1.
Please provide a summary of your organization’s general comments on the issue paper, including reprioritization (if any) of the proposed issues in scope):
Please email Kallie Wells at kwells@gridwell.com if interested in reading full comments with example pictures. The comment template cannot support pictures and despite many tries by us and the CAISO, our comments cannot be uploaded as an attachment.
Western Power Trading Forum (WPFT) thanks the CAISO for commencing this important stakeholder initiative focused on energy storage resources. WPTF appreciates the CAISO working together with stakeholders to lay the foundation as the first step of the policy effort. CAISO is starting by identifying and prioritizing issues related to the integration, modeling, and participation of energy storage in the ISO’s real-time market. WPTF appreciates this approach, and that the CAISO is not prematurely defining the scope and/or schedule of the initiative. This is inclusive of both ideas and stakeholders and will inevitably lead to more robust discussion and holistic policy development and result in more durable market design.
WPTF is intrigued by the thought of considering fundamental market changes and encourages the CAISO to work for robust long-term policy solutions. The resource mix is evolving, and it is imperative to design market policy with this in mind. We know we will continue to see increasing levels of energy storage and renewables combined with energy storage and we must develop the market for this resource mix as we look ahead. Band aid solutions and design may provide a short-term fix but does not address the larger structural changes. To be clear, WPTF is not opposed to implementing immediate changes to address known issues, but does not want those changes to derail or render more holistic changes needless. It is essential we design and implement robust policy from the beginning. WPTF thanks CAISO for an open policy development timeline to allow for deep and enduring policy development.
WPTF would like to take this opportunity to reiterate the importance of really considering all the elements needed for a well-functioning market that is comprised primarily of energy storage and renewable resources. Entities are making business decisions as we draft these comments, crafting and signing contract language that will influence how storage resources participate in the market. It is absolutely essential that the CAISO gets this right and is very transparent in how storage resources will be modeled, able to participate, and awarded energy and ancillary service products through the market. More importantly though, that the CAISO is motivated to consider market design changes that ensure successful integration of the resource mix. The CAISO and stakeholders really have to embrace the idea that the resource mix is changing. With that comes the recognition that what used to be efficient for a predominantly thermal resource fleet may impede the ability for storage resources to effectively participate in the market in a way that results in the optimal dispatch and use of the overall resource mix while maintaining reliability, which will be key in the CAISO continuing to reliably operate a renewable rich resource fleet. Over the past couple years, we have seen the CAISO continue to implement constraint after constraint in the market as a way to integrate storage resources. We suspect this is a direct result of thinking the current market design can be “tweaked” to manage storage resources rather than being open to fully integrating storage resources. While market constraints may work from a physical operational standpoint, and one may argue reliability perspective, it comes at the cost of enabling the competitive market forces to generate the optimal and most efficient use of the emerging resource mix. WPTF strongly encourages the CAISO to take a step back and really consider a market design that relies less on constraints and more on market based incentives and modeling functionality. We are not naïve in thinking this will be an easy and quick policy process, but are motivated and ready to take on the challenge as it will shape how the market functions over the next several decades.
To effectuate such a paramount effort, WPTF requests a series of workshops to work through the range of concerns and potential for innovative ideas that arise from comments submitted on the Issue Paper before moving to the Straw Proposal. The Issue Paper is a good starting point for discussion, and the stakeholder call provided an opportunity for stakeholders to start considering and debating the variety of issues and topics to consider in this policy effort. WPTF believes a range of reasonable concerns and potentially innovative ideas may come out of comments submitted on the Issue Paper, and these ideas warrant discussion before going to a Straw Proposal. WPTF requests a series of workshop as an important next step in this effort prior to putting together a Straw Proposal. WPTF found the stakeholder engagement important on the initial call but there is more work to be done on identifying and elaborating on issues for energy storage resources and wholesale market participation which should be done prior to the CAISO crafting and publishing a Straw Proposal. Ideally the first workshop would consider if and how fundamental market changes are needed to fully integrate energy storage resources in a renewable heavy resource mix.
