections 2,                                                               
3,  4, and  5,  explained in  the bullet  points,  which read  as                                                               
follows [original punctuation provided]:                                                                                        
                                                                                                                                
     ? Note the changing terminology.                                                                                           
                                                                                                                                
     ? Section 2 "only apply to  oil"; then ? Section 3 "for                                                                    
     oil production"; but                                                                                                       
                                                                                                                                
     ?  in Section  4 it  only addresses  "production" which                                                                    
     generically means oil and gas, and then                                                                                    
                                                                                                                                
     ? Section  5 states the  taxes in  Section 3 &  4 apply                                                                    
     "for oil" and "for gas                                                                                                     
                                                                                                                                
MR. RUGGIERO said,  "This is going to be really  hard for someone                                                               
to sort  out."  He said  he would not  want to be the  person who                                                               
would have to write out the regulations.                                                                                        
                                                                                                                                
3:16:38 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO  turned to slide  37.   He said currently,  under AS                                                               
43.55, there are  monthly installments, with an  annual "true up"                                                               
on  each producer's  taxes on  the North  Slope.   He shared  the                                                               
information  on  slide  37,  which   read  as  follows  [original                                                               
punctuation provided, with a technical change]:                                                                                 
                                                                                                                                
         [Subsection]  (b)   changes  the   current  monthly                                                                    
     installment payments  as part  of an annual  tax return                                                                    
     to require  a tax  return be filed  for each  month for                                                                    
     each 40/400 Asset                                                                                                          
                                                                                                                                
     ? Because the  accurate value for 1/12th  of the annual                                                                    
     lease  expenditures is  not known  until several  weeks                                                                    
     after the end of the  year, an amended return will need                                                                    
     to be filed  for each month of the prior  year for each                                                                    
     and every 40/400 Asset                                                                                                     
                                                                                                                                
     ? The Initiative  provides no guidance on  how to apply                                                                    
     tax  credits,  other  carried forward  credits  or  net                                                                    
     operating losses  to the  monthly tax  returns. Lacking                                                                    
     guidance  producers  would appear  to  be  free to  use                                                                    
     these  items  at  their   discretion  to  minimize  tax                                                                    
     payments                                                                                                                   
                                                                                                                                
MR. RUGGIERO  predicted that because  producers cannot  know what                                                               
one-twelfth of an annual lease  expenditure will be until the end                                                               
of  the year,  each producer,  for each  asset, would  have filed                                                               
roughly  24 returns  -  [the  12 monthly  ones  and 12  corrected                                                               
ones].   He emphasized  that there is  nothing in  the Initiative                                                               
that  calls for  an  annual  true-up return;  it  calls only  for                                                               
monthly tax returns.                                                                                                            
                                                                                                                                
MR.  RUGGIERO,  referring back  to  the  terms field,  unit,  and                                                               
nonunitized  reservoir, said,  "We  may  capture operations  that                                                               
actually have existing - or have  generated some - losses or have                                                               
some  credits, et  cetera."    He said  the  Initiative does  not                                                               
address how  those losses or  deductions should be  handled, "all                                                               
of which  are applicable  against PTV  when calculating  your net                                                               
tax."  He  said someone is going  to have to write  the rules for                                                               
addressing this issue.                                                                                                          
                                                                                                                                
3:19:41 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO directed  attention to slide 38, and  he covered the                                                               
information  in   the  bullet  points,  which   read  as  follows                                                               
[original punctuation provided, with a technical change]:                                                                       
                                                                                                                                
       [Subsection] (c) requires  that lease expenditures be                                                                    
     treated  separately   for  each  40/400   Asset.  Point                                                                    
     forward, systems  can be put  in place  to disaggregate                                                                    
     future North Slope costs                                                                                                   
                                                                                                                                
     ? However,  any existing carry-forward tax  credits and                                                                    
     operating  loses [sic]  resulted collectively  from all                                                                    
     operations a producer had on the North Slope                                                                               
                                                                                                                                
