Wednesday, October 8, 2014
Pricing Electric System Reliability in MISO
There
have recently been two significant Orders from the Federal Energy Regulatory
Commission ("FERC") concerning System Support Resources ("SSRs")
for the Midcontinent Independent System Operator ("MISO"). SSRs are electric generating units scheduled
for retirement, but where MISO requests for reliability purposes that the
resources remain in service under a special agreement. The first of the two Orders made major
changes to the determination of payments to the SSR owner. The second Order requires a major change in
how costs of some SSRs are allocated to loads.
The
Order changing SSR payment determination was in response to a Section 205 complaint
filed by AmerenEnergy Generating Resources ("Ameren") in FERC Docket No.
EL13-76. Prior to that Order, MISO's tariff limited
SSR payments to actual “going forward” variable and operating SSR out-of-pocket
costs, with payment for capital additions required for SSR operation also
included. Ameren argued MISO's interpretation
of SSR payment provisions was too narrow, and that an SSR owner should be
entitled to the full SSR cost of service, including return on investment,
depreciation and taxes. Despite significant
opposition to Ameren's position, on July 22, 2014 FERC issued an Order (148 FERC ¶
61,057)
agreeing with Ameren. FERC directed MISO
to modify its tariff to allow an SSR owner to make a Section 205 filing of a
proposed SSR payment when MISO and the SSR owner failed to agree on the SSR payment.
The
FERC Order concerning SSR cost allocation came in response to an April, 2004 complaint by the Public Service Commission of Wisconsin
(PSCW) filed under Docket No.
EL14-34. MISO previously filed a service schedule
under Docket No.
ER14-1243
allocating the cost of the Presque Isle SSR (located in Michigan's Upper
Peninsula) on a pro rata basis to all
Load Serving Entities ("LSEs") connected to the American Transmission
Company (ATC). That pro rata cost allocation was consistent with historical precedent
and the allocation method FERC approved in a previous Presque Isle SSR filing. However,
in an Order issued July 29, 2014 (148 FERC ¶ 61,071),
FERC
agreed with the PSCW that pro rata
cost allocation over LSEs on the ATC system was inconsistent with cost
causation principles. FERC directed MISO
to allocate the Presque Isle SSR costs only to LSEs shown to benefit from the
SSR based on a MISO "load-shed study". Also in departure from standard practice,
FERC ordered to make refunds retroactive to the date the PSCW filed its
complaint, consistent with the new allocation.
The impact of the two orders is potentially
significant. The SSR pricing Order will
provide a strong incentive for generator owners to enter into SSR agreements where
offered, rather than retiring the generators.
This Order can be viewed as FERC again affirming that system reliability
outweighs cost considerations. The
impact of the Presque Isle SSR cost allocation Order is harder to gauge. The
Presque Isle SSR allocation raises issues of how far to go in
"targeting" customers with costs, and how to address discriminatory
aspects of Presque Isle SSR costs being narrowly allocated while similar
"must run" costs in Wisconsin are being allocated across the entire ATC
system. These and related questions have
been raised on rehearing. So stay tuned
for further developments.
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