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By: Adam
Wenner & A.
Cory Lankford
On June 2, 2016, FERC approved
revisions to the California Independent System Operator's open
access transmission tariff that facilitate the participation of
small, distribution level energy generation, storage and
demand-related resources in the CAISO wholesale energy and ancillary
services markets. For individual generators, the CAISO tariff
sets a minimum capacity of 0.5 MW to participate in the CAISO
markets. The revisions approved by FERC permit smaller
distributed energy resources (DERs), including distributed
generation, energy storage, dispatchable load (such as pumping load
that can increase or decrease its consumption), and plug-in electric
vehicle charging stations, to form aggregations of 0.5 MW or more
that are eligible to participate in CAISO energy and ancillary
services markets.
The core of the DER program is that an aggregation of DERs will
itself become a new resource that can participate in the CAISO
market. For example, 10 owners of individual 50 kW small solar
photovoltaic projects connected to Southern California Edison's
distribution system could aggregate to form a 0.5 MW DER.
CAISO will treat the aggregation, rather than the individual solar
projects, as the market resource. The aggregation will submit
bids, similar to bids submitted by other CAISO market participants,
and must comply with CAISO instructions. If they fail to
follow dispatch instructions, the DER will be subject to financial
penalties, in the form of uninstructed imbalance energy
charges. CAISO's rules regarding telemetry will apply
similarly to DERs – namely DERs with an aggregated capacity of 10 MW
or greater, and those that provide ancillary services must provide
real-time data through telemetry to CAISO, similar to a
participating generator's obligation. The data provided is for
the aggregate resource, and not the individual energy resources
comprising the aggregation.
In particular, the CAISO tariff revisions establish a new
eligible market participant, known as a "Distributed Energy Resource
Provider" or "DER Provider" – an entity that owns or operates an
aggregation of DERs for purposes of participating in the CAISO
markets. Aggregated resources may be located within one or
more nodal pricing nodes. However, a DER Provider cannot
aggregate more than 20 MW of resources that span different pricing
nodes; there is no maximum size for aggregating DERs located in the
same pricing zone. Resources that participate in an
aggregation must be connected to a distribution system or a metered
subsystem, which is a geographically contiguous system that has been
operating as an electric utility within the CAISO balancing
authority that is responsible for balancing its own loads and
resources.
The CAISO tariff revisions provide specific eligibility
requirements for generating resources to participate in a DER
aggregation. Generating resources that are one MW or greater
must continue to register with CAISO as individual generators and
are not eligible to aggregate their capacity through a DER
Provider. Generating resources that are between 0.5 MW and one
MW must terminate any CAISO participating generating agreement
before participating in a DER aggregation. In addition,
generating resources that participate in net metering cannot
participate in a DER aggregation, since excess energy from a
net-metered resource is deemed to be "banked" for later withdrawal
and accordingly is not available for export into CAISO markets.
Each DER must be located in a single sub-load aggregation point –
or Sub-LAP – in order to insure that it does not create additional
congestion. This same requirement applies to CAISO demand
response resource aggregations, to insure that they do not
exacerbate congestion by allowing aggregations to operate across
congested interfaces. The CAISO is divided into 23 Sub-LAPs,
each with an area large enough to accommodate significant DER
capacity. The Sub-LAP boundaries are depicted in a map set
forth as Figure 1 of CAISO's initial filing (available at p. 11 of the link below).
Each DER Provider can either work with or become a scheduling
coordinator itself to participate in the CAISO markets. The
scheduling coordinator for the DER Provider must provide schedules
and bids based on the aggregated resources' "generation distribution
factors" – namely, how much energy will be provided from each
generator, storage facility or demand resource within the
aggregation. If the scheduling coordinator does not include
generation distribution factors with its bids, CAISO will use
existing information that it has on file for the DERs. CAISO's
initial filing provides examples to illustrate this
requirement.
In one example, CAISO describes an aggregation of similar energy
resource types that are located at three different pricing nodes:
P2, P6 and P8. In this example, the scheduling coordinator
submits a bid for one MWh with distribution factors of 0.2 at P2,
0.5 at P6, and 0.3 at P8.

In this example, assuming the DER Provider's bid clears the
market and the DER Provider receives a dispatch instruction to
provide one MWh, the response at the pricing nodes should be 0.2 MWh
at P2, 0.5 MWh at P6, and 0.3 MWh at P8. Typically, a
participating generator would incur penalties from CAISO, referred
to as uninstructed imbalance energy charges, if their distribution
factors differed materially from those set forth in their bid.
In contrast, under the DER program, CAISO uses meter data at the DER
Provider level and not the pricing node level. Accordingly, if
there are deviations from the distribution factors of the individual
DERs but the net energy provided by the DER Provider (here, one MWh)
is the same as in its bid, there is no uninstructed imbalance energy
charge. CAISO may propose enhancements to its initial proposal
if distribution issues arise. DER Providers must enter into a
pro forma contract that sets forth the terms and conditions under
which CAISO and the DER Providers will carry out their respective
responsibilities under the CAISO tariff. The DER Provider
agreement must include a list of each DER comprising the
aggregation, which the DER Provider must update if it adds or
removes DERs from the aggregation. The pro forma DER Provider
agreement does not require the DER Provider to address its
relationship with the individual DER owners or operators that
comprise the aggregated resource. Also, CAISO's existing
requirements relating to telemetry would apply – namely that
resources with a rated capacity of 10 MW or larger must provide
real-time data to CAISO via telemetry.
A copy of CAISO's filing can be found here.
A copy of FERC's order can be found here.
For more information about CAISO's DER program, please contact:
Adam
Wenner Partner awenner@orrick.com (202)
339-8515
A.
Cory Lankford Senior Associate clankford@orrick.com (202)
339-8620 |