WPTF highlights some of the current issues with energy storage wholesale market participation here and elaborates on issues below.
2.
Provide your organization’s comments on whether to include issues related to representing marginal costs as a scope item for this initiative (including whether to include modifying the Multi-Interval Optimization (MIO) and Spread bidding, and modifying the cost recovery rules for storage):
One of the most significant challenges facing energy storage resources today in the CAISO market is the impact of the advisory prices and shorter outlook horizons used in the real-time market. WPTF strongly encourages the CAISO to focus its efforts and prioritize addressing this issue, which may be accomplished through a more holistic review/fundamental changes to the existing market structure. There are already two potential solutions that have been put on the table for consideration – extending the real-time outlook horizon and implementing the end-of-hour state of charge biddable parameter.
Extending the real-time look out horizon has been a solution suggested by stakeholders for at least the past 5 years. Every time it is suggested, the CAISO’s response is its not technologically feasible to extend the outlook horizon. The response this time was unchanged. WPTF strongly believes there is the ability for the CAISO to achieve an extended outlook horizon, and while it may not be feasible given the computing power they currently have, that is not to say that the CAISO can’t buy more computing power such that extending the real-time lookout horizon becomes feasible. We understand computing power may not be cheap and there has been zero transparency regarding how much additional computing power would need to be purchased by the CAISO. Thus before the CAISO dismisses this solution (again), the stakeholders deserve to have an idea of what cost would be associated with increasing the real-time lookout horizon. It could be the case that the cost does outweigh the potential benefits, but the CAISO has yet to present any data/information that would enable the stakeholder community to opine on if its worth the additional cost or not.
WPTF also strongly encourages the CAISO to prioritize implementation of the end-of-hour state of charge biddable parameter. That market solution was initially proposed by WPTF in a stakeholder meeting 2 years ago. The proposal went uncontested by stakeholders throughout that policy process and approved by the BOG last year. We are disappointed to see that two years later it still has yet to be filed at FERC.
Additionally, even with the two aforementioned improvements to the current market design, WPTF believes that the market design resulting from this policy effort should focus on further mitigating the impact of binding and advisory prices on energy storage resources. The markets decision on when to discharge an energy storage resource is also linked to a prior decision to charge the resource. That is to say that the overall charging and discharging schedule of an energy storage resource is directly impacted by two distinct market prices in two different hours/intervals. Given that the day-ahead market optimizes over the entire trade day simultaneously and all hourly awards and prices are binding, the day-ahead market is better situated to optimally charge and discharge storage resources. However, the real-time market not only makes binding charging/discharging decision based on advisory prices it sees in a future time period relative to the current interval’s binding price, it also does not look out over the entire trade day but rather “sees” future periods in differing/overlapping chunks of time. The shorter, overlapping outlook horizons in combination with making binding dispatch instructions based on prices that may or may not actually materialize is one of the most significant challenges for the ability of energy storage resources to be optimally dispatched by the CAISO market, resulting in inefficient market outcomes and inability for storage resources to be able to fully capture their value in the market.
The example below is intended to illustrate this challenge that energy storage resources face on a daily, interval by interval basis. The blue cells are the binding dispatch instructions and energy prices resulting from that market run. In this example, the first market run determines its optimal to charge the resource in interval 1 (binding interval) based on the interval 1 binding price as well as the advisory prices for intervals 2-4. Under this charging/discharging schedule the resource has the potential to earn $2,625 and end with a 0% SOC. However, as the subsequent market runs continue and the corresponding prices from the first market run change, the charging/discharging schedule starts to diverge from what was initially considered optimal. By the end, the resource has only earned $125 in market revenues and is left with 25% SOC.
