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Title: Connecticut


1
Connecticuts Output-Based Emissions Standards
for DG,A Survey of Rates for Customers with
On-Site Generation,and Vermonts New RPS Law
  • Frederick Weston
  • 17 June 2005

2
Connecticuts DGEmissions Rule
  • Section 22a-174-42 of the Regulations of
    Connecticut State Agencies (RCSA) went into
    effect January 1, 2005
  • Mirrors the RAP Model Rule in the three key
    provisions
  • Emissions standards
  • Manufacturer certification
  • Credits for CHP

3
Mechanism and Applicability
  • Permit-by-Rule Compliance with the Connecticut
    rule provides a standardized exemption from the
    duty to obtain an individual permit pursuant to
    RCSA Section 22a-174-3a for the owners and
    operators of distributed generators.
  • The rule is an optional compliance mechanism
    traditional new source review is available for
    owners and operators who do not choose to operate
    under the rule.
  • The rule applies to existing (installed prior to
    1/1/05), new (installed after 1/1/05), or
    modified non-emergency generators with the
    following characteristics
  • A nameplate capacity of less than 15 MW
  • A potential to emit 15 tons/yr of any air
    pollutant (as defined in RCSA 22a-174-1)
  • Not a new major stationary source and
  • Not operated more than a number of hours as
    determined by a specified formula.

4
What Emissions Are Regulated and How?
  • For NOx, PM, CO, CO2
  • Output-based standards pounds per MWh
  • For SO2
  • Ultra-low sulfur fuel requirements
  • For liquid fuels, following EPA on-road
    requirements
  • For gaseous fossil fuels other than natural gas,
    no more than 10 grains of sulfur per 100 dry
    standard cubic feet
  • Credits for flared fuels and CHP
  • Also, on approval of the DEP, for on-site
    renewables and end-use efficiency
  • Dual-fuel generators standards apply to
    gas-fired operations liquid-fuel ops limited to
    30 days/year

5
Emissions Standards
  • The Connecticut rule applies the Model Rules
    Phase One Attainment emissions limits to existing
    non-emergency generators
  • The rule applies the Model Rules non-attainment,
    three-phase standards to new non-emergency
    generators
  • Compliance Manufacturer certification or
    performance testing

6
Emissions StandardsExisting Generators
Oxides of Nitrogen (lbs/MWh) Particulate Matter (lbs/MWh) Carbon Monoxide (lbs/MWh) Carbon Dioxide (lbs/MWh)
4.0 0.7 10 1900
7
Emissions StandardsNew Generators
Date of First Operation Oxides of Nitrogen (lbs/MWh) Particulate Matter (lbs/MWh) Carbon Monoxide (lbs/MWh) Carbon Dioxide (lbs/MWh)
On or after January 1, 2005 0.6 0.7 10 1900
On or after May 1, 2008 0.3 0.07 2 1900
On or after May 1, 2012 0.15 0.03 1 1650
8
Other State Actions
  • Massachusetts Draft rule with technology-differen
    tiated standards, no CHP credit.
  • New York Draft rule with RACT approach but
    output-based. CHP credit uncertain. New and
    existing units.
  • Delaware Draft rule based on the model currently
    under consideration.
  • New Jersey Draft rule recently released for
    comment.
  • Rhode Island Has begun a pre-rulemaking
    stakeholder process, using Model Rule as the
    basis for discussions.
  • Maine Rule adopted 1 August 2004, subjecting
    non-mobile generators gt 50 kW (unless subject to
    new source review) to the model rules attainment
    standards.

9
Some Stated Objectives of Pricing for Customers
with On-Site Generation
  • To provide the services that DG customers want
    and need
  • To give price signals that reflect the system
    costs and benefits of DG
  • To cover the costs imposed on the system by such
    customers
  • Charges should accurately reflect the temporal
    and geographic properties of cost causation
  • To reflect the benefits bestowed on the system by
    such customers
  • Reliability, diversity, avoided G, T, and D
  • To encourage (discourage) DG deployment
  • Clean DG?

