Planning Resource Adequacy Assessment Reliability Standard, 16250-16263 [2011-6763]
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• Total Information Collection Costs:
The Commission estimated that it
would require 12,216 total annual hours
for the information collection (reporting
and recordkeeping) and that the average
annualized costs would be $1,465,920
(12,216 hours @ $120/hour).
Title: FERC–725A, Mandatory
Reliability Standards for the Bulk-Power
System.
Action: Proposed Revision to FERC–
725A.
OMB Control No.: 1902–0244.
Respondents: Businesses or other forprofit institutions; not-for-profit
institutions.
Frequency of Responses: On
Occasion.
Necessity of the Information: This
Final Rule approves three Reliability
Standards that pertain to
interconnection reliability operating
limits and seven modified Reliability
Standards that pertain to emergency
preparedness and operations,
interconnection reliability operations
and coordination, and transmission
operations. This Final Rule also
approves the addition of two new terms
to the NERC Glossary of Terms. The
Reliability Standards that pertain to
interconnection reliability operating
limits will require reliability
coordinators and transmission operators
to coordinate data on system operating
limits and interconnection reliability
operating limits. This Final Rule finds
the Reliability Standards and related
definitions just, reasonable, not unduly
discriminatory or preferential, and in
the public interest.
77. Interested persons may obtain
information on the reporting
requirements by contacting: Federal
Energy Regulatory Commission, Attn:
Ellen Brown, Office of the Executive
Director, 888 First Street, NE.
Washington, DC 20426, E-mail:
DataClearance@ferc.gov, Tel: (202) 502–
8663, Fax: (202) 273–0873. Comments
on the requirements of this final rule
may also be sent to the Office of
Information and Regulatory Affairs,
Office of Management and Budget,
Washington, DC 20503 [Attention: Desk
Officer for the Federal Energy
Regulatory Commission]. For security
reasons, comments should be sent by email to OMB at
oira_submission@omb.eop.gov. Please
reference OMB Control Number 1902–
0244, RIN 1902–AE17, and the docket
number of this final rule in your
submission.
IV. Environmental Analysis
78. The Commission is required to
prepare an Environmental Assessment
or an Environmental Impact Statement
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for any action that may have a
significant adverse effect on the human
environment.46 The Commission has
categorically excluded certain actions
from this requirement as not having a
significant effect on the human
environment. The actions directed here
fall within the categorical exclusion in
the Commission’s regulations for rules
that are clarifying, corrective or
procedural, for information gathering,
analysis, and dissemination.47
Accordingly, neither an environmental
impact statement nor environmental
assessment is required.
V. Regulatory Flexibility Act
79. The Regulatory Flexibility Act of
1980 (RFA) 48 generally requires a
description and analysis of final rules
that will have significant economic
impact on a substantial number of small
entities. The requirements of this rule
would apply primarily to reliability
coordinators, which do not fall within
the definition of small entities.49
Moreover, the proposed Reliability
Standards reflect a continuation of
existing requirements for reliability
coordinators and other entities to
monitor, analyze, prevent, and mitigate
the occurrence of operating limit
violations on the Bulk-Power System.
The one exception is the proposed new
requirements in Reliability Standard
IRO–010–1a for interchange authorities,
which also do not fall within the
definition of small entities. Based on the
foregoing, the Commission certifies that
this proposed rule will not have a
significant impact on a substantial
number of small entities. Accordingly,
no regulatory flexibility analysis is
required.
VI. Document Availability
46 Regulations Implementing the National
Environmental Policy Act, Order No. 486, 52 FR
47897 (Dec. 17, 1987), FERC Stats. & Regs.,
Regulations Preambles 1986–1990 ¶ 30,783 (1987).
47 18 CFR 380.4(a)(5) (2010).
48 5 U.S.C. 601–612.
49 The RFA definition of ‘‘small entity’’ refers to
the definition provided in the Small Business Act
(SBA), which defines a ‘‘small business concern’’ as
a business that is independently owned and
operated and that is not dominant in its field of
operation. See 15 U.S.C. 632. According to the SBA,
a small electric utility is defined as one that has a
total electric output of less than four million MWh
in the preceding year.