     ? The  Initiative is silent  on their use  and likewise                                                                    
     silent  on  how  these  aggregated amounts  are  to  be                                                                    
     separated for each 40/400 Asset.  A mechanism will need                                                                    
     to be put  in place as to  how they are to  be used for                                                                    
     40/400 Assets. The Initiative  provides no direction in                                                                    
     this regard                                                                                                                
                                                                                                                                
     ?  Costs for  common facilities  will also  need to  be                                                                    
     identified and allocated to all users                                                                                      
                                                                                                                                
MR. RUGGIERO  indicated that there  are operations [on  the North                                                               
Slope] that "do  not qualify as a 40/400" that  are "likely using                                                               
some of these  facilities jointly with a 40/400  asset."  Because                                                               
of  the requirement  to  do separate  accounting  by each  40/400                                                               
qualifying entity, "you're going to have  to break it up into all                                                               
expenses,  whether a  common use,  into  the individual  entities                                                               
that  use it."   He  added  that he  does not  know whether  that                                                               
already occurs.                                                                                                                 
                                                                                                                                
3:20:46 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO,  in response  to  a  question from  Representative                                                               
Hannan regarding the gas issue  posed on slide 35, proffered that                                                               
at  one time  Prudhoe Bay  was producing  over 300  billion cubic                                                               
feet per  day, "using 400  or 500  for slope use  and reinjecting                                                               
the  remainder;  so, there  is  ...  gas usage,  because  they're                                                               
maintaining a  gas cap  for pressure.   That  helps push  the oil                                                               
out."    Mr.  Ruggiero  responded  to  follow-up  questions  from                                                               
Representative  Hannan.    As  to  whether any  of  that  gas  is                                                               
currently  being taxed,  he supposed  that  there are  provisions                                                               
within  AS  43.55 and  the  tax  code  wherein the  revenue  from                                                               
"entity A" selling gas to "entity  B" would have to be "captured"                                                               
and  reflected in  a tax  return.   As to  whether that  would be                                                               
categorized  under  corporate  taxes   and  expenses  versus  the                                                               
state's production  structure, he offered his  understanding that                                                               
as long as  it is a reservoir captured under  the production tax,                                                               
it would be part of the production tax calculation.                                                                             
                                                                                                                                
3:22:51 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO,  in response to Representative  Tuck's reference to                                                               
the second  bullet point on slide  37 and question as  to whether                                                               
there  had previously  been a  one-twelfth monthly  progressivity                                                               
calculation under  Alaska's Clear and Equitable  Share (ACES) for                                                               
lease expenditures, recollected that  had been the case, although                                                               
he said he had not reviewed ACES.                                                                                               
                                                                                                                                
3:23:31 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO confirmed Co-Chair  Tarr's observation that the true                                                               
up would have to be done looking  back at 12 months.  He said one                                                               
interpretation  is that  it is  a monthly  tax return.   He  said                                                               
those who  write the regulation  could choose the  current system                                                               
of a monthly return using an  estimate of the one-twelfth, with a                                                               
true up  at the end  of the year;  however, there is  no language                                                               
within the Initiative that would "drive you to that conclusion."                                                                
                                                                                                                                
3:27:38 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO,  in response  to Representative  Rasmussen, offered                                                               
his  understanding  that  the  state   audit  for  oil  taxes  is                                                               
presently at 2014.   In response to follow-up  questions, he said                                                               
he knows there  is a process in place; the  Department of Revenue                                                               
(DOR)   has  communicated   with  the   legislature,  which   has                                                               
determined  that the  current number  of people  working on  [the                                                               
audits]  is   sufficient.    He  cautioned   that  if  IN3NERGY's                                                               
interpretation  is correct  that  there will  be monthly  returns                                                               
under the  Initiative that  will drive the  number of  returns up                                                               
exponentially, then that will be  a challenge from the standpoint                                                               
of  completing audits.   He  confirmed that  this would  increase                                                               
costs  to both  the  state and  the oil  companies  on the  North                                                               
Slope.                                                                                                                          
                                                                                                                                