10
From 30,000 FeetSome Recurring Themes
  • DG reduces consumer demand for grid-supplied
    energy and can reduce demand for grid-supplied
    generation capacity, but the extent to which it
    will depends upon customer loads and the
    operational characteristics of the on-site
    generation
  • DG can defer or avoid transmission and
    distribution investments, but again the extent to
    which it will depends upon customer loads, the
    characteristics of the on-site generation, and
    the characteristics of the distribution system
  • On-site generation cannot avoid distribution
    investments that serve only the individual
    customer (can possibly affect sizing, however)
  • The grid, and the reliability it provides, has
    value for which all customers should pay their
    fair share
  • Reliable analyses of the costs and benefits of
    on-site generation have not been performed

11
General Features of Utility Rates for DG Customers
  • Users with on-site generation are often referred
    to as partial requirements customers
  • Typical services provided
  • Stand-by
  • Grid power during an unscheduled outage of the
    on-site generation
  • Scheduled maintenance
  • Grid power, without penalty or reservation
    charges, while the on-site generation is being
    serviced
  • Supplemental (or baseline) Service
  • Grid power in excess of that supplied by the
    on-site generation, often supplied at the
    applicable full-requirements tariff
  • Economic replacement
  • Low-cost (usually interruptible) grid power to
    displace on-site generation at times of utility
    surplus

12
Rate Components
  • Distribution
  • Fixed recurring customer charges for billing,
    metering, administration, etc. (daily or monthly)
  • Demand charge components
  • Charges for distribution facilities dedicated
    wholly to the customer (local or dedicated
    facilities
  • Charges for the portion of shared distribution
    and transmission facilities attributed to the
    customer
  • Generation
  • Demand charges
  • Reservation fees, to cover the costs of
    generation capacity that will be needed to
    provide stand-by service, or
  • Fees for contingency reserves, the amount of
    spinning and supplemental reserves that must be
    available to meet the load otherwise served by
    the on-site generator
  • Energy
  • Unscheduled, at market prices
  • Scheduled, at tariffed or otherwise specified
    prices
  • Risk and other cost adjustments (e.g., system
    usage fee)

13
Typical Tariff Features
  • Customer size, as measured in MW
  • Minimum amounts of contract demand
  • Indiana (AEP) 500 kW, increments of 100 kW
  • Exemptions if below a specified size
  • Minnesota 60 kW
  • Oregon 1 MW
  • Texas for on-site renewables that dont export
    (considered energy efficiency)
  • Note TX does not have stand-by service for
    partial requirements customers service is taken
    under regular tariffs
  • New York 50 kW (contract demand) or if the DG
    serves no more than 15 of the on-site load
  • Massachusetts (NSTAR) 250 kW and aggregations
    between 251 kW and 1 MW that serve no more than
    30 of the on-site load

14
Typical Tariff Features
  • Technology
  • Exemptions for renewables
  • MA (NSTAR) Renewables as defined in other state
    policies, except fuel cells
  • NY Designated technologies including CHP
  • RI Eligible renewable energy resources up to
    an aggregate statewide cap of 3 MW
  • Seasonal Cost Differences
  • MA, NY, CA, AZ
  • Time of Use
  • Peak, off-peak AZ, CA, NY

15
PGE Schedule 83Full Requirements
Schedule 83, Standard Offer Service, Large Non-Residential Schedule 83, Standard Offer Service, Large Non-Residential Schedule 83, Standard Offer Service, Large Non-Residential Schedule 83, Standard Offer Service, Large Non-Residential
Delivery Voltage Delivery Voltage Delivery Voltage
Secondary Primary Subtransmission
Basic Monthly Charge
Single-Phase Service 20.00
Three-Phase Service 25.00 150.00 500.00

Transmission Related Services
Per kW of monthly Demand 0.78 0.78 0.78

Distribution Charges
The sum of the following, per month
Per kW of Facility Capacity 2.27 1.65 0.32
Per kW of monthly Demand
First 30 kW 0.56 1.89 1.05
Over 30 kW 1.89 1.89 1.05

Energy Charge
Cost of Service Option, per kWh
1,000 kW Facility Capacity 0.04239 0.04083
gt 1,000 kW Facility Capacity
On-Peak Period 0.04507 0.04326 0.04254
Off-Peak Period 0.03743 0.03593 0.03534

System Usage Charge
Per kWh 0.00485 0.00354 0.00257

1 Costs for contingency reserves are bundled in
the energy charges. PGE also offers a variety of
market-based energy options not described here.
16
PGE Schedule 75Partial Requirements
Schedule 75, Partial Requirements Service Schedule 75, Partial Requirements Service Schedule 75, Partial Requirements Service Schedule 75, Partial Requirements Service
Delivery Voltage Delivery Voltage Delivery Voltage
Secondary Primary Subtransmission
Basic Monthly Charge
Single-Phase Service 20.00
Three-Phase Service 25.00 150.00 500.00