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VII. Effective Date and Congressional
Notification
83. These regulations are effective
May 23, 2011. The Commission has
determined, with the concurrence of the
Administrator of the Office of
Information and Regulatory Affairs of
OMB, that this rule is not a ‘‘major rule’’
as defined in section 351 of the Small
Business Regulatory Enforcement
Fairness Act of 1996.
List of Subjects in 18 CFR Part 40
Electric power, Electric utilities,
Reporting and recordkeeping
requirements.
By the Commission.
Nathaniel J. Davis, Sr.,
Deputy Secretary.
[FR Doc. 2011–6778 Filed 3–22–11; 8:45 am]
BILLING CODE 6717–01–P
80. In addition to publishing the full
text of this document in the Federal
Register, the Commission provides all
interested persons an opportunity to
view and/or print the contents of this
document via the Internet through
FERC’s Home Page (https://www.ferc.gov)
and in FERC’s Public Reference Room
during normal business hours (8:30 a.m.
PO 00000
to 5 p.m. Eastern time) at 888 First
Street, NE., Room 2A, Washington DC
20426.
81. From FERC’s Home Page on the
Internet, this information is available on
eLibrary. The full text of this document
is available on eLibrary in PDF and
Microsoft Word format for viewing,
printing, and/or downloading. To access
this document in eLibrary, type the
docket number excluding the last three
digits of this document in the docket
number field.
82. User assistance is available for
eLibrary and the FERC’s Web site during
normal business hours from FERC
Online Support at 202–502–6652 (toll
free at 1–866–208–3676) or e-mail at
ferconlinesupport@ferc.gov, or the
Public Reference Room at (202) 502–
8371, TTY (202) 502–8659. E-mail the
Public Reference Room at
public.referenceroom@ferc.gov.
DEPARTMENT OF ENERGY
Federal Energy Regulatory
Commission
18 CFR Part 40
[Docket No. RM10–10–000; Order No. 747]
Planning Resource Adequacy
Assessment Reliability Standard
Federal Energy Regulatory
Commission, DOE.
ACTION: Final rule.
AGENCY:
Under section 215(d)(2) of the
Federal Power Act, the Federal Energy
Regulatory Commission approves
regional Reliability Standard, BAL–502–
RFC–02 (Planning Resource Adequacy
Analysis, Assessment and
SUMMARY:
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Documentation), developed by
ReliabilityFirst Corporation (RFC) and
submitted to the Commission by the
North American Electric Reliability
Corporation. The approved regional
Reliability Standard requires planning
coordinators within the RFC
geographical footprint to analyze, assess
and document resource adequacy for
load in the RFC footprint annually, to
utilize a ‘‘one day in ten years’’ loss of
load criterion, and to document and
post load and resource capability in
each area or transmission-constrained
sub-area identified. The Commission
also approves four regional reliability
definitions related to the approved
regional Reliability Standard and the
violation risk factors and violation
severity levels assigned to the BAL–
502–RFC–02 Requirements.
DATES: Effective Date: This Rule will
become effective May 23, 2011.
FOR FURTHER INFORMATION CONTACT:
Karin L. Larson (Legal Information),
Office of the General Counsel, Federal
Energy Regulatory Commission, 888
First Street, NE., Washington, DC
20426, (202) 502–8236.
Scott Sells (Technical Information),
Office of Electric Reliability, Division
of Policy Analysis and Rulemaking,
Federal Energy Regulatory
Commission, 888 First Street, NE.,
Washington, DC 20426, (202) 502–
6664.
SUPPLEMENTARY INFORMATION:
Before Commissioners: Jon Wellinghoff,
Chairman; Marc Spitzer, Philip D. Moeller,
John R. Norris, and Cheryl A. LaFleur.
Final Rule
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Issued March 17, 2011.
1. Under section 215(d)(2) of the
Federal Power Act (FPA), the
Commission approves regional
Reliability Standard BAL–502–RFC–02
(Planning Resource Adequacy Analysis,
Assessment and Documentation),
developed by ReliabilityFirst
Corporation (RFC) and submitted to the
Commission by the North American
Electric Reliability Corporation (NERC).