3:29:07 PM                                                                                                                    
                                                                                                                                
MR.  RUGGIERO, in  response to  a remark  made by  Representative                                                               
Spohnholz,  advanced  to slide  40,  which  shows Section  6,  as                                                               
follows [original punctuation provided]:                                                                                        
                                                                                                                                
     *Section 6,  Greater-of.  For  each producer,  for each                                                                  
     month,  and   for  each  of  the   fields,  units,  and                                                                    
     nonunitized  reservoirs,  the  tax  due  shall  be  the                                                                    
     greater of the tax under Section 3 or Section 4.                                                                           
                                                                                                                                
MR. RUGGIERO said  he does not know how a  producer would come up                                                               
with the  tax due figure  without having done  a tax return.   He                                                               
said there is  nothing in the Initiative to  indicate the monthly                                                               
figure  would be  an estimate  or installment,  whereas currently                                                               
under AS  43.55, it is  clear that  an installment is  being paid                                                               
monthly toward an annual tax return.                                                                                            
                                                                                                                                
3:32:06 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO  returned to  the PowerPoint  and referred  again to                                                               
slide 40,  on which the  bullet points read as  follows [original                                                               
punctuation provided]:                                                                                                          
                                                                                                                                
     ?  The language  above explicitly  states that  the tax                                                                    
     due from  a producer  for a 40/400  Asset shall  be the                                                                    
     greater of the tax under Section 3 or Section 4                                                                            
                                                                                                                                
     ? There is no Initiative  reference, direct or implied,                                                                    
     to  the inclusion  of any  other taxes  under AS  43.55                                                                    
     being applicable for a 40/400 Asset                                                                                        
                                                                                                                                
     ?   The  language   above  only   references  the   tax                                                                    
     calculated  under  Section  4  and  not  Section  4  in                                                                    
     addition to another tax such  as AS 43.55.011(e)(2) the                                                                    
     35% tax on PTV                                                                                                             
                                                                                                                                
     ? Section  5 defined  items that  needed to  be treated                                                                    
     separately, but  never called for each  field, unit and                                                                    
     nonunitized reservoir  to have its own  tax return. The                                                                    
     use of "each of" above seems  to imply that each of the                                                                    
     fields, units and  nonunitized reservoirs is ringfenced                                                                    
     separately  for  tax purposes.  If  so,  it raises  the                                                                    
     possibility  of double  taxation, once  as a  field and                                                                    
     again as a unit                                                                                                            
                                                                                                                                
MR. RUGGIERO, regarding the third  bullet point, said, "We almost                                                               
get  to  the  part  where  the  gross  tax  will  always  be  the                                                               
controlling, because  it's 10  to 15 percent  gross on  the GVPP,                                                               
and  Section 4  is a  net tax  only when  the PTV's  above $50  a                                                               
barrel."   He said  IN3NERGY thinks Section  4 is  not necessary,                                                               
because Section 3 would be "controlling in all circumstances."                                                                  
                                                                                                                                
MR.   RUGGIERO,  in   response   to  a   previous  comment   from                                                               
Representative Tuck, pointed out that  Section 5 did not call for                                                               
the monthly tax;  that is found in Section 6.   He explained that                                                               
Section  6 would  require  a separate  calculation  "down to  the                                                               
smallest common denominator, based  on whatever you finally agree                                                               
to be field units and nonunitized reservoirs."                                                                                  
                                                                                                                                
3:35:33 PM                                                                                                                    
                                                                                                                                
CO-CHAIR TARR offered the following:                                                                                            
                                                                                                                                