Transmission Related Services
Per kW of monthly Demand 0.78 0.78 0.78

Distribution Charges
The sum of the following, per month
Per kW of Facility Capacity 2.27 1.65 0.32
Per kW of monthly Demand
First 30 kW 0.56 1.90 1.06
Over 30 kW 1.90 1.90 1.06

Generation Contingency Reserves
Spinning Reserves
Per kW of Reserved Capacity gt 1,000 kW 0.234 0.234 0.234
Supplemental Reserves
Per kW of Reserved Capacity gt 1,000 kW 0.234 0.234 0.234

System Usage Charge
Per kWh 0.00485 0.00354 0.00257

Energy Charge
Baseline Energy Per Schedule 83 Per Schedule 83 Per Schedule 83
Scheduled Maintenance, max 744 hrs/ calendar year Daily or Monthly Fixed, per Schedule 83 Daily or Monthly Fixed, per Schedule 83 Daily or Monthly Fixed, per Schedule 83
Unscheduled Dow Jones Mid-Columbia Hourly Firm Electricity Price Index, plus wheeling charges and a 0.003/kWh recovery charge, and adjusted for losses Dow Jones Mid-Columbia Hourly Firm Electricity Price Index, plus wheeling charges and a 0.003/kWh recovery charge, and adjusted for losses Dow Jones Mid-Columbia Hourly Firm Electricity Price Index, plus wheeling charges and a 0.003/kWh recovery charge, and adjusted for losses
17
NSTAR G-3 Rate
NSTAR Rate G-3 NSTAR Rate G-3 NSTAR Rate G-3
Customer Charge, per month 237.07 237.07

October May June September
Distribution Charge, per kW/month 5.58 11.66
Transition, per kW/month 2.46 7.70
Transition, per kWh
Peak hours usage 0.01954 0.03119
Off-peak hours usage 0.00704 0.01044
Transmission, per kW/month 2.37 2.37
Supplier Services (Optional)
Default or Standard Offer As in effect per tariff As in effect per tariff
18
NSTAR Stand-By Delivery Rate
NSTAR Rate SB-3 NSTAR Rate SB-3 NSTAR Rate SB-3
Customer Charge, per month As per applicable rate schedule As per applicable rate schedule

Monthly Distribution Charge, per kW October May June September
Contract Demand lt 1,000 kW 3.58 6.65
Contract Demand gt 1,000 kW 5.02 9.33

Transmission No charge No charge
Transition No charge No charge
19
Comparison
  • Annual costs for stand-by service, customer and
    distribution charges only, for a customer with a
    contract demand of 1,000 kW, at primary voltage
  • PGE 53,760.00
  • NSTAR 80,324.84
  • Caveat This implies no judgment as to the cost
    bases of the rates or the cost characteristics of
    the two utilities.

20
Issues and Ideas
  • Demand charges
  • As-used Monthly, daily
  • Ratchets
  • Distribution planning and the sizing of the wires
  • Ability of planning methods to properly value DG
  • Incentives for DG incentives for utilities
  • Impacts on utility profitability regulatory
    fixes
  • Policy leadership assuring consistency among
    state agencies, utilities
  • What technical issues are consistent across
    systems?
  • When does a policy overlay make sense (beyond
    technical and economic issues)?
  • Cost-shifting (revenue responsibility) vs. future
    cost avoidance
  • How can rates for DG customers be structured to
    promote environmental policy objectives? Should
    they be?

21
Issues and Ideas
  • Best efforts or Non-Firm Stand-by Service
  • A customer would not be creating any requirement
    for the utility to invest in any generation or
    transmission plant or equipment to provide
    standby service. This could justify no demand
    charge at all.
  • Low Demand, High Energy
  • Demand charges based on a fraction of nameplate
    capacity, high energy charge
  • Reflects low probability of DG outages coincident
    with peak
  • Strong incentive to maintain and operate DG
  • Similar to RI settlement where customers are not
    charged TD for back-up, only for supplemental
    (reflects diversity)

22
Renewables underVermont S.52
  • RPS beginning 7/1/13, equal to all incremental
    sales growth between 11/05 and 1/1/12, not to
    exceed 10 of 2005 sales
  • Satisfied through contracts, RECs, or payments to
    a renewables fund or for end-use efficiency
  • Sustainably Priced Energy Enterprise Program
    (SPEED) in lieu of RPS
  • Supports long-term utility contracting for
    renewables (qualifying resources) and CHP
    (non-qualifying) between 2006 and 2012. If
    output from qualifying resources meets or exceeds
    the RPS requirement, then the RPS will not go
    into effect
  • Passed House and Senate this month. Governor
    expected to sign.