The approved regional Reliability
Standard requires planning coordinators
within the RFC geographical footprint to
analyze, assess and document resource
adequacy for load in the RFC footprint
annually, to utilize a ‘‘one day in ten
years’’ loss of load criterion, and to
document and post load and resource
capability in each area or transmissionconstrained sub-area identified. The
Commission also approves four regional
reliability definitions related to the
approved regional Reliability Standard
and the violation risk factors and
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violation severity levels assigned to the
BAL–502–RFC–02 Requirements.
covers all or portions of 14 states and
the District of Columbia.
I. Background
B. Regional Reliability Standard BAL–
502–RFC–02
2. Section 215 of the FPA requires a
Commission-certified Electric
Reliability Organization (ERO) to
develop mandatory and enforceable
Reliability Standards, which are subject
to Commission review and approval.
Once approved, the Reliability
Standards may be enforced by the ERO,
subject to Commission oversight, or by
the Commission independently.1 In July
2006, the Commission certified NERC as
the ERO.2 Reliability Standards that the
ERO proposes to the Commission may
include Reliability Standards that are
developed by a Regional Entity.3 In
Order No. 672, the Commission urged
uniformity of Reliability Standards, but
recognized a potential need for regional
differences.4 Accordingly, the
Commission stated that:
As a general matter, we will accept the
following two types of regional differences,
provided they are otherwise just, reasonable,
not unduly discriminatory or preferential and
in the public interest, as required under the
statute: (1) A regional difference that is more
stringent than the continent-wide Reliability
Standard, including a regional difference that
addresses matters that the continent-wide
Reliability Standard does not; and (2) a
regional Reliability Standard that is
necessitated by a physical difference in the
Bulk-Power System.[5]
A. ReliabilityFirst
3. On April 19, 2007, the Commission
approved delegation agreements
between NERC and eight Regional
Entities.6 In the Delegation Agreement
Order, the Commission accepted RFC as
a Regional Entity and accepted RFC’s
Standards Development Manual, which
sets forth the process for RFC’s
development of regional Reliability
Standards.7 The RFC region is a less
than interconnection-wide region that
1 See
16 U.S.C. 824o(e)(3) (2006).
American Electric Reliability Corp., 116
FERC ¶ 61,062 (ERO Certification Order), order on
reh’g & compliance, 117 FERC ¶ 61,126 (2006), aff’d
sub nom. Alcoa, Inc. v. FERC, 564 F.3d 1342 (D.C.
Cir. 2009).
3 16 U.S.C. 824o(e)(4).
4 Rules Concerning Certification of the Electric
Reliability Organization; Procedures for the
Establishment, Approval, and Enforcement of
Electric Reliability Standards, Order No. 672, FERC
Stats. & Regs. ¶ 31,204, at P 290; order on reh’g,
Order No. 672–A, FERC Stats. & Regs. ¶ 31,212
(2006).
5 Id. P 291.
6 See North American Electric Reliability Corp.,
119 FERC ¶ 61,060, at P 316–350 (Delegation
Agreement Order), order on reh’g, 120 FERC
¶ 61,260 (2007).
7 Id. P 339.
2 North
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4. On December 14, 2009, NERC
submitted for Commission approval, in
accordance with section 215(d)(1) of the
FPA,8 regional Reliability Standard
BAL–502–RFC–02 and four associated
new definitions.9 NERC stated that the
proposed regional Reliability Standard
establishes requirements for planning
coordinators in the RFC region
regarding resource adequacy
assessment, which subject matter is not
currently addressed in NERC’s
continent-wide Reliability Standards.10
The stated purpose of this regional
Reliability Standard is to establish
common criteria, based on ‘‘one day in
ten years’’ loss of load expectation
principles, for the analysis, assessment
and documentation of resource
adequacy for load in the RFC region.11
5. Regional Reliability Standard BAL–
502–RFC–02 contains the following two
main requirements. Requirement R1
requires each planning coordinator in
RFC’s footprint 12 to perform and
document an annual resource adequacy
analysis. The sub-requirements of
Requirement R1 set forth the criteria to
be used for the resource adequacy
analysis. Requirement R2 requires each
planning coordinator to annually
document the projected load and
resource capability for each area and
transmission constrained sub-area
identified in the analysis. The subrequirements of Requirement R2 set
forth the specific documentation
requirements. Each of the two main
requirements is assigned a violation risk
factor (VRF) and violation severity level
(VSL). RFC did not assign VRFs or VSLs
to the sub-requirements.
