Comments on 7/29 SH GHG Call

Greenhouse gas coordination working group

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Comment period
Jul 31, 08:00 am - Aug 12, 05:00 pm
Submitting organizations
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Bonneville Power Administration
Submitted 08/09/2024, 03:17 pm

Contact

Alisa Kaseweter (alkaseweter@bpa.gov)

1. Please provide a summary of your organization's comments on the July 29, 2024 GHG Coordination Working Group.

Bonneville supports the CAISO moving the GHG accounting (tracking and reporting) to the implementation phase and not moving forward with an in-market solution for state non-pricing programs at this time.

2. Please provide your organization's feedback in response to the ISO’s GHG Metrics Requests & EDAM GHG Go Live Monitoring Presentation.

No comment.

3. Please provide your organization's comments or questions in response to Commissioner Letha Tawney’s (Oregon Public Utility Commission), Carl Linvill’s (Regulatory Assistance Project), and Andrew Valainis' (Regulatory Assistance Project) presentation on the State GHG Survey.

No comment.

4. Please provide your organization's feedback or questions in response to the ISO’s non-priced GHG approach presentation. Does your organization have suggestions on what workshop topics should be addressed or any proposals related to how the Accounting and Tracking approach should work?

No comment.

California ISO - Department of Market Monitoring
Submitted 08/12/2024, 05:11 pm

Contact

Aprille Girardot (agirardot@caiso.com)

1. Please provide a summary of your organization's comments on the July 29, 2024 GHG Coordination Working Group.

Please see the attached Comments from the Department of Market Monitoring.

2. Please provide your organization's feedback in response to the ISO’s GHG Metrics Requests & EDAM GHG Go Live Monitoring Presentation.

Please see the attached Comments from the Department of Market Monitoring.

3. Please provide your organization's comments or questions in response to Commissioner Letha Tawney’s (Oregon Public Utility Commission), Carl Linvill’s (Regulatory Assistance Project), and Andrew Valainis' (Regulatory Assistance Project) presentation on the State GHG Survey.

Please see the attached Comments from the Department of Market Monitoring.

4. Please provide your organization's feedback or questions in response to the ISO’s non-priced GHG approach presentation. Does your organization have suggestions on what workshop topics should be addressed or any proposals related to how the Accounting and Tracking approach should work?

Please see the attached Comments from the Department of Market Monitoring.

Center for Resource Solutions (CRS)
Submitted 08/09/2024, 11:10 am

Contact

Todd Jones (todd.jones@resource-solutions.org)

1. Please provide a summary of your organization's comments on the July 29, 2024 GHG Coordination Working Group.

We generally support using a GHG Accounting and Reporting Approach to satisfy data requests related to attributed and unallocated (residual) generation data, and we support moving such an approach to a policy initiative. We provide three broad preliminary recommendations for such an approach: null power adjustments to residual mix, attribute ownership for allocation to LSEs, and coordination with WREGIS.

2. Please provide your organization's feedback in response to the ISO’s GHG Metrics Requests & EDAM GHG Go Live Monitoring Presentation.

We are primarily concerned with data reporting and transparency that could be useful to states with load-based GHG programs and consumers making retail claims, and preventing double counting of generation and associated GHG emissions at the retail level. Current GHG metrics published by CAISO and planned updates, as presented, do not provide this data and transparency. 

As we have commented previously (on 9/27/2023), there are three general types of ISO market data that we would like to be reported. 
1.    Generation data. Resource mix and average emissions from participating generators for the whole market and potentially narrower geographies.
2.    Attributed generation data. Generation attributed to GHG compliance zones on a resource-specific basis, by GHG zone, and both for generation that is tracked in WREGIS and generation that is not tracked in WREGIS.
3.    Unallocated generation data (residual mix). Generation that is not attributed on a resource-specific basis in the market, including a version that also does not include generation tracked in WREGIS (unallocated non-WREGIS generation).

The first type of data is either currently provided or will be provided through planned updates to current GHG metrics published by CAISO. The second and third types are not provided or planned but are needed by states, market participants, and consumers to characterize market purchases for retail claims or in load-based programs. However, we believe these data requests can largely be satisfied using a GHG Accounting and Reporting approach (also referred to as a “non-priced GHG approach” or WPTF’s proposed framework), which would allocate generation and emissions to LSEs and produce a market residual mix (including hopefully a null power-adjusted residual mix). We generally support moving this approach to a policy initiative. Our preliminary general comments on this framework/approach based on discussions to date are provided under question 4 below.
 

