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Illustrative Principles: TVR, Metering, & Grid Mod

Illustrative Principles: TVR, Metering, & Grid Mod. MA Grid Mod Customer-Facing Sub February 26, 2013. Table of Contents. NASUCA et al principles (2010)—from Alexander presentation [slides 3-7] RAP/Brattle TVR design criteria—from Weston presentation [slide 8]

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Illustrative Principles: TVR, Metering, & Grid Mod

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  1. Illustrative Principles: TVR, Metering, & Grid Mod MA Grid Mod Customer-Facing Sub February 26, 2013

  2. Table of Contents • NASUCA et al principles (2010)—from Alexander presentation [slides 3-7] • RAP/Brattle TVR design criteria—from Weston presentation [slide 8] • LEAN grid mod principles—from LEAN submittal on 2/24 [slide 9] • Other candidates??? [slides 10…]

  3. NASUCA et al RECOMMENDATIONS 1.SMART METER PROPOSALS MUST BE COST-EFFECTIVE (but how define C/E?) 2. UTILITIES MUST SHARE THE RISKS ASSOCIATED WITH THE NEW TECHNOLOGIES AND THE BENEFITS USED TO JUSTIFY THE INVESTMENT • how define risks/benefits—which shared and which not? • Use traditional ratemaking—Prudent, used, & useful. • Current structure doesn’t encourage innovation—also some investment will be made on private side MA Grid Modernization Collaborative

  4. NASUCA et al • TIME OF USE OR DYNAMIC PRICING MUST NOT BE MANDATORY; CONSUMERS SHOULD BE ALLOWED TO OPT-IN TO ADDITIONAL DYNAMIC PRICING RATE OPTION • Perhaps should be default/basic service (mandatory) for larger customers (can still choose competitive supplier) • Stop at mandatory for non-large customers, leave open to DPU opt in/opt out decision (should low income be opt in only? Should be opt in for all residential/small C/I?) • Do analysis first • Consider TVR for both distribution rates (or distribution costs) and supply rates

  5. NASUCA et al RECOMMENDATIONS 3. REGULATORS SHOULD ASSESS ALTERNATIVES TO SMART METERS TO REACH THE LOAD MANAGEMENT GOALS, PARTICULARLY DIRECT LOAD CONTROL PROGRAMS 4. MA Grid Modernization Collaborative

  6. SMART METER INVESTMENTS SHOULD NOT RESULT IN REDUCED LEVELS OF CONSMER PROTECTIONS, ESPECIALLY RELATING TO THE IMPLEMENTATION OF REMOTE DISCONNECTION, AND TRADITIONAL BILLING AND DISPUTE RIGHTS SHOULD BE RETAINED • If third party, could need to be regulated by others than DPU • Can you shut off remotely for those who can pay but don’t, AND the full normal DPU due process is followed? • Remote meter connection capability may have additional metering costs, and remote disconnect ability may have cyber-security ramifications

  7. D. SMART METERS: KEY CONSUMER PROTECTIONS • Remote disconnection for nonpayment is often proposed as part of cost savings in smart meter business case; eliminates premise visits to obtain payment, declare medical emergency, or detect unsafe and dangerous conditions for very young, old, or infirm • Prepayment metering easily the next step—automatic disconnect • Remote disconnection for nonpayment should be prohibited until after the required premise visit and contact attempts have been completed • Prepayment for essential utility services should be prohibited • Any time-varying or dynamic pricing should be offered as an option and bill protection should be assured as part of the program MA Grid Modernization Collaborative

  8. NASUCA et al RECOMMENDATIONS 5. PRIVACY AND CYBER-SECURITY CONCERNS MUST BE ADDRESSED PRIOR TO A SMART METER ROLLOUT 6. UTILITIES AND OTHER POLICYMAKERS SHOULD INCLUDE COMPREHENSIVE CONSUMER EDUCATION AND BILL PROTECTION PROGRAMS IN ANY EVALUATION OR IMPLEMENTATION OF SMART METER PROPOSALS MA Grid Modernization Collaborative

  9. NASUCA et al RECOMMENDATIONS 7. INVESTMENTS IN SMART METERS AND OTHER SMART GRID PROPOSALS NEED TO BE VERIFIABLE AND TRANSPARENT AND THE UTILITIES NEED TO BE HELD ACCOUNTABLE FOR THE COSTS THEY WANT CUSTOMERS TO PAY AND THE BENEFITS THEY PROMISE TO DELIVER. COSTS SHOULD BE REASONABLE AND PRUDENT. MA Grid Modernization Collaborative

  10. RAP/Brattle: Time-Varying Rate Design Criteria • Short peak period • Strong price signal and opportunity for significant savings • Rates should reflect system costs • Simplicity is important • Rates should account for the “hedging” premium

  11. LEAN Suggested Grid Mod Principles • The primary principle from our point of view is affordability for low-income customers. The others are corollaries, so, for example, affordability needs to be a factor in prioritization and cost-effectiveness screening (below). • Prioritize the wish list because not everything desirable can be done at once, and develop standards for that prioritization, e.g., cost-effectiveness, which requires detailed definition that includes affordability and recognizes the very high low-income discount rate.  • Match costs with customers that benefit where it is feasible to do so (e.g., EV infrastructure and increased reliability have little or no value for low-income households that cannot pay the bills as they are; for many households, time-of-day rates are not beneficial). • Cost-containment.

  12. Other Suggested Principles? • Promote and enable customer choice (providers, products, & services) (Dan’s wording) • Social benefits (e.g., environmental benefits) should not be socialized thru rates • Benefits to a particular customer group, should be borne by that group • Decisionmaking should include multiple strategies for achieving a particular end • Provide access to smart metering customer information to customers & 3rd parties (dan’s language) • Aggregated customer data should also be available to 3rd parties • Should be customer benefit to (quantitative/qualitative) any action • Utilities should have reasonable opportunity to recover costs including reasonable return on investment • Privacy & cyber-security should be considered throughtout design and implementation

  13. Other Suggested Principles? • Consider and evaluate flexibility embedded in different options • Consider impacts on wholesale market development • Define grid mod on clearly articulated goals • Connect goals to functional outcomes/specifications • Take into account economic costs of energy/delivery and communicate to all customers in form of prices to customers

  14. Other Suggested Principles? • Address inherent uncertainty in innovation • Balance risk & reward between ratepayers & shareholders • Modify 19th century ratemaking with 21st century technology • Measure outcomes & reward performance • Encourage/facilitate innovation & remove barriers to innovation & private investment • Consider existing telecom networks

  15. Other Suggested Principles? • Customers’ desires are paramount (and when we don’t know—find out) • Any investment in customer-facing tech., should be targeted to individual customers who will actually act to create net benefits • Critically evaluate goals & aspirations for TVR and C-F techs in context of facts as foundation for policy—don’t make policy on theoretical benefits, opportunities, & goals

  16. Other Suggested Principles? • Metering equipment, systems, & data should be secure, reliable, & accurate • TVR enabled by 2-way communication should support and not prohibit MA commitment to competitive wholesale & retail markets • Retail rate designs & cost recovery should consider interrelationship & risks from wholesale markets • Grid modernization should improve connection between wholesale and retail markets

  17. Other Suggested Principles? • Commit resources within rates to educate and engage customers • Path for metering should be dictated by goals and desired functionality/outcomes • Promote rate recovery that encourages utility investment in grid modernization • Investment in meters and related customer tools should result in an open platform that support a myriad of purposes (DG, 3rd party solutions, etc.)

  18. Other Suggested Principles? • Grid mod shouldn’t create barriers or impede competitive markets, or of offering of 3rd party products/services

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