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PRESENTATION TO PPC ON ENERGY 24 MAY 2013

MUNICIPAL TARIFF DETERMINATION PROCESS. PRESENTATION TO PPC ON ENERGY 24 MAY 2013. Purpose and mandate The tariff approval process and information requirements Municipal Tariff Guideline and financial considerations Energy Efficiency & Demand-side Management Conclusion remarks. CONTENT.

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PRESENTATION TO PPC ON ENERGY 24 MAY 2013

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  1. MUNICIPAL TARIFF DETERMINATION PROCESS PRESENTATION TO PPC ON ENERGY 24 MAY 2013

  2. Purpose and mandate The tariff approval process and information requirements Municipal Tariff Guideline and financial considerations Energy Efficiency & Demand-side Management Conclusion remarks CONTENT

  3. Mandate and legal requirements • The Electricity Regulation Act • Section 4 (a) (ii)The Regulator must regulate prices and tariffs • Section 15 (1) A licence condition determined under section 14 relating to the setting or approval of prices, charges and tariffs and regulation of revenues – • Must enable an efficient licensee to recover the full cost of its licensed activities, including a reasonable margin or return • Section 15(2) A licensee may not charge a customer any other tariff and make use of provisions in agreements other that that approved by the Regulator as part of its licensing conditions • Section 45 (1) (b) For the purposes of this Act, any person authorised thereto in writing by the Regulator may require any person to furnish to the Regulator such information, returns or other particulars as may be necessary for the proper application of this Act • Section 45 (2) the Regulator may require that the information, return or particular furnished under subsection (1) be verified on oath or by way of solemn declaration

  4. Tariff approval process Eskom’s revenues - MYPD Eskom’s standard tariffs • Involves • Tariff design • Tariff structures • Result = Suite of tariffs 1 2 3 3 Municipal and private distributor tariffs Eskom’s direct customers 4 Municipal and private customers

  5. Summary - 2013/14 Approved Eskom Tariffs

  6. NERSA Municipal tariff approval process • Currently municipal tariffs are approved on an annual process • Process involves approx. 190 municipal,Eskom and private distributors • Process is required to be finalised by 15 March of every year prior to implementation on 1 July of that year (MFMA) • The process is dependent on the approved Eskom prices under the Multi-year Price Determination (MYPD) process • NERSA approves the Eskom prices/revenues – this determines to average increase to municipalities and other customers but may be different for each customer/municipality • NERSA determines the Municipal tariff increase guideline and benchmarks (based on generic assumptions) • Licensees apply to NERSA for approval of their tariffs – this must be supported by information pertinent to the individual municipality • NERSA reviews the applications and makes a determination on each application

  7. Municipal guideline and benchmarks • Municipal tariff increase guideline and benchmarks are determined based in the Eskom approved prices and revenues together with expectations on other economic indicators (inflation, salary increases etc.) • The guideline is meant to assist municipalities in preparing their tariff applications – licensees are therefore expected to provide NERSA with quality information that supports their applications • Guideline is not a final determination • Licensees must still apply • On reviewing applications, NERSA considers • The current municipal tariff structure and levels • The tariffs in comparison to NERSA approved benchmarks • The efficiency of municipal operations (technical and financial). All this information is from the municipal d-forms • The municipal tariff structures and the level of cross-subsidisation • Any programmes that the municipalities may be involved in (eg. infrastructure refurbishment etc.) • Any assistance that may be necessary to be provided to the municipalities

  8. NERSA financial benchmarks • Other considerations: • The level of debt collections • Additional projects the municipality may be involved in • Infrastructure repairs and maintenance • The municipal customer mix (ability to cross-subsidise) • Municipal size – economies of scale (operations) • Any Cost of Supply (CoS) studies that may have been performed by the municipality

  9. The table below represents the analysis of costs as a percentage of total costs of municipalities (based on sample): Determination of the guideline

  10. Assumptions made on the approval of the municipal guideline: Bulk purchases increased by 7.3% in line with Eskom’s tariff increase to municipalities CPI of 5.5% (As quoted in the Medium Term Budget Policy Statement 2012 (MTBPS) Salary & Wages CPI + 1.25 % (As indicated in Circular No.6/2012: Salary and Wage Collective Agreement) Repairs and Maintenance, capital charges and other costs of CPI of 5.5% (as per inflation) Determination of the guideline (cont..)

  11. Determination of the guideline (cont..) • The formula used for calculating the guideline • MG = (B x BPI) + (S x SI) + (R x RI) + (C x CCI) + (OC x OCI) = (70 x 7.3) + (10 x 6.9) + (6 x 5.5) + (4 x 5.5) + (10 x 5.5) = 7% • Where: • MG = Municipal guideline increase • B x BPI = Municipal bulk purchases times Eskom increase • S x SI = salaries times associated salary increase • R x RI = repairs and maintenance times associated increases • C x CCI = capital charges times associated increases • OC x OCI = other costs times associated increases

  12. Approved Benchmarks • The benchmarks were approved as follows: • NERSA also approved a revision of IBT structure and Benchmarks as follows:

  13. Table1:Overall approved IDM Costs for MYPD3

  14. Table 1 explanatory notes: Eskom requested R13bn and was allowed R5bn. Eskom requested costs were adjusted based on MYPD2 historical performance and then escalated by inflation.

  15. Table 2: Allowed IDM programmes costs

  16. Table 2 explanatory notes: • Waste Heat Recovery(WHR) and Cogeneration projects applied for under process optimisation were disallowed since these programmes target large industrial enterprises that can self-fund improvement for their energy intensity resulting in turn in higher economic efficiency.

  17. Solar Water Heaters (SWH) are disallowed as the MYPD2 M&V history proved that these programmes achieve little demand savings at high cost. All SWH shall be funded through the fiscus. National Treasury allocated funds for SWH in Medium Term Expenditure Framework FYE2014-16.

  18. Table 3 :Approved Demand Market Participation (DMP) Expenditure for MYPD3

  19. Table 3 explanatory notes: According to the IRP 2010, beyond 2016 there will be enough capacity due to the introduction of Medupi and Kusile power stations on the national grid. Therefore it was necessary to adjust the DMP and power buy-back programmes accordingly. It should be noted that the power buy-backs programme is disallowed as the initiative is covered by the DMP.

  20. NERSA, through its mandate of tariff/pricing, has a critical role to manage the price paths migration during this period of necessary high capital investment in South Africa; Pricing decisions will continue to balance between sustainability of the utilities and affordability for the consumers. NERSA will continue to conduct its business in fair and transparent manner, within published government policy and legislation in exercising its mandate. Conclusion

  21. Thank YouTel: 012 401 4600 Fax: 012 401 4700 Website: www.nersa.org.zaPhysical Address:Kulawula House526 Madiba StreetArcadia,0083Pretoria

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