23
Appendix A
  • Connecticuts DG emissions rule in greater detail

24
Connecticuts Rule
  • Section 22a-174-42 of the Regulations of
    Connecticut State Agencies (RCSA) went into
    effect January 1, 2005
  • Mirrors the RAP Model Rule in the three key
    provisions
  • Emissions standards
  • Manufacturer certification
  • Credits for CHP

25
RAP Model Rule for DG Emissions
  • Developed by a public/private stakeholder group
    over a two-year period
  • Funded by DOE/NREL
  • Available at www.raponline.org
  • Model Regulations for the Output of Specified Air
    Emissions from Smaller-Scale Electric Generation
    Resources, 31 October 2002 Review Draft

26
Optional Compliance Mechanism
  • Permit-by-Rule Compliance with the Connecticut
    rule provides a standardized exemption from the
    duty to obtain an individual permit pursuant to
    RCSA Section 22a-174-3a for the owners and
    operators of distributed generators.
  • RCSA 22a-174-3a contains the states new source
    review permit program.
  • Actual emissions are limited to less than 15
    tons/yr of any individual air pollutant (the new
    source review permitting threshold).
  • The rule is an optional compliance mechanism
    traditional new source review is available for
    owners and operators who do not choose to operate
    under the rule.

27
Applicability
  • The rule applies to existing (installed prior to
    1/1/05), new (installed after 1/1/05), or
    modified non-emergency generators with the
    following characteristics
  • A nameplate capacity of less than 15 MW
  • A potential to emit 15 tons/yr of any air
    pollutant (as defined in RCSA 22a-174-1)
  • Not a new major stationary source and
  • Not operated more than a number of hours as
    determined by a specified formula.
  • Intent of the formula is to limit emissions of
    generators eligible for the permit-by-rule to
    under 15 tons per year of any air pollutant. If
    a generator cannot meet the requirements of the
    rule (e.g., the limits or the operating-hour
    limitation), the operator would seek an
    individual permit under new source review.

28
Exemptions
  • The rule does not apply to
  • Generators or engines subject to 40 CFR 52.21,
    89, 90, 91, or 92
  • Generators powered by fuel cells, wind, or solar
    energy.
  • Emergency generators, which are regulated under
    RCSA 22a-174-22(a) (defines emergency).
  • In Connecticut, an emergency generator is not
    considered a distributed generator and therefore
    cannot operate under the rule.

29
What Emissions Are Regulated and How?
  • For NOx, PM, CO, CO2
  • Output-based standards pounds per MWh
  • For SO2
  • Ultra-low sulfur fuel requirements
  • For liquid fuels, following EPA on-road
    requirements
  • For gaseous fossil fuels other than natural gas,
    no more than 10 grains of sulfur per 100 dry
    standard cubic feet
  • Credits for flared fuels and CHP
  • Also, on approval of the DEP, for on-site
    renewables and end-use efficiency
  • Dual-fuel generators standards apply to
    gas-fired operations liquid-fuel ops limited to
    30 days/year

30
Emissions Standards
  • The Connecticut rule applies the Model Rules
    Phase One Attainment emissions limits to existing
    non-emergency generators
  • The rule applies the Model Rules non-attainment,
    three-phase standards to new non-emergency
    generators

31
Emissions StandardsExisting Generators
Oxides of Nitrogen (lbs/MWh) Particulate Matter (lbs/MWh) Carbon Monoxide (lbs/MWh) Carbon Dioxide (lbs/MWh)
4.0 0.7 10 1900
32
Emissions StandardsNew Generators
Date of First Operation Oxides of Nitrogen (lbs/MWh) Particulate Matter (lbs/MWh) Carbon Monoxide (lbs/MWh) Carbon Dioxide (lbs/MWh)
On or after January 1, 2005 0.6 0.7 10 1900
On or after May 1, 2008 0.3 0.07 2 1900
On or after May 1, 2012 0.15 0.03 1 1650
33
Emissions Standards Compliance
  • Options Certification or performance testing
  • Certification
  • Demonstrated certification by CARB
  • Certification by manufacturer testing
  • Generator will meet standards for the lesser of
    15,000 hours or three years of operation in
    effect, a warranty
  • Testing methods applicable EPA Reference
    Methods, CARB methods, or equivalent
  • Liquid fuel reciprocating engines ISO Method
    8178