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Int 1
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Int 2
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Int 3
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Int 4
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Market run #1
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Energy Price
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$15
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$20
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$60
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$80
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Dispatch
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-25 MWs
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-25 MWs
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25 MWs
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25 MWs
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Market run #2
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Energy Price
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$20
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$40
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$80
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Dispatch
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-25 MWs
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25 MWs
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25 MWs
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Market run #1
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Energy Price
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$35
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$45
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Dispatch
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0 MWs
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25 MWs
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Market run #1
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Energy Price
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$40
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Dispatch
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25 MWs
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While we strongly support the CAISO considering fundamental market changes, if determined necessary, to address this issue, there are also interim steps that can be taken such that market participants can better understand the dynamics and impact of the advisory prices on energy storage resources. As a scheduling coordinator, its challenging to structure bids in a way that mitigates this risk, especially given that there is zero transparency on what the advisory prices are. Thus, one potential interim step would be for the CAISO to release the advisory prices such that scheduling coordinators have more information when structuring market offers.
3.
Provide your organization’s comments on whether to include a tool to ensure state of charge topic as a scope item for this initiative and early preference for a solution to this issue:
As apparent throughout these comments, state-of-charge management for energy storage resources is fundamental; nearly every element of energy storage participation, modeling, and operational management is impacted by the SOC. While there are several other issues already mentioned that relate to SOC management, WPTF wanted to take this opportunity to raise other concerns/issues with how the CAISO market currently treats SOC.
In the market the CAISO currently applies what is referred to as an efficiency parameter to the energy storage to account for the operational reality that for every 1 MWh of energy stored, the energy storage is only able to discharge a fraction of that 1 MWh – typically in the range of 85% - 90%. WPTF believes there are two ways in which this parameter can be applied to the energy storage resource – limiting the amount it can discharge or reducing the amount of stored energy. While these appear at first to be essentially the same concept, WPTF is concerned that there are some operational realities that need to be considered.
Based on the formulation in Section 6.6.2.3 of the CAISO’s BPM for Market Operations, the efficiency parameter is applied to a battery storage resources charging schedule. So, for every 1 MWh charged it can only dispatch .85MWh. This is reflected in a lower SOC value. As a result, the only way a storage resource will be able to reach 100% SOC is by actually charging 1.15 MWhs for every 1 MWh of energy storage capability. Take for example a 100MW, 400MWh battery. Based on our understanding of how the efficiency parameter is currently reflected in the market, for the resource to reach 100% SOC it will have to charge 470MWhs (assuming an 85% efficiency parameter). WPTF is concerned that from an asset management perspective this becomes a risk associated with over-charging the element. First, WPTF would like to confirm that our understanding is accurate in how the parameter is implemented. And secondly, WPTF would like to hear from developers if this is a risk and if so, is a potential solution to apply the efficiency parameter on the discharging schedules? For example, the same resource would charge 400MWhs to achieve 100% SOC but then still only be able to discharge 85% of that by limiting the discharge schedule to 85% of the total stored energy (e.g., 400MWhs in this example). Thus, WPTF offers that it may make more sense to have the efficiency parameter on the discharge side of the resource.
Additionally, WPTF believes this effort should strongly veer away from considering any state-of-charge constraint in real-time to ensure energy storage resources are able to meet their day-ahead schedule, similar to the recently proposed MSOC. The day-ahead market is, for all intents and purposes, a financial market (with the exception of long-start resources). The real-time market is the market that creates physically binding awards and schedules to meet real-time load conditions. The concept that energy storage resources should be held to their day-ahead schedule in a market that inherently reflects different conditions, resource schedules, and market prices, is flawed. WPTF strongly agrees with the perspective of Vistra that was eloquently articulated in recent FERC comments. Specifically, that “reliability and economic efficiency would be best served by giving the resource the ability to choose to respond to real-time information – which may diverge from the day ahead schedule.” Thus, WPTF believes that any market design change intended to help manage the energy storage resources in the real-time market should be market-based solutions and incentives rather than physical constraints that lead to inefficient outcomes and potentially result in reliability issues.
4.
Provide your organization’s comments on whether to include variable charging rates as a scope item for this initiative:
5.
Provide your organization’s comments on whether to include exceptional dispatch as a scope item for this initiative:
6.