6. The NERC Petition also includes
the following four new regional
definitions related to regional Reliability
Standard BAL–502–RFC–02. First,
‘‘Resource Adequacy,’’ which is defined
as the ability of supply-side and
demand-side resources to meet the
8 16
U.S.C. 824o.
Petition for Approval of Proposed RFC
Regional Reliability Standard BAL–502–RFC–02,
Docket No. RM10–10–000 (Dec. 14, 2009) (Petition).
10 Id. at 7. NERC notes that it has a pending
continent-wide project, Project 2009–05, Resource
Adequacy Assessments, which is intended to
address resource adequacy assessments.
11 NERC Petition at 7.
12 Currently, there are four registered planning
coordinators in the RFC region: American
Transmission Co., LLC; International Transmission
Company (ITC Transmission); Midwest
Independent Transmission System Operator, Inc.
(Midwest ISO); and PJM Interconnection, LLC
(PJM).
9 NERC
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aggregate electrical demand (including
losses). Second, ‘‘Net Internal Demand,’’
which is defined as the total of all enduse customer demand and electric
system losses within specified metered
boundaries, less Direct Control Load
Management and Interruptible Demand.
Third, ‘‘Peak Period,’’ which is defined
as a period consisting of two (2) or more
calendar months but less than seven (7)
calendar months, which includes the
period during which the responsible
entity’s annual peak demand is
expected to occur. Fourth, ‘‘Year One,’’
the planning year that begins with the
upcoming annual Peak Period. These
four defined terms would apply in the
RFC region only.
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C. Notice of Proposed Rulemaking
7. On October 21, 2010, the
Commission issued its Notice of
Proposed Rulemaking (NOPR)
proposing to approve regional
Reliability Standard BAL–502–RFC–02,
stating that the standard will improve
the reliable operation of the Bulk-Power
System by ensuring use in the RFC
region of a common criterion, the ‘‘one
day in ten years’’ principle, to assess
resource adequacy during the planning
horizon.13 In the NOPR, the
Commission proposed to direct RFC, at
the time it conducts its scheduled fiveyear review of regional Reliability
Standard BAL–502–RFC–02, to: (1) Add
time horizons to the two main
requirements, and (2) consider
modifying the regional Reliability
Standard to include a requirement that
the planning coordinators identify any
gap between the needed amount of
planning reserves defined in
Requirement R1.1 and the planning
reserves determined from the resource
adequacy analysis. The Commission
also proposed to accept the four related
definitions for inclusion in NERC’s
Glossary for use with RFC’s regional
Reliability Standards,14 and proposed to
defer ruling on the proposed VRFs and
VSLs for the standard.
8. In addition, in the NOPR, the
Commission sought clarification or
comment on a few aspects of BAL–502–
RFC–02. With respect to the regional
Reliability Standard’s resource
adequacy analysis, the Commission
sought comment on three issues: (1) The
loss of load calculation; (2)
consideration of the capacity benefit
margin; and (3) evaluation of common
13 Planning Resource Adequacy Assessment
Reliability Standard, 75 FR 66038 (October 27,
2010), FERC Stats. & Regs. ¶ 32,662 (2010)
(‘‘NOPR’’).
14 NERC’s Glossary lists each term that has been
defined for use in one or more of NERC’s continentwide or regional Reliability Standards.
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mode outages. The Commission also
sought comment on: (1) How planning
coordinators, when conducting the
resource adequacy analysis, will address
load and resources outside of the RFC
footprint; (2) whether planning
coordinators should have a common
process or procedure that addresses the
planning reserves assessments; and (3)
whether the planning coordinators have
experienced problems collecting the
data necessary to perform the resource
adequacy analysis.
9. In response to the NOPR, comments
were filed by 13 interested parties.
