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Regulatory Aspects of Energy Efficiency: A Residential Perspective

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Regulatory Aspects of Energy Efficiency: A Residential Perspective Presented by: Roger D. Colton Fisher, Sheehan & Colton Public Finance and General Economics – PowerPoint PPT presentation

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Title: Regulatory Aspects of Energy Efficiency: A Residential Perspective


1
Regulatory Aspects of Energy Efficiency A
Residential Perspective
  • Presented by
  • Roger D. Colton
  • Fisher, Sheehan Colton
  • Public Finance and General Economics
  • Belmont, MA
  • National Regulatory Conference
  • Wiliamsburg, Virginia
  • May 2008

2
Energy Efficiency Four Tests of
Cost-Effectiveness
  • Participant test
  • Cost and benefits to ratepayer (affordability)
  • Total resource cost test
  • Total costs and benefitsparticipant and utility
  • Utility cost test
  • Resource optionnarrowly defined avoided costs.
  • Ratepayer impact test
  • What happens to ratepayer bills

3
Beyond the traditional tests. . .
  • Four traditional tests focus on energy efficiency
    as a demand-side alternative to consider in
    capacity planning.
  • Two additional concepts
  • Efficiency can be a least-cost strategy for
    utility tasks other than capacity planning as
    well.
  • In accepting proposition 1, the locus of
    authority for Commission to act on efficiency can
    be found in non-traditional statutes.

4
Proposition 1
  • Within a utilitys obligation to provide
    least-cost service, energy efficiency can serve
    not only as least-cost capacity planning, but as
    a least cost strategy for other utility tasks as
    well.

5
Appropriate Application of Utility Cost Test
  • Least-cost obligation applies to all aspects of
    utility operations
  • Self-insurance rather than insurance.
  • Peaking/base load/intermediate generation
  • Demand-side vs. supply-side alternatives
  • Traditional avoided costs (capacity/energy) for
    utility cost test.
  • Least cost applies to non-supply issues as well
  • Credit and collection
  • Control of uncollectibles/write-offs
  • Non-energy utility avoided costs exist (Howat)
  • Reduced arrears 0.6 8.8 adder
  • Reduced write-offs 8.5 adder
  • Fewer emergency calls 11.6 adder

6
Leaving Efficiency on the Table
  • Electric utility proposes three-part energy
    efficiency program.
  • Vendor-based appliance rebates for Energy Star.
  • On-site energy audit and envelope sealing for
    HOs/1-family units
  • Refrigerator replacement as part of on-site audit
  • Low-income program low-cost kit
  • 2 low-flow shower heads
  • 3 CFLs
  • Systematically excludes low-income
  • 70 of HHs lt 150 of FPL are renters.
  • 85 of HHs lt 10,000 are renters.
  • Disparate tenure length
  • Mean move-in date for renters 1998
  • Mean move-in date for homeowners 1985
  • Impact
  • Low-income pay for program
  • Low-income bear increased fixed costs
  • Low-income pay lost revenue
  • Consider, quite aside from low-income equity
    components (LI pay for but do not receive
    benefits from)

7
Proposition 2
  • Once you accept the notion that efficiency can be
    a least-cost strategy for various utility tasks,
    it opens up the proposition that not only the
    authority, but the obligation, for state
    regulators to consider efficiency can be found in
    some non-traditional statutes.
  • Consider environment as one example.

8
Applying Lessons re. Utility Commission Authority
in Era of Environmental Concern
  • State PUCs not only may but must look outside
    exclusive focus on economic regulation
  • As the environmental impact of generation
    increases, must look beyond economic regulation.
  • Three sources
  • Whereas clauses of commission creation.
  • Mini-state NEPA that applies to PUC as state
    agency.
  • Least-cost enforcement of federal law.

9
Examples of whereas clauses
  • Maryland PSC shall consider the public safety,
    and economy of the state, the conservation of
    natural resources, and the preservation of
    environmental quality.
  • Vermont goal of utility policy is meeting the
    publics need for energy services, after safety
    concerns are addressed, at the lowest present
    value lie cycle cost, including environmental and
    economic costs. . .
  • North Carolina PSC policy is to encourage and
    promote harmony between public utilities, their
    users and the environment.

10
Example of State NEPA Laws
  • New York PSC must find that consistent with
    social, economic and other essential
    considerations, to the maximum extent
    practicable, adverse environmental effects
    revealed in the EIS process will be minimized
    or avoided.
  • Differences between states
  • Some apply only to certifications/projects
  • Others apply to all Commission actions (including
    rate-setting).
  • 20 states have mini-NEPAs
  • 12 commissions are explicitly subject to their
    state NEPAs.

11
Section 404, Clean Air Act
  • (2) Allowances for Emissions Avoided Through
    Energy Conservation and Renewable Energy.--
  • (A) In General.--The regulations under paragraph
    (4) of this subsection shall provide that for
    each ton of sulfur dioxide emissions avoided by
    an electric utility, during the applicable
    period, through the use of qualified energy
    conservation measures or qualified renewable
    energy, the Administrator shall allocate a single
    allowance to such electric utility, on a
    first-come-first-served basis from the
    Conservation and Renewable Energy Reserve
    established under subsection (g), up to a total
    of 300,000 allowances for allocation from such
    Reserve.

12
Energy Conservation as Clean Air Strategy
  • B) Requirements for Issuance.--The Administrator
    shall allocate allowances to an electric utility
    under this subsection only if all of the
    following requirements are met
  • (i) Such electric utility is paying for the
    qualified energy conservation measures or
    qualified renewable energy directly or through
    purchase from another person.
  • (ii) The emissions of sulfur dioxide avoided
    through the use of qualified energy conservation
    measures or qualified renewable energy are
    quantified in accordance with regulations
    promulgated by the Administrator under this
    subsection.
  • (iii)(I) Such electric utility has adopted and is
    implementing a least cost energy conservation and
    electric power plan which evaluates a range of
    resources, including new power supplies, energy
    conservation, and renewable energy resources, in
    order to meet expected future demand at the
    lowest system cost.
  • (II) The qualified energy conservation measures
    or qualified renewable energy, or both, are
    consistent with that plan.
  • (III) Electric utilities subject to the
    jurisdiction of a State regulatory authority must
    have such plan approved by such authority. For
    electric utilities not subject to the
    jurisdiction of a State regulatory authority such
    plan shall be approved by the entity with
    ratemaking authority for such utility.

13
Pennsylvania implementation
  • On or before January 1, 1996, each public
    utility shall submit to the commission and may
    request commission approval of a plan to bring
    its generating units which use coal to generate
    electricity into compliance with the Phase II
    requirements of Title IV of the Clean Air Act.

14
Critical lessons for energy efficiency
  • Common misperception is that utility commissions
    are only economic regulators
  • Excludes environmental impacts
  • Excludes affordability impacts

15
For more information
  • http//www.fsconline.com
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16
For more information
  • roger_at_fsconline.com
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