Provide any additional comments on the issue paper, or any additional scope items your organization feels should be included for this initiative. You may upload examples and data using the “attachments” field below:
Energy Storage Resources Providing Regulation
The Energy Storage Enhancements effort should ensure the market is able to access regulation capabilities efficiently and effectively from energy storage resources. Currently there are four known issues, discussed in more detail below, with how the market awards and dispatches energy storage resources providing regulation. These issues are resulting in an inefficient and in some cases infeasible outcomes. First, the day-ahead market does not take into consideration expected deployment of ancillary services when awarding in the day-ahead market and this can result in infeasible day-ahead schedules. Second, WPTF has concerns on the conflicting minimum state-of-charge (MSOC) recently filed at FERC and the regulation state-of-charge (SOC) requirements put forth in Proposed Revision Request (PRR) 1334. Third, there is minimal transparency into if/how the CAISO will model and certify the battery component of a co-located resource for regulation that is unable to charge from the grid. And lastly, the way the CAISO currently determines the regulation range for hybrid resources limits the market’s access to the full regulation capability of the resource.
Infeasible Day-ahead regulation awards
The CAISO market awards energy storage resources regulation capacity in a way that results in infeasible schedules and thus inefficient market outcomes. The CAISO market procures 100% of its regulation up and regulation down capacity in the day-ahead market. Because the market co-optimizes regulation and energy in the day-ahead market, infeasible regulation awards then result in inefficient market outcomes as the market comes out of the day-ahead process with schedules and awards that will, by structure, have to be modified in real-time.
The day-ahead market does not assume any deployment of regulation when awarding energy storage resources regulation up and/or down. The actual deployment of regulation in real-time directly impacts the resources state-of-charge in that moment and going forward. Thus, without the day-ahead market adjusting the state-of-charge used in the day-ahead market for some assumed level of regulation deployment, it sets up the energy storage resources in such a way that come real-time they cannot provide the awarded day-ahead schedule even absent any deviations from the day-ahead schedule prior to the awarded regulation hours.
For thermal resources, this is not necessary as they have the ability to provide the regulation hour after hour independent of (1) its energy schedules prior to and during the awarded regulation hours and (2) how the market is deploying the resource for the regulation capacity. Storage resources, on the other hand, cannot continually provide the same level of regulation hour after hour because the state-of-charge is directly impacted by (1) its energy schedule prior to and during the awarded regulation hours and (2) the actual deployment of the regulation capacity.
Take for example a 100 MW/400 MWh battery resource that has been certified to provide 200 MWs of regulation up and down and receives the following day-ahead schedule. Note that the following schedule is considered a feasible schedule from the day-ahead market (i.e., respects the energy storage modeling constraints in the market). Also assume it has a 0% SOC at the beginning of HE 9.
In real-time, assume the resource is actually deployed for approximately 40% of its awarded regulation capacity. The following chart compares three different state-of-charges: (1) Day-ahead SOC based on day-ahead market awards (2) Real-time SOC based on day-ahead energy awards and actual deployment of regulation and (2) Minimum SOC required for resource to provide its day-ahead energy and regulation awards. Its important to note that the real-time SOC assumes the resource is following its day-ahead schedule (which is feasible in real time up to a point identified below) and is being deployed for 40% of its awarded regulation up.
Based on the chart above, one can make the following observations:
- HE 11 the day-ahead and real-time market SOC start to deviate because the resource is being used for the regulation up capacity provided
- The resource has sufficient SOC to support both its day-ahead energy and regulation awards up until midway through HE13
- HE 13 int 7, the real-time SOC is not high enough for the resource to continue providing its regulation (recall no energy schedule until HE 15 again)
- HE 15 the resource does not have sufficient SOC to support its energy schedule
- HE 15 int 6 the resource is depleted and cannot meet its energy schedule
WPTF believes rather than having to implement additional SOC constraints (similar to the one discussed in the next issue), there is a more market based approach that will not only better align the SOC between the day-ahead and real-time markets but result in a more efficient outcome. For example, the CAISO could consider adjusting the SOC in the day-ahead market using some assumed level of regulation deployment in real-time. WPTF recognizes that there will be the challenge of deciding what level of deployment to assume, but any non-zero value will be better than currently assuming none of the regulation capacity awarded will actually be needed and called upon.