3. Please provide your organization's comments or questions in response to Commissioner Letha Tawney’s (Oregon Public Utility Commission), Carl Linvill’s (Regulatory Assistance Project), and Andrew Valainis' (Regulatory Assistance Project) presentation on the State GHG Survey.

We thank Commissioner Tawney and RAP for gathering and sharing these perspectives. Regarding slide 36, it is not entirely accurate to present state approaches to RECs and null power as a mixed bag (“disparate”). If you group the policies by type, there is less inconsistency. The source-based policies generally do not use/account for RECs, and the load-based policies generally do. The outlier is Oregon, where it is not altogether clear whether it is load-based or source-based (i.e., whether there are retail GHG claims for customers). Since a GHG tracking and reporting framework would be for load-based accounting and retail claims—allocating generation and emissions to LSE load—recognition of RECs and null power would align with most states, federal guidance, common practice, and it would avoid the most double counting. See further comments under question 4 below.

4. Please provide your organization's feedback or questions in response to the ISO’s non-priced GHG approach presentation. Does your organization have suggestions on what workshop topics should be addressed or any proposals related to how the Accounting and Tracking approach should work?

CRS generally agrees with CAISO’s presentation of the problem statement and the near-term next step of moving the GHG Accounting and Reporting approach to policy/implementation.

CRS generally supports the out-of-market GHG accounting framework that WPTF has proposed (also variously referred to as a non-priced GHG approach, Accounting and Reporting Approach, Tracking and Reporting Framework, etc.). At this initial stage, we have the a few comments and suggestions to avoid double counting and provide maximum transparency and flexibility to states and compliance entities.

1. Null power adjustments to residual mix

As we understand it, residual mix would include excess generation that is owned or contracted to LSEs and non-contracted generation from IPPs. We strongly support removing reported null power generation (for which the associated RECs or attributes have been sold off) from the residual mix to produce a null power-adjusted residual mix metric.

We and many other stakeholders, including certain states and large energy consumers that will need to report their emissions from purchased electricity, will need a null power-adjusted residual mix because we need to account for REC transactions outside the market. That is a part of accurate load-based accounting of emissions. The purpose of residual mix is to recognize specified transactions in load-based accounting frameworks and not double count generation that has been transacted. All transactions should be accounted for, not only in-market attributions. While some states may choose not to use certificates for their particular accounting and reporting programs, CAISO cannot ignore them due to states with load-based GHG reporting that recognize REC transactions and that will need the null power-adjusted numbers.

In providing both adjusted and non-adjusted residual mix figures, CAISO would not be espousing any one number over any other. Rather, it should simply explain what goes into each. CAISO can also provide the input data (e.g. reported null power MWh) if the market would find that useful.

At one point during the call (while expressing opposition to CAISO staff’s proposal to limit the applicability of the Accounting and Reporting Approach to only entities in states without an established GHG reporting programs on slide 46), WPTF said that the T&R framework is voluntary and does not supersede or impose on any state program. We agree and therefore it should accurately account for RECs and null power.

In terms of methodology, we support removing null power generation (MWh) from the residual mix (for a null power-adjusted metric) rather than assigning a positive emissions value to that generation because doing so would over count emissions. Removing the null power generation from the residual mix, on the other hand, would undercount MWh in the residual mix, but we do not see that as a significant issue.

2. Attribute ownership for allocation to LSEs

Ownership of the associated attributes or RECs should be required for allocation of a renewable generation resource to LSEs post market run under a T&R Framework. First, this is accurate load-based accounting and avoids double counting of this generation. A T&R framework should not allocate specified source to an LSE if the attributes are not owned by the LSE. Second, this is the best default position for such a framework to take and would provide the most flexibility to states and market participants to set their own compliance or reporting requirements regarding RECs. 

Requiring attribute ownership for allocation of specified generation to LSEs would not deny entities in states that do not require REC ownership any information they require from CAISO to calculate emissions. However, not requiring ownership of attributes would deny to stakeholders in states that do require REC ownership vital data required to accurately calculate emissions. Where attribute ownership is not required, LSEs can still report specified procurement without attributes/RECs and they can use the null power-adjusted residual mix for everything else. In this case, the T&R Framework’s LSE-specific allocation simply would not be used for state reporting. Meanwhile, the Framework would not double count for states that do require the RECs/attributes. On the other hand, if the T&R Framework allocates to an LSE regardless of whether the REC has been sold off, while excess of that generation could be removed as null power from the residual mix, the non-excess generation would be allocated to the LSE without the RECs. That would cause a problem for states and programs that do require RECs for GHG accounting—there could be double counting of non-excess generation that is allocated to LSEs as specified without the RECs. In other words, having the allocation Framework reflect REC ownership would not affect states and programs that do not require RECs but would affect states that do. This is the most flexible approach and avoids the most double counting. Again, we agree with WPTF that this voluntary accounting and reporting framework is independent can be different from state requirements, and in that case, it should accurately account for RECs and null power.