These comments assisted us in the
evaluation of BAL–502–RFC–02. In the
discussion below, we address the issues
raised by these comments. In addition,
five entities filed motions to intervene
and three state utility commissions filed
notices of intervention. Appendix A to
this Final Rule lists the entities that
filed comments and interventions.
II. Discussion
10. In this Final Rule, the Commission
approves regional Reliability Standard
BAL–502–RFC–02 as just, reasonable,
not unduly discriminatory or
preferential, and in the public interest.
To that end, the Commission finds that
BAL–502–RFC–02 satisfies the Order
No. 672 factors on how the Commission
determines whether a regional
Reliability Standard is just and
reasonable in that BAL–502–RFC–02: (1)
Is clear and unambiguous regarding
what is required and who is required to
comply (planning coordinator); (2) has
clear and objective measures for
compliance and achieves a reliability
goal (namely, providing a common
framework for resource adequacy
analysis, assessment, and
documentation) using one effective
methodology, and (3) is ‘‘more stringent’’
in that NERC’s continent-wide
standards currently do not address
assessment of resource adequacy in the
planning horizon.
11. The Commission also denies the
requests made by NARUC, Ohio PUC,
Borlick, and the Illinois Commerce
Commission that the Commission hold
a technical conference in this
proceeding to ‘‘foster needed dialogue’’
by state regulatory commissions,
economists, and stakeholders regarding
the one in ten years criterion. First, the
Commission finds that there is adequate
information in the record in this
proceeding to act on NERC’s Petition.
Second, the more appropriate venue to
discuss technical details, such as the
appropriateness of the one day in ten
years criterion compared with other
methodologies, is in the standards
development process itself. The
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Commission’s decision here does not
preclude other entities, such as NERC,
from holding technical conferences to
foster further dialogue and to discuss
improvements in criteria used for
resource planning.
12. The following discussion
addresses first, the two challenges to
approval of BAL–502–RFC–02, the
Commission’s jurisdictional authority to
approve a resource adequacy assessment
standard and the propriety of using the
one day in ten years criterion. As
discussed below, on these two issues
the Commission determines first, that it
is within our authority to approve a
resource adequacy assessment regional
Reliability Standard and, second, that
the one day in ten years criterion is a
just and reasonable method to use to
conduct resource adequacy assessments
for purposes of BAL–502–RFC–02. Next,
the Commission discusses the six issues
on which we sought comment in the
NOPR. Finally, the Commission
discusses the following remaining
issues related to BAL–502–RFC–02: (i)
Missing time horizons, (ii) effective
date, (iii) regional definitions, and (iv)
VRFs and VSLs.
A. Challenges To Approving BAL–502–
RFC–02
13. NERC, RFC and other commenters
support approval of regional Reliability
Standard BAL–502–RFC–02. NARUC
and Ohio PUC raise concerns regarding
the Commission’s jurisdiction to
approve this regional Reliability
Standard. Commenters also raise
concerns regarding the appropriateness
of the one day in ten years criterion.
These issues are discussed below.
1. Jurisdiction
Comments
14. NARUC and the Ohio PUC raise
several jurisdictional arguments
regarding the Commission’s authority
under section 215 of the FPA to approve
regional Reliability Standard BAL–502–
RFC–02. These comments are endorsed
by the Illinois Commerce Commission.
NARUC and the Ohio PUC argue that
the Commission lacks jurisdiction under
section 215 of the FPA to approve a
regional Reliability Standard that
pertains to resource adequacy, asserting
that BAL–502–RFC–02 is, in reality, a
capacity requirement that RFC has
couched as a planning tool. The Ohio
PUC quotes Order No. 672, in which the
Commission stated: ‘‘The proposed
Reliability Standard must address a
reliability concern that falls within the
requirements of section 215 of the FPA.
That is, it must provide for the reliable
operation of Bulk-Power System
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facilities. It may not extend beyond
reliable operation of such facilities or
apply to other facilities.’’ 15 The Ohio
PUC and NARUC argue that BAL–502–
RFC–02 fails this parameter as it does
not provide for the reliable operation of
Bulk-Power System facilities.