Conflicting SOC constraints
WPTF appreciates that the CAISO recognized the issue with real-time SOC when resources are being deployed for the regulation capacity. In part to address the concern, the CAISO issued draft BPM language in PRR 1334. PRR 1334 proposes to ensure Non-Generator Resources (NGR) providing regulation have enough SOC in the real-time market to continuously deliver the awarded regulation for at least 30-minutes. WPTF submitted comments (summarized below) on the PRR, but brings the issue up here as well.
In the submitted comments in the PRR process, WPTF noted two main concerns. First, the proposed regulation SOC constraint conflicts with the CAISO’s recently FERC filed Minimum State of Charge constraint (MSOC). Specifically, when a resource is providing regulation down, the proposed SOC constraint will require the resource to be partially discharged and impose a maximum SOC such that it has sufficient remaining charging capability; meanwhile the MSOC constraint will impose a minimum SOC. WPTF is concerned with how the market will simultaneously have the resource meeting both maximum and minimum SOC constraints.
For example, take a 100 MW/400 MWh battery resource with an energy schedule of 100 MWs from HE 17- HE 20. Under the MSOC proposal, this resource will need to be fully charged by the end of HE 16. Assume in HE 16 it has a 0 MW energy schedule but providing 100 MWs of regulation down. Based on this PRR, it is WPTF’s understanding that the market will ensure the resource has more than 50 MWh of charging capability remaining throughout the entire HE 16. In other words, this PRR will not allow the resource to be more than 87.5% charged in HE 16. However, the MSOC proposal will require the resource to be 100% charged by the end of HE 16. WPTF is unclear how these two constraints will be satisfied by the market optimization under this scenario. In the CAISO’s response, they noted that the market will prioritize energy (i.e., MSOC constraint) over the regulation SOC constraint as that is how the market today prioritizes energy over regulation. However, WPTF questions if this prioritization is appropriate and aligns with how the market currently prioritizes awarded day-ahead regulation schedules.
The second issue WPTF raised is that the proposed regulation SOC will require a resource to have a SOC sufficient enough to support 30 mins of continuous deployment of the regulation award. However, it is unclear to WPTF why the CAISO would require a resource to be able to provide 30 mins of the regulation up/down if less than 30 mins of the trade hour during which the resource is providing the regulation capacity remains. Take for example the same 100 MW/400 MWh resource but assume it is providing 100 MWs of regulation up in HE 14 and nothing in HE 15. Based on this PRR, the resource will be required to have at least 50 MWh of stored energy through the entire HE 14 to support its regulation up award. If the market is now in the last 15-minute interval of HE 14, the maximum regulation up dispatch signal the resource could possibly be called to provide in that trade hour would require 25 MWhs of stored energy (100 MWh dispatch for regulation up but for only one 15-minute interval). WPTF questions why it is necessary to require 50 MWh of stored energy in this case. The same is true for the RTD market; once the market is at the 7th 5-minute interval in HE14, the required amount of stored energy per this PRR will exceed the maximum amount of energy that could possibly be required based on the regulation up dispatch.
Here again, WPTF believes implementing more of a market based approach such as the one described previously would result in a more efficient outcome.
Regulation Capabilities reflecting ITC
The majority of storage resources coming online in the CAISO market will be unable to charge from the grid due to the ITC; the ITC only allows energy storage resources to charge from renewable generation. There has been ample discussion in the industry, and quite frankly heartburn, over the unknown with regards to how the CAISO market will take into consideration this constraint. While there are several issues throughout these comments related to the ITC, this one is specific to how the CAISO will certify energy storage resources to provide regulation that are subject to the ITC and how the market will also see that constraint.
