Turbo-Charging Energy Efficiency in Massachusetts: A DPU Perspective - PowerPoint PPT Presentation

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Turbo-Charging Energy Efficiency in Massachusetts: A DPU Perspective

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Title: Turbo-Charging Energy Efficiency in Massachusetts: A DPU Perspective


1
Turbo-Charging Energy Efficiency in
MassachusettsA DPU Perspective
Tim Woolf, CommissionerMassachusetts Department
of Public UtilitiesThe Restructuring
RoundtableApril 11, 2008
2
The Energy Efficiency is a Top Priority for the
DPU
  • DPU key goals to ensure that utilities provide
    safe, reliable, low-cost electricity and gas
    services.
  • Energy efficiency (and demand resources in
    general) offer the greatest opportunity for the
    DPU to achieve all of these goals.
  • Since electricity restructuring, the DPU
    regulates only the distribution portion of
    electric and gas rates.
  • The commodity costs are the most significant
    portion of electric and gas bills, and these
    costs
  • are highly volatile,
  • have increased dramatically in recent years,
  • are highly dependent upon gas costs, and
  • are likely to continue to increase in future
    years.

3
Components of a Typical Residential Bill
24 of total
41 of total
4
ISO-NE Scenario AnalysisNatural gas is the
primary determinant of electricity prices.
Source ISO-NE
5
What Options Does DPU Have to Reduce Electric and
Gas Costs?
  • DPU oversight of the distribution costs (rate
    cases).
  • DPU oversight of Basic Service procurement.
  • DPU advocacy at ISO and FERC to address wholesale
    market costs (e.g., energy and capacity markets)
    and regional costs (e.g., transmission).
  • DPU promotion of demand resources
  • Energy efficiency.
  • Demand response.
  • Distributed renewables.
  • Combined heat and power.
  • Demand resources allow customers to reduce their
    entire bill distribution, transmission, and
    commodity costs.

6
Energy Efficiency Reduces Electricity Costs
  • Generation costs on the order of 8-12 /kWh,
    while energy efficiency costs on the order of 3-4
    /kWh.
  • Massachusetts Program Administrators and
    customers spent 156 million in 2007.
  • These programs will save 619 million over time
    from those efforts.
  • Net Benefits of 463 million.
  • Benefit cost ratio of 3.9.

Net Benefits
7
Electricity Expenditures in Massachusetts
  • Electric energy efficiency budgets in MA are
    currently capped at roughly 125 million per
    year.
  • Meanwhile, we are spending roughly 4.5 billion
    per year on generation, and nearly 2 billion
    per year on transmission and distribution.

8
Energy Efficiency Reduces Customer Bills
  • Typical electric customer savings from
    comprehensive efficiency
  • 10, 20, 30, potentially more in some cases.
  • Participating customers will reduce their entire
    bill.
  • Electricity rate in Massachusetts range from 14
    /kWh to 21 /kWh.
  • For efficiency that costs roughly 3-4 /kWh, the
    benefit-cost ratio from the customers
    perspective is on the order of 4 to 7.
  • These customer savings result in
  • increased disposable income for residential
    customers,
  • reduced business expenses for commercial
    customers,
  • both of which contribute to the local economy.

9
Energy Efficiency Can Reduce Wholesale
Electricity Costs
  • Wholesale energy prices in New England
  • Recent study for the Massachusetts Technology
    CollaborativeEliminating electricity load
    growth through energy efficiency and Combined
    Heat and Power could reduce wholesale electricity
    prices by as much as 5.
  • These benefits accrue to everyone participating
    in the wholesale energy market.
  • Wholesale capacity prices in the Forward Capacity
    Market
  • Demand Resources represented 64 of resources
    that cleared the first auction
  • This clearly helps to dampen the price for
    capacity.
  • These benefits will accrue to all electric
    customers in New England.
  • Even customers that do not participate in the
    efficiency programs will experience reductions in
    electricity commodity costs.

10
Energy Efficiency Will be Essential in Addressing
Climate Change
  • Goal set by scientists reduce CO2 emissions by
    80 by 2050.
  • Addressing climate change will require a
    fundamental transformation of the way that
    electricity and gas is produced and consumed.
  • Nobody knows exactly what that transformation
    will look like.
  • Energy efficiency will have to be a central part
    of the transformation.
  • All industry actors will need to have the
    technologies, infrastructure, price signals, and
    incentives to operate in a radically more
    efficient way.
  • Government policies should allow for and promote
    this transformation to low-carbon industries.
  • Addressing climate change is not just a matter
    for environmental regulators.
  • Economic regulators need to properly guide the
    transformation.

11
Decoupling
  • .
  • .
  • .
  • .
  • .
  • .

12
Achieving All Cost-Effective Energy Efficiency
  • Both Senate and House energy bills require
    efficiency program administrators to achieve all
    cost-effective efficiency.
  • This is likely to raise new regulatory and policy
    issues.
  • Specific definitions of cost-effective.
  • How quickly to ramp up activities.
  • Contents of the first three-year plans.
  • Modifications to the three-year plans mid-stream.
  • Research, demonstration and commercialization
    activities.
  • The DPU intends to work actively with efficiency
    stakeholders.
  • Our starting principle will be to utilize
    existing policies as much as possible, in order
    to make for a smooth and efficient transition.
  • The DPU will coordinate closely with DOER on
    these issues.
  • Monitoring and verification will continue to be a
    priority for the DPU.

13
Comprehensive Perspective on Bills and Prices
  • Will require a balancing of interests
    particularly the balancing of reduced costs
    versus price increases.
  • The DPU is concerned about electric and gas
    prices, and will attempt to mitigate price
    impacts.
  • Price impacts should be considered
    comprehensively. For example, by considering
  • The benefits of reducing the number of
    non-participants as the amount of efficiency
    investments increases.
  • The benefits of total bill reductions versus the
    price impacts on the distribution portion of the
    bill.
  • The reductions in wholesale energy costs that
    every customer experiences.
  • The reductions in wholesale capacity costs that
    every customer experiences.
  • The reductions in costs to comply with RGGI and
    RPS requirements.
  • The price impacts of alternative options for
    addressing climate change.

14
Regional Implications
  • Massachusetts can achieve (and eventually exceed)
    the goal of eliminating electricity load growth.
  • Vermont has succeeded in eliminating electricity
    load growth from 2006 to 2007 through energy
    efficiency.
  • Connecticut plans to triple electric efficiency
    budgets over the next five years.
  • Rhode Island is now pursuing all cost-effective
    energy efficiency.
  • New Hampshire and Maine are investigating ways to
    increase efficiency activities.
  • These efficiency savings taken together will
    have dramatic implications for the New England
    electricity industry.
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