     When  we talk  about getting  that  PTV:   We have  the                                                                    
     wellhead  price  and   subtract  transportation  costs,                                                                    
     which we estimate  around $10 - that's  our GVPP; minus                                                                    
     the capital,  minus the  operating -  this is  the PTV.                                                                    
     So, only after all  of those expenses and circumstances                                                                    
     where that number is $50  or above is why you're saying                                                                    
     that  ...  Section  3  is  really  the  most  important                                                                    
     section relative to Section 4.                                                                                             
                                                                                                                                
MR. RUGGIERO told Co-Chair Tarr that that was a good analysis.                                                                  
                                                                                                                                
3:36:16 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO, in response to  Representative Hannan, relayed that                                                               
there was discussion  about this presentation being  given to the                                                               
Senate, and he indicated that it would likely happen.                                                                           
                                                                                                                                
3:37:03 PM                                                                                                                    
                                                                                                                                
MR. RUGGIERO,  in response to Representative  Tuck's reference to                                                               
slide  31 and  question  as  to whether  it  was  clear that  the                                                               
additional  tax should  not be  applied  to the  gross tax,  said                                                               
there is  nothing in the  language of the Initiative  that "pulls                                                               
in this  bill the 35 percent  base tax that currently  resides in                                                               
[AS] 43.55."   He said someone  had told him that  it was obvious                                                               
that since the  Initiative does not overwrite the  35 percent, it                                                               
must be brought  in," to which he had replied  that the gross tax                                                               
in AS 43.55  was not specifically overwritten  in the Initiative,                                                               
"so instead of  going from 10 to  15, you're going to  go from 14                                                               
to 19."   He  emphasized that  the same  logic should  be applied                                                               
throughout.                                                                                                                     
                                                                                                                                
MR.  RUGGIERO, in  response to  Representative  Tuck pointing  to                                                               
slide  9 and  expressing  his  confusion over  "notwithstanding,"                                                               
stated:                                                                                                                         
                                                                                                                                
     The way I  read it is:  Notwithstanding  that there's a                                                                    
     gross tax already there, here's  the gross tax, Section                                                                    
     3; notwithstanding  there's already  a net tax  in [AS]                                                                    
     43.55, here's  a net tax  in Section  4.  That's  how I                                                                    
     read it.   Like I said, but if one  wants to argue that                                                                    
     that's an incorrect interpretation  and use of the term                                                                    
     "notwithstanding",  then again,  you have  to pull  ...                                                                    
     both  the gross  and the  net tax  that's currently  in                                                                    
     [AS] 43.55 into this bill.                                                                                                 
                                                                                                                                
MR.  RUGGIERO, in  response to  a remark  by Representative  Tuck                                                               
that   "notwithstanding"   could   mean  not   conforming,   said                                                               
Representative  Tuck was  raising IN3NERGY's  "beginning, overall                                                               
100,000-foot  view [that]  this  is technically  challenged as  a                                                               
bill."   He  said the  Initiative is  unclear, and  he reiterated                                                               
that "it'll be real fun for  whoever has to write the regulations                                                               
to make it work."                                                                                                               
                                                                                                                                
3:40:26 PM                                                                                                                    
                                                                                                                                
CO-CHAIR TARR  announced that the  committee would return  to the                                                               
presentation  on Friday.   She  encouraged  committee members  to                                                               
follow-up   with    Legislative   Legal   Services    about   the                                                               
interpretation questions before the next meeting.                                                                               
                                                                                                                                
3:42:46 PM                                                                                                                    
                                                                                                                                
ADJOURNMENT                                                                                                                   
                                                                                                                                
There being no  further business before the  committee, the House                                                               
Resources Standing Committee meeting was adjourned at 3:42 p.m.                                                                 

Document Name Date/Time Subjects
IN3NERGY Analysis of Ballot Initiative 190GTX 2.26.20.pdf HRES 2/26/2020 1:00:00 PM
IN3NERGY Analysis of Oil Tax Initiative
IN3NERGY Presentation Ballot Initiative 19OGTX.pdf HRES 2/26/2020 1:00:00 PM
IN3NERGY Presentation on Oil Tax Initiative 2.26.20