Specifically, WPTF would like CAISO to provide comment on how they will consider regulation for co-located storage resources that have a pmin of 0MW because they cannot charge from the grid. Providing regulation is a known and key benefit of energy storage, and the market should ensure it continues to be able to access that capability. Regarding the certification process, does the CAISO envision only certifying the storage component of the co-located resources and still enable the battery to be fully certified for its regulation range (from negative pmin to positive pmax) or is it only tested for half of its capability (0 pmin to pmax)? Furthermore, regardless of how the certification is conducted, will the CAISO expect to then see the regulation range reflected in the Masterfile to be from 0MW to the certified upper regulation point (e.g, pmax of the energy storage resource) such that the resource cannot be awarded regulation down that would then result in a potential negative AGC signal?
Regulation Range for Hybrid Resources
WPTF encourages the CAISO to modify market rules allowing hybrid resources to provide regulation, even when operating at the upper end of its operating range. Today, the CAISO limits the ability for hybrid resources to only provide regulation at the lower end of its operating range. For example, if there is a 60 MW solar paired with a 10 MW battery, today the CAISO will certify the hybrid facility to have a regulation range from -10 MW to 10 MWs (assuming no ITC). Thus anytime the solar facility is generating more than 10 MWs, the resource is considered outside of its regulation range. When a resource has an energy schedule outside its regulation range, the resource cannot be awarded regulation up or down. Assume the resource had a solar forecast of 30 MWs but the battery had 10 MWhs of stored energy. The battery can still provide 10MWs of regulation up while the solar is generating 30 MWs of energy; however, the current market design does not allow that to occur. Rather the resource is restricted to only providing 30MWs of energy.
This issue and a potential solution are depicted in the charts below. The potential solution would allow the regulation range to essentially float around the energy schedule of the renewable component. This would then enable the CAISO market to access the regulation capability of the battery storage resource regardless of the renewable component’s forecast.
Other Concerns
WPTF has three additional concerns/issues with how energy storage resources currently participate in the market that we feel warrant raising in this forum.
First, under the co-located model it can be the case that the underlying renewable and energy storage resources are operated with two different scheduling coordinators. As such, they are unable to coordinate bidding strategies between the two resources and the market does not have any link between the two resources other than the ACC, which only limits the total output to the interconnection amount. The inability for the market to coordinate results is an inefficient market solution. For example, assume the solar resource has a forecast of 50MWs and the energy battery resource is scheduled to charge 20MWs. The solar resource would have an energy schedule of 50 MWs and the energy storage a charging schedule of 20MWs, thus the net output to the grid is 30 MWs and the energy storage resource is charging from the solar output meeting the ITC requirements. It is our understanding that currently if the renewable resource is curtailed in the real-time market based on economic offers submitted, the energy storage resource would still be scheduled to charge. However, under this scenario, the energy storage resource would then have to charge from the grid (which its unable to do as a result of the ITC) or deviate from its scheduled (which is potentially a violation of the CAISO tariff). WPTF believes this in an inefficient market outcome that, given the prevalent energy storage resources under ITC restrictions, should be addressed.
Second, WPTF would appreciate the CAISO commenting on how energy storage resources under ITC restrictions are expected to be modeled in the CAISO market. Specifically, if they have software such that the resource will physically disconnect from the grid if energy is flowing from the grid to the energy storage resource (i.e., charging from the grid) would the CAISO expect the Masterfile to reflect a negative minimum load value?
Lastly, WPTF would also like to explore energy storage, a default energy bid, and the ability to bid above $1,000/ MWh. During a recent CAISO meeting, it was noted that energy storage resources, regardless of if imports or other internal CAISO resources are able to bid above $1,000/MWh under the recently FERC approved Import Bidding and Market Parameters filing, cannot bid above $1,000/MWh. The justification provided is that the only way internal resources can offer above $1,000/MWh is if they request, and the CAISO accepts, a reference level adjustment request. However, given that energy storage resources do not have a fuel cost component, WPTF would appreciate additional clarification and confirmation from the CAISO that energy storage resources can request reference level adjustments if/when the opportunity cost based on forecasted market prices results in costs greater than $1,000/MWh.
Thank you for consideration of these comments.