3. Coordination with WREGIS 

Finally, any attribution in the market or post-dispatch allocation of WREGIS registered generation under a non-priced GHG Accounting and Reporting Approach should be coordinated with WREGIS to avoid double counting. The West simply cannot have multiple separate allocation mechanisms operating simultaneously. Please see our 5/1/2024 comments for examples of how double counting can occur, and see our 9/26/22 comments on the EDAM Revised Straw Proposal for a more specific proposal for coordination: https://stakeholdercenter.caiso.com/Common/DownloadFile/b4f1bd16-b72b-4b42-8c32-2fc40ecbc7ef.
 

ladwp
Submitted 08/12/2024, 10:47 pm

Contact

Cindy Parsons (cindy.parsons@ladwp.com)

1. Please provide a summary of your organization's comments on the July 29, 2024 GHG Coordination Working Group.

LADWP appreciates the ongoing working group discussion, and encourages CAISO and stakeholders to continue working on GHG emission accounting design improvements focused on improving accuracy, reducing leakage and the associated Outstanding Emissions compliance obligation on electricity purchasers, and reducing GHG costs to end-use customers.

2. Please provide your organization's feedback in response to the ISO’s GHG Metrics Requests & EDAM GHG Go Live Monitoring Presentation.

LADWP appreciates the opportunity to provide feedback on the GHG Metrics Requests & EDAM GHG Go Live Monitoring Presentation.

 

To enhance the working group discussion, CAISO should provide more specificity around metrics and analyses by providing:

 

  • Metrics:
    • A complete list of all metrics mentioned in the presentation
    • Detailed formulas for each metric
    • Expected implementation dates for each metric

 

  • Planned Analyses:
    • An exhaustive list of analyses CAISO intends to conduct
    • The proposed methodology for each analysis, where available
    • Anticipated execution dates for each analysis
    • Expected publication dates for the results

 

While the overview of current and planned GHG metrics is encouraging, LADWP believes there are additional crucial metrics that should be considered for inclusion in future reporting and monitoring efforts.

 

Specifically, LADWP proposes the following metrics be added to enhance transparency and provide a more complete picture of GHG-related market dynamics:

 

  1. GHG Revenue Distribution:
    1. The dollar amount of GHG revenue distributed to zero-emitting resources within GHG and non-GHG regulatory areas.
    2. The dollar amount of GHG revenue distributed to emitting resources within GHG and non-GHG regulatory areas.

 

Rationale: These metrics would provide valuable insights into how GHG-related revenue is being distributed across different types of resources and regulatory areas, helping stakeholders better understand the financial impacts of GHG policies on the market.

 

  1. GHG Attribution Metrics for Imports into GHG Regulatory Areas:
    1. For resources deemed to support an import into a GHG regulatory area:
      • The total MWh volume of GHG attribution below the base schedule/GHG reference level
      • The associated marginal cost of GHG
      • The marginal GHG emission rate

 

Rationale: These metrics would provide crucial information about how GHG attributions are being made relative to base schedules or GHG reference levels. In addition, this information would enable stakeholders and policymakers to evaluate the effect of revising California’s Outstanding Emissions calculation formula as presented at the October 5, 2023 Cap-and-Trade Program workshop, slide 22 (copied below for reference).

image-20240812151252-2.png

 

 

LADWP believes these additional metrics would complement the existing and planned metrics discussed in the presentation, providing a more comprehensive view of GHG-related market dynamics.

 

3. Please provide your organization's comments or questions in response to Commissioner Letha Tawney’s (Oregon Public Utility Commission), Carl Linvill’s (Regulatory Assistance Project), and Andrew Valainis' (Regulatory Assistance Project) presentation on the State GHG Survey.

We have no questions at this time.

4. Please provide your organization's feedback or questions in response to the ISO’s non-priced GHG approach presentation. Does your organization have suggestions on what workshop topics should be addressed or any proposals related to how the Accounting and Tracking approach should work?

LADWP recommends that the policy developed from the WPTF (Western Power Trading Forum) proposal should be made available to all entities in GHG areas.