34
Emissions StandardsCompliance
  • Performance testing
  • Existing generators within 180 days of the
    rules effective date
  • New or modified generators within 180 days of
    installation or modification (if modification
    increases emissions output)
  • Testing methods applicable EPA Reference
    Methods, CARB methods, or equivalent
  • Liquid fuel reciprocating engines ISO Method
    8178
  • If unable to comply, operation must cease
    immediately
  • The DEP may conduct field audits at its discretion

35
Credit forConcurrent Emissions
ReductionsFlared Fuels
  • If a generator uses fuel that would otherwise be
    flared, the owner or operator may deduct the
    emissions that were or would have been produced
    through the fuel flaring from the actual
    emissions of the generator on a per-pollutant
    basis, for the purposes of calculating compliance
    with the requirements of this rule.
  • Credit may be based on either the actual
    emissions offset (if able to be documented) or on
    default values specified in the rule.

36
Credit forConcurrent Emissions ReductionsCHP
  • The owner or operator of a CHP system may receive
    a compliance credit against its actual emissions
    on a per-pollutant basis, as follows
  • The power-to-heat ratio must be between 4.0 and
    0.15, and
  • The design system efficiency must be at least 55
    percent.

37
Credit forConcurrent Emissions ReductionsCHP
(continued)
  • CHP Credit, mathematically
  • Credit lbs/MWhemissions
  • (thermal system lbs/MMBtu)/(thermal system
    efficiency) 3.412/(power-to-heat ratio)
  • Note Offset boiler emissions are capped at (a),
    for new installations, the standards for new
    gas-fired boilers as set out in 40 CFR 60,
    Subparts Da, Db, and Dc, or (b), for existing
    boilers, maximums specified in the rule. This
    latter provision strikes a balance between
    rewarding owners for removing an older, dirtier
    boiler and perpetuating those old boiler
    emissions with a CHP system that is dirtier than
    it needs to be. The efficiency of the displaced
    system is (a) a default of 80, (b) its actual
    design efficiency, or (c), in the case of
    retrofits, its historic efficiency, if it can be
    documented.

38
Other State Actions
  • Massachusetts Draft rule with technology-differen
    tiated standards, no CHP credit.
  • New York Draft rule with RACT approach but
    output-based. CHP credit uncertain. New and
    existing units.
  • Delaware Draft rule based on the model currently
    under consideration.
  • New Jersey Draft rule recently released for
    comment.
  • Rhode Island Has begun a pre-rulemaking
    stakeholder process, using Model Rule as the
    basis for discussions.
  • Maine Rule adopted 1 August 2004, subjecting
    non-mobile generators gt 50 kW (unless subject to
    new source review) to the model rules attainment
    standards.

39
Appendix B
  • Synapse-RAP stand-by rates survey report in
    greater detail

40
Rates for Customers with On-Site DGThe Project
  • Under a contract with the California Energy
    Commission (through the National Renewable Energy
    Laboratory), Synapse Energy Economics and RAP are
    surveying state policy on stand-by rates for
    customer-sited DG/CHP systems.
  • The purpose is to identify the suite of
    innovative ratemaking policies that will best
    support the deployment of clean DG systems.

41
The Project
  • Three parts
  • Survey of a representative sample of states
  • Arizona, California, Indiana, Massachusetts,
    Minnesota, New York, Oregon, Rhode Island, Texas,
    and Vermont
  • Interviews with regulators, utility officials,
    consumers, manufacturers, developers, etc.
  • Final report with policy recommendations
  • First two parts are (largely) completed final
    report due in June.
  • This presentation is a summary of what weve
    learned from the surveys and interviews, and of
    issues for recommendations

42
Some Stated Objectives of Pricing for Customers
with On-Site Generation
  • To provide the services that DG customers want
    and need
  • To give price signals that reflect the system
    costs and benefits of DG
  • To cover the costs imposed on the system by such
    customers
  • Charges should accurately reflect the temporal
    and geographic properties of cost causation
  • To reflect the benefits bestowed on the system by
    such customers
  • Reliability, diversity, avoided G, T, and D
  • To encourage (discourage) DG deployment
  • Clean DG?