Specifically, they point to the
definitions of ‘‘Reliability Standard’’ and
‘‘Reliable Operation’’ set forth in section
215 of the FPA, which definitions they
argue make clear that Congress did not
intend for a resource adequacy planning
criterion to be the subject of a FPA
section 215 Reliability Standard. They
claim that the statutory definition of
‘‘Reliability Standard,’’ specifically
precludes the Commission from
instituting any capacity requirements.16
They next posit that the definition of
‘‘Reliable Operation’’ pertains to
cascading outages, not the orderly
shedding of load due to a capacity
shortage.17 The Ohio PUC argues that a
lack of adequate resources to serve all
‘‘firm’’ load at current prices does not
lead to ‘‘instability, uncontrolled
separation, or cascading failures’’ in the
Bulk-Power System. Thus, NARUC and
Ohio PUC argue that BAL–502–RFC–02,
which requires a resource adequacy
assessment, does not address a
reliability concern as resource adequacy
issues are not relevant to the ‘‘Reliable
Operation’’ of Bulk-Power System
facilities as that term is defined in
section 215 of the FPA.
15. NARUC and Ohio PUC also
contend that resource adequacy is a
traditional state concern that is outside
of the Commission’s domain. They
argue that both capacity requirements
and resource adequacy planning criteria
involve economic and policy decisions
that impact the reasonableness of rates,
generation decisions and retail demand
response programs, all of which are
within the states’ domain. The Ohio
15 Ohio PUC Comments at 7, Order No. 672, FERC
Stats. & Regs. ¶ 31,204 at P 331.
16 ‘‘Reliability Standard’’ is defined to mean ‘‘a
requirement, approved by the Commission under
this section, to provide for reliable operation of the
bulk-power system. The term includes requirements
for the operation of existing bulk-power system
facilities, including cybersecurity protection, and
the design of planned additions or modifications to
such facilities to the extent necessary to provide for
reliable operation of the bulk-power system, but the
term does not include any requirement to enlarge
such facilities or to construct new transmission
capacity or generation capacity.’’ 16 U.S.C.
824o(a)(3).
17 The term ‘‘Reliable Operation,’’ as defined in
section 215(a)(4) of the FPA, means ‘‘operating the
elements of the bulk-power system within
equipment and electric system thermal, voltage, and
stability limits so that instability, uncontrolled
separation, or cascading failures of such system will
not occur as a result of a sudden disturbance,
including a cybersecurity incident, or unanticipated
failure of system elements.’’
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PUC states that a Commission-mandated
resource adequacy Reliability Standard,
such as BAL–502–RFC–02, infringes on
a state’s authority to balance need for
capacity investments against the risk of
curtailments. Following up on this
point, the Ohio PUC states in a footnote
that it is unreasonable for anyone to
argue that planning coordinators would
plan using one criterion and then use a
different criterion to make the economic
determination of what resources should
be acquired as doing so would be a
waste of the planning coordinator’s time
and resources.
16. NERC, RFC, and the PJM Power
Providers respond to the jurisdictional
questions raised by NARUC and Ohio
PUC in their reply comments. In its
Petition, NERC asserted that regional
Reliability Standard BAL–502–RFC–02
does not adversely affect competition or
cause restriction on the grid because it
does not require entities to secure the
needed resources as an outcome of the
planning coordinators resource
adequacy analysis. In their reply
comments, NERC, RFC, and PJM Power
Providers reiterate that BAL–502–RFC–
02 is consistent with the provisions and
stated goals of the Energy Policy Act of
2005.
17. NERC counters NARUC’s and the
Ohio PUC’s comments, arguing that
section 215(a)(3), which contains the
definition of ‘‘Reliability Standard,’’
does not preclude NERC from including
a resource adequacy planning criterion.