PacifiCorp
Submitted 08/12/2024, 04:55 pm

Contact

Nadia (Nadia.Wer@Pacificorp.com)

1. Please provide a summary of your organization's comments on the July 29, 2024 GHG Coordination Working Group.

PacifiCorp thanks the CAISO for their continued engagement with stakeholders for tackling complex issues within GHG policy as they relate to a wide variety of state regulatory frameworks. The CAISO has walked stakeholders through current GHG metrics and the continued evolution of the reflections of the market’s emissions, including average emissions rate, to better assist reporting entities and air regulators their reporting against state policy goals.  

PacifiCorp strongly supports the CAISO’s monitoring of secondary dispatch and the GHG net export constraint at EDAM go-live. PacifiCorp agrees that this approach is reasonable given that there will be real world data to evaluate. 

2. Please provide your organization's feedback in response to the ISO’s GHG Metrics Requests & EDAM GHG Go Live Monitoring Presentation.

PacifiCorp supports the direction of CAISO committing to monitor the instances and causes of secondary dispatch and the GHG net export constraint’s impact on the market once EDAM has started and continuing to evolve the average emission rate report and marginal emission rate from marginal units from WEIM transfers. PacifiCorp is very supportive of continuing dialogues about reflections of the emissions content of the organized market at a given time. In particular, PacifiCorp agrees that breaking down the average emission rate by fuel type would be helpful to demonstrate the mix of energy serving the market. It is unclear whether this breakdown would include bilateral imports and exports out of the market. If not, PacifiCorp requests that data be included in the breakdown if possible.  

 

3. Please provide your organization's comments or questions in response to Commissioner Letha Tawney’s (Oregon Public Utility Commission), Carl Linvill’s (Regulatory Assistance Project), and Andrew Valainis' (Regulatory Assistance Project) presentation on the State GHG Survey.

PacifiCorp appreciates the perspective provided by the GHG subgroup which encompasses a wide range of expertise within the clean energy space for stakeholders to take back and consider while working through this process.

4. Please provide your organization's feedback or questions in response to the ISO’s non-priced GHG approach presentation. Does your organization have suggestions on what workshop topics should be addressed or any proposals related to how the Accounting and Tracking approach should work?

PacifiCorp strongly supports the process laid out by the CAISO for working through the non-price based GHG approach that has been brought forth by WPTF. PacifiCorp believes the stakeholder community and CAISO can reach a workable solution before evaluating an in-market solution as that approach may lead to a number of potential adverse impacts on market dispatch.  PacifiCorp also supports continuing to evaluate in-markets solutions as a longer-term initiative. 

 

Portland General Electric
Submitted 08/12/2024, 01:09 pm

Contact

Jonah Cabral (jonah.cabral@pgn.com)

1. Please provide a summary of your organization's comments on the July 29, 2024 GHG Coordination Working Group.

PGE appreciates the ISO's commitment to providing robust data streams to enable market participants to comply with their respective GHG reporting and the ISO’s efforts to inform stakeholders of the various regional GHG policies. PGE appreciates this review given the important role of HB 2021 (Oregon) in our market participation. 

Overall, PGE recognizes this stakeholder initiative’s progress towards developing a durable GHG solution for EDAM while remaining interested in additional operational details on the WPTF Accounting and Reporting approach, potentially utilizing CAISO's average emissions rate data or other sample data to simulate various market optimization scenarios.

2. Please provide your organization's feedback in response to the ISO’s GHG Metrics Requests & EDAM GHG Go Live Monitoring Presentation.

Overall, PGE appreciates the ISO’s commitment to providing as many data streams as possible, including the AER and the marginal emissions rate. PGE is particularly interested in the development of the marginal emissions rate. Ideally, this metric would be aggregated at the LSE level by participating resource type, or otherwise at an aggregate of the entirety of the WEIM and CAISO residual market supply, at the resource type level, on an hourly basis. 

PGE continues to internally evaluate the application of these metrics, which help facilitate both PGE’s market participation and compliance with Oregon regulatory policy. 

3. Please provide your organization's comments or questions in response to Commissioner Letha Tawney’s (Oregon Public Utility Commission), Carl Linvill’s (Regulatory Assistance Project), and Andrew Valainis' (Regulatory Assistance Project) presentation on the State GHG Survey.

PGE understands that market participants are subject to diverse, non-uniform GHG policy and appreciates the RAP’s survey of state GHG policy.

4. Please provide your organization's feedback or questions in response to the ISO’s non-priced GHG approach presentation. Does your organization have suggestions on what workshop topics should be addressed or any proposals related to how the Accounting and Tracking approach should work?