43
From 30,000 FeetSome Recurring Themes
  • DG reduces consumer demand for grid-supplied
    energy and can reduce demand for grid-supplied
    generation capacity, but the extent to which it
    will depends upon customer loads and the
    operational characteristics of the on-site
    generation
  • DG can defer or avoid transmission and
    distribution investments, but again the extent to
    which it will depends upon customer loads, the
    characteristics of the on-site generation, and
    the characteristics of the distribution system
  • On-site generation cannot avoid distribution
    investments that serve only the individual
    customer (can possibly affect sizing, however)
  • The grid, and the reliability it provides, has
    value for which all customers must pay their fair
    share
  • Reliable analyses of the costs and benefits of
    on-site generation have not been performed

44
General Features of Utility Rates for DG Customers
  • Users with on-site generation are often referred
    to as partial requirements customers
  • Typical services provided
  • Stand-by
  • Grid power during an unscheduled outage of the
    on-site generation
  • Scheduled maintenance
  • Grid power, without penalty or reservation
    charges, while the on-site generation is being
    serviced
  • Supplemental (or baseline) Service
  • Grid power in excess of that supplied by the
    on-site generation, often supplied at the
    applicable full-requirements tariff
  • Economic replacement
  • Low-cost (usually interruptible) grid power to
    displace on-site generation at times of utility
    surplus

45
Rate Components
  • Stand-by and related rates are typically
    structured along conventional lines
  • Customer charges
  • Demand charges for capacity (per kW)
  • Distribution, transmission, generation
  • Bundled or un-
  • Energy charges (per kWh)

46
Rate Components
  • Distribution
  • Fixed recurring customer charges for billing,
    metering, administration, etc. (daily or monthly)
  • Demand charge components
  • Charges for distribution facilities dedicated
    wholly to the customer (local or dedicated
    facilities)
  • Some of which may be included in the fixed
    customer charges
  • Assessed against either customer non-coincident
    peak demand, maximum potential demand, or
    negotiated contract demand
  • Charges for the portion of shared distribution
    and transmission facilities attributed to the
    customer
  • The rates are typically multiplied by a
    customers non-coincident peak, maximum potential
    demand, or contract demand, but they are intended
    to cover the cost of the customers contribution
    to coincident peak on the shared facilities (the
    rates, in effect, reflect the relationship
    between the average customers coincident and
    non-coincident demand).

47
Rate Components
  • Generation
  • Demand charges
  • Reservation fees, to cover the costs of
    generation capacity that will be needed to
    provide stand-by service, or
  • Fees for contingency reserves, the amount of
    spinning and supplemental reserves that must be
    available to meet the load otherwise served by
    the on-site generator
  • Energy
  • Unscheduled, at market prices
  • Scheduled, at tariffed or otherwise specified
    prices
  • Risk and other cost adjustments (e.g., system
    usage fee)

48
Typical Tariff Features
  • Customer size, as measured in MW
  • Minimum amounts of contract demand
  • Indiana (AEP) 500 kW, increments of 100 kW
  • Exemptions if below a specified size
  • Minnesota 60 kW
  • Oregon 1 MW
  • Texas for on-site renewables that dont export
    (considered energy efficiency)
  • Note TX does not have stand-by service for
    partial requirements customers service is taken
    under regular tariffs
  • New York 50 kW (contract demand) or if the DG
    serves no more than 15 of the on-site load
  • Massachusetts (NSTAR) 250 kW and aggregations
    between 251 kW and 1 MW that serve no more than
    30 of the on-site load

49
Typical Tariff Features
  • Technology
  • Exemptions for renewables
  • MA (NSTAR) Renewables as defined in other state
    policies, except fuel cells
  • NY Designated technologies including CHP
  • RI Eligible renewable energy resources up to
    an aggregate statewide cap of 3 MW
  • Seasonal Cost Differences
  • MA, NY, CA, AZ
  • Time of Use
  • Peak, off-peak AZ, CA, NY

50
Typical Tariff Features
  • Billing Demand or Reservation Capacity
  • Most tariffs tie a customers billing demand to
    usage coincident with system peak or peak periods
    of usage (e.g., Rhode Island, Texas, Minnesota,
    and Oregon).
  • Contract demand, as agreed on by the customer and
    stand-by service provider not necessarily
    related to the size of the on-site generation
  • Physical Assurance Customer guarantee that, if
    its generator trips, the customers demand for
    grid power will not exceed a specified level
    (often involves instantaneous load shedding)
  • Billing demand will be used to calculate total
    charges for shared facilities and generation
    capacity

51
Arizona
  • Tucson Electric Powers Partial Requirements
    Usage Percentage (PRUP)
  • Determines whether a customer takes service under
    the standby tariff or the supplemental.
  • Effectively caps the number of hours per billing
    period during which a customer can rely on
    back-up power.
  • The PRUP is the ratio of Backup Energy Purchased
    to the product of Billing Demand for standby
    service and hours in the billing period. If the
    PRUP exceeds five percent in a period, the
    customers Energy Charge is converted to the
    Supplemental Service energy charge for all
    kilowatt-hours in excess of the five percent.
  • Arizona Public Service
  • Minimum number of stand-by hours/month
    allocation of hours determined by customer
    penalties for violations
  • Must maintain a 75 capacity factor over rolling
    18 months
  • Discounts for achieving higher CFs