PGE appreciates the progress of this stakeholder group towards developing a robust solution for EDAM participants subject to non-priced GHG policy. PGE is preparing for next steps in the development of the WPTF Accounting and Reporting approach. 

PGE has several remaining questions regarding the framework for future discussion: 

  1. To further evaluate this accounting framework, how might an LSE or regulator estimate the annual GHG emissions for a given LSE associated with market imports under the WPTF accounting method?  
  2. Given the proposal for first allocating non-emitting energy to participants in priced zones, what impacts will this have on the residual market supply? Can the CAISO or WPTF provide more detailed operational examples of such impacts? 
  3. Under the WPTF framework, how are the risks of incongruent accounting and the risk of disproportionate GHG benefit for priced states considered? How does the WPTF and the CAISO view impacts to participants under priced or non-priced policy, or for those not subject to GHG policy at all? 
  4. Once operational, how will the WPTF’s accounting and tracking approach be impacted by possible future changes to GHG policies affecting participants?

Salt River Project
Submitted 08/12/2024, 04:16 pm

Contact

Jerret Fischer (jerret.fischer@srpnet.com)

1. Please provide a summary of your organization's comments on the July 29, 2024 GHG Coordination Working Group.

Salt River Project Agricultural Improvement and Power District (SRP) appreciates the opportunity to comment on the July 29, 2024 GHG Coordination Working Group meeting. Overall, SRP is encouraged by the direction the CAISO proposes for managing non-priced GHG emissions.  SRP continues to engage in providing input as it relates to entities with corporate goals for GHG reduction. SRP is supportive of tracking and reporting proposals that increase transparency and accessibility of data for GHG management for all entities.

2. Please provide your organization's feedback in response to the ISO’s GHG Metrics Requests & EDAM GHG Go Live Monitoring Presentation.

SRP is supportive of the proposed GHG metrics on Slide 16 in the categories (1) Accounting and reporting and (2) Monitoring and assessment of existing GHG design. SRP continues to support the framework proposed by WPTF to produce a more accurate residual emission rate. Additionally, SRP appreciates the CAISO’s review of requests related to secondary dispatch, recognizing that some of the effects may not be quantifiable.    

SRP appreciates the progress tracker that was presented for the Average Emission Rate (AER). Adding geographic modeling to produce regional AERs may be beneficial for comparison to the regional default EPA emission rate. The residual emission rate that will result from the tracking and reporting initiative will likely be the most useful for reporting purposes.

SRP agrees with the suggested metrics for EDAM GHG Go-Live Monitoring and would like more information on how these metrics will be available for review by stakeholders and how stakeholders can propose new metrics if needed in the future.

3. Please provide your organization's comments or questions in response to Commissioner Letha Tawney’s (Oregon Public Utility Commission), Carl Linvill’s (Regulatory Assistance Project), and Andrew Valainis' (Regulatory Assistance Project) presentation on the State GHG Survey.

SRP appreciates the presentation on the State GHG Survey and has the following questions and comments:

  • Non-priced Program Tracking and Accounting: SRP is interested if any analysis was or could be performed to identify the timing of the need for an emissions-constrained dispatch solution.  
  • Energy Storage: SRP supports consideration of an approach that treats battery storage as additional load during charging intervals.  A similar approach could also work for pumped storage. The proposed design for Markets+ is an example of such an approach. SRP also recommends reviewing CARB’s treatment of battery storage and aligning as much as possible.
4. Please provide your organization's feedback or questions in response to the ISO’s non-priced GHG approach presentation. Does your organization have suggestions on what workshop topics should be addressed or any proposals related to how the Accounting and Tracking approach should work?

SRP strongly supports the CAISO’s proposal to resolve problem statements surrounding non-priced GHG programs with an accounting and reporting mechanism. In prior comments, SRP discussed concerns with using a constrained dispatch approach, including unknown price impacts and potential limitations in using a constraint if there is no state mandate for GHG reduction. SRP believes the accounting and reporting option allows any entity to better track, report, and manage GHG to meet state mandates or corporate goals. 

SRP has been engaged in similar discussions and drafts of the GHG reporting framework that will be used in Markets+, which is aligned with the WPTF proposal. Using a similar approach will minimize double counting and align much of the West in GHG tracking.

The following topics will need to be discussed at future workshops:

  • Treatment of null power.
  • Treatment of batteries and pumped storage.
  • Granularity of the report (SRP proposes hourly).
  • Timeframes for publishing data (annually, monthly, etc.).
  • Possible mechanisms for attributing generation to load versus excess generation.
  • Carveout of energy deemed to pricing zones.
  • Treatment of bilateral contracts and/or unspecified energy.
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