52
Minnesota
  • Customers are eligible for PUC-approved credits
    for
  • Avoided distribution costs and avoided line
    losses
  • If renewable DG, avoided purchases of green power
  • Avoided purchases of SO2 allowances
  • To receive the credits, customer must fund a
    utility study to determine whether the customers
    load and generation profiles justify them

53
New York
  • Contract demand charges for local facilities
    costs
  • Based on a customers potential maximum electric
    load, determined by the utility, and set yearly
  • On-peak, daily as-used demand charge for shared
    facilities costs
  • Assessed during daytime (e.g., from 8am to 10pm)
    and for the daily amount of standby service
    demand (kW) a customer uses
  • No differentiation between distribution prices
    for scheduled and unscheduled outages
  • On the grounds that the costs of the wires do not
    differ according to the portion of the customers
    load served by DG or whether an outage is
    scheduled or not

54
Oregon (PGE)
  • Full requirements rates for local and shared
    facilities
  • Times the average of the two highest months in
    previous 12-month period
  • Will reflect the impacts (in kW) of an outage of
    on-site generation if replaced by Unscheduled
    Energy
  • Rates for Contingency Reserves
  • DG subject to same requirement of other
    generators they must have or buy spinning and
    supplemental reserves which together equal to 7
    of their nameplate capacity
  • Rates for the two contingency reserves are equal
    to 7 of the cost of reserve capacity (adjustable
    by agreed-on, instantaneous load reductions)
  • 0.468 per kilowatt per month (2,808/yr for a
    500-kW reserved capacity)
  • Multiplied by reserved capacity in excess of 1 MW
  • Supplemental service at full requirements tariffs
  • Scheduled maintenance
  • Unscheduled Energy

55
PGE Schedule 83Full Requirements
Schedule 83, Standard Offer Service, Large Non-Residential Schedule 83, Standard Offer Service, Large Non-Residential Schedule 83, Standard Offer Service, Large Non-Residential Schedule 83, Standard Offer Service, Large Non-Residential
Delivery Voltage Delivery Voltage Delivery Voltage
Secondary Primary Subtransmission
Basic Monthly Charge
Single-Phase Service 20.00
Three-Phase Service 25.00 150.00 500.00

Transmission Related Services
Per kW of monthly Demand 0.78 0.78 0.78

Distribution Charges
The sum of the following, per month
Per kW of Facility Capacity 2.27 1.65 0.32
Per kW of monthly Demand
First 30 kW 0.56 1.89 1.05
Over 30 kW 1.89 1.89 1.05

Energy Charge
Cost of Service Option, per kWh
1,000 kW Facility Capacity 0.04239 0.04083
gt 1,000 kW Facility Capacity
On-Peak Period 0.04507 0.04326 0.04254
Off-Peak Period 0.03743 0.03593 0.03534

System Usage Charge
Per kWh 0.00485 0.00354 0.00257

1 Costs for contingency reserves are bundled in
the energy charges. PGE also offers a variety of
market-based energy options not described here.
56
PGE Schedule 75Partial Requirements
Schedule 75, Partial Requirements Service Schedule 75, Partial Requirements Service Schedule 75, Partial Requirements Service Schedule 75, Partial Requirements Service
Delivery Voltage Delivery Voltage Delivery Voltage
Secondary Primary Subtransmission
Basic Monthly Charge
Single-Phase Service 20.00
Three-Phase Service 25.00 150.00 500.00

Transmission Related Services
Per KW of monthly Demand 0.78 0.78 0.78

Distribution Charges
The sum of the following, per month
Per kW of Facility Capacity 2.27 1.65 0.32
Per kW of monthly Demand
First 30 kW 0.56 1.90 1.06
Over 30 kW 1.90 1.90 1.06

Generation Contingency Reserves
Spinning Reserves
Per kW of Reserved Capacity gt 1,000 kW 0.234 0.234 0.234
Supplemental Reserves
Per kW of Reserved Capacity gt 1,000 kW 0.234 0.234 0.234

System Usage Charge
Per kWh 0.00485 0.00354 0.00257

Energy Charge
Baseline Energy Per Schedule 83 Per Schedule 83 Per Schedule 83
Scheduled Maintenance, max 744 hrs/ calendar year Daily or Monthly Fixed, per Schedule 83 Daily or Monthly Fixed, per Schedule 83 Daily or Monthly Fixed, per Schedule 83
Unscheduled Dow Jones Mid-Columbia Hourly Firm Electricity Price Index, plus wheeling charges and a 0.003/kWh recovery charge, and adjusted for losses Dow Jones Mid-Columbia Hourly Firm Electricity Price Index, plus wheeling charges and a 0.003/kWh recovery charge, and adjusted for losses Dow Jones Mid-Columbia Hourly Firm Electricity Price Index, plus wheeling charges and a 0.003/kWh recovery charge, and adjusted for losses
57
NSTAR G-3 Rate
NSTAR Rate G-3 NSTAR Rate G-3 NSTAR Rate G-3
Customer Charge, per month 237.07 237.07

October May June September
Distribution Charge, per kW/month 5.58 11.66
Transition, per kW/month 2.46 7.70
Transition, per kWh
Peak hours usage 0.01954 0.03119
Off-peak hours usage 0.00704 0.01044
Transmission, per kW/month 2.37 2.37
Supplier Services (Optional)
Default or Standard Offer As in effect per tariff As in effect per tariff
58
NSTAR Stand-By Delivery Rate
NSTAR Rate SB-3 NSTAR Rate SB-3 NSTAR Rate SB-3
Customer Charge, per month As per applicable rate schedule As per applicable rate schedule

Monthly Distribution Charge, per kW October May June September
Contract Demand lt 1,000 kW 3.58 6.65
Contract Demand gt 1,000 kW 5.02 9.33

Transmission No charge No charge
Transition No charge No charge
59
Comparison
  • Annual costs for stand-by service, customer and
    distribution charges only, for a customer with a
    contract demand of 1,000 kW, at primary voltage
  • PGE 53,760.00
  • NSTAR 80,324.84
  • Caveat This implies no judgment as to the cost
    basis of the rates or the cost characteristics of
    the two utilities.

60
Issues and Ideas
  • What kinds of service do DG customers really want
    and need?
  • What is the probability that stand-by service
    will be needed and how should the various rate
    elements be adjusted to reflect it?
  • Sliding scale of performance-based stand-by
    charges? Based on capacity factor or number and
    duration of calls for stand-by?
  • How do rates affect customer capital allocation
    decisions?
  • What is the proper differentiation between local
    and shared facilities? Does DG alter the
    allocation of shared facilities to DG customers?
    How easily and quickly are shared facilities
    redeployed?
  • Tension between the fixed nature of the
    facilities in the short run and their
    demand-driven nature in the long-run

61
Issues and Ideas
  • How do the load profiles of customers with DG
    differ from those without? Do they?
  • What rate design policies flow from this? Should
    DG customers be treated differently than non-DG
    customers?
  • If not, will DG customers be penalized by full
    requirements tariffs?
  • What costs does on-site generation impose on the
    system?
  • Distinctions between T, D, and G
  • What benefits does on-site generation provide the
    system?
  • Diversity of opinion on diversity benefits
  • Cost of service reductions from avoided
    generation, transmission, and distribution costs
    e.g., MN recognizes
  • Environmental, reduced losses, improved
    reliability e.g., in recognition of such, RI
    allows PUC to order rate discounts

62
Issues and Ideas
  • Demand charges
  • As-used Monthly, daily
  • Ratchets
  • Distribution planning and the sizing of the wires
  • Ability of planning methods to properly value DG
  • Incentives for DG incentives for utilities
  • Impacts on utility profitability regulatory
    fixes
  • Policy leadership assuring consistency among
    state agencies, utilities
  • What technical issues are consistent across
    systems?
  • When does a policy overlay make sense (beyond
    technical and economic issues)?
  • Cost-shifting vs. future cost avoidance
  • How can rates for DG customers be structured to
    promote environmental policy objectives? Should
    they be?

63
Issues and Ideas
  • Best efforts or Non-Firm Stand-by Service
  • A customer would not be creating any requirement
    for the utility to invest in any generation or
    transmission plant or equipment to provide
    standby service. This could justify no demand
    charge at all.
  • Low Demand, High Energy
  • Demand charges based on a fraction of nameplate
    capacity, high energy charge
  • Reflects low probability of DG outages coincident
    with peak
  • Strong incentive to maintain and operate DG
  • Similar to RI settlement where customers are not
    charged TD for back-up, only for supplemental
    (reflects diversity)
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