NERC states that the key distinction is
between NERC’s ability to include
resource adequacy planning criterion in
a Reliability Standard, which is clearly
allowed under section 215(a)(3) and
prior Commission orders, and NERC’s
ability to require the building or
acquisition of new generating capacity,
which is prohibited by section 215(a)(3)
of the FPA. To support this argument,
NERC quotes Order No. 672 in which
the Commission stated:
We agree with PG&E’s recommendation
that the Commission require the ERO to
obtain information on resource adequacy and
make related recommendations where
entities are found to have inadequate
resources. Resource adequacy is a
fundamental aspect of reliability. The ERO is
in a unique position to obtain and analyze
information regarding resource adequacy
across all regions of the Bulk-Power System
in interconnected North America. Although
section 215(a)(3) of the FPA provides that the
term Reliability Standard does not include
any requirement to enlarge Bulk-Power
System facilities or to construct new
transmission capacity or generation capacity,
it does not preclude the ERO from obtaining
information relating to resource adequacy for
the purposes of making its required reports
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on the adequacy of the Bulk-Power System
pursuant to section 215(g) of the FPA.18
NERC asserts that the common
criterion established in regional
Reliability Standard BAL–502–RFC–02
to be used to complete a resource
adequacy assessment serves a reliability
purpose as the ‘‘common criterion is
necessary so that recommendations can
be made in the [RFC] Region regarding
inadequate resource adequacy
requirements that could negatively
impact the reliability of the bulk power
system.’’ 19
18. RFC argues that Reliability
Standards are not simply engineering
standards and that many Reliability
Standards, like BAL–502–RFC–02,
involve long horizons and are intended
to prevent the Bulk-Power System from
coming anywhere near ‘‘instability,
uncontrolled separation, or cascading
failures.’’ As an example, RFC cites to
NERC Reliability Standard FAC–010,
which requires planning authorities to
identify system operating limits (SOLs)
and interconnection reliability operating
limits (IROLs) in the planning horizon.
RFC also cites to NERC Reliability
Standard TPL–001, which requires that
the transmission system be able to
supply projected customer demands
over the range of forecast system
demands under no contingency
conditions for the planning horizon.
With respect to proposed regional
Reliability Standard BAL–502–RFC–02,
RFC states that the resource adequacy
data produced under the standard will
be a ‘‘valuable reliability tool that can be
used by registered entities in working to
ensure, well in advance of any
identified concerns, that ‘instability,
uncontrolled separation, or cascading
failures’ never occur.’’ 20
19. With respect to NARUC and the
Ohio PUC’s arguments that a resource
adequacy assessment standard will
infringe on areas within a state’s
jurisdiction, RFC responds that BAL–
502–RFC–02 does not encroach on the
authority of the states to make the
policy decisions that weigh resource
adequacy against cost. RFC notes that
states within the RFC region are free to
use the data and documentation
developed under BAL–502–RFC–02 in
imposing resource adequacy obligations
and making policy decisions regarding
what level of service they are willing to
pay to achieve. RFC further asserts that
each state commission remains the
ultimate arbiter of economic decisions
regarding how to balance capacity
18 Order No. 672, FERC Stats. & Regs. ¶ 31,204 at
P 806 (emphasis added).
19 NERC Reply Comments at 5.
20 RFC Reply Comments at 11.
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investments against the risk of
curtailment as no economic decisions of
any kind are mandated by BAL–502–
RFC–02. RFC reiterates that the only
enforceable mandate under BAL–502–
RFC–02 is the obligation to perform and
document the resource adequacy
analysis in a consistent way across the
RFC region.
Commission Determination
20. As explained herein, the
Reliability Standard before us does not
preclude or preempt any action by a
state PUC with regard to resource
adequacy. As the Commission has
previously recognized, resource
adequacy raises ‘‘complex jurisdictional
concerns’’ which at times are at the
‘‘confluence of state-federal
jurisdiction.’’ 21 As the Commission
stated in the order in which the
Commission certified NERC as the ERO,
with respect to FPA section 215(g),
‘‘Reliability Reports’’: 22
We agree * * * that the ERO’s assessments
of Bulk-Power System reliability and
adequacy cannot themselves provide the
basis for preempting state or regional
transmission planning and resource
adequacy programs. The Commission can,
however, order the ERO to submit adequacy
assessments, including recommendations
that some entities are found to have
inadequate resources. In addition, our
regulations provide for a determination of
consistency between state actions and a
Reliability Standard, as well as an assessment
of the Reliability Standard’s effectiveness as
the Commission may deem appropriate.23
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Although the Commission was
addressing the interplay between the
ERO’s role with respect to resource
adequacy assessments and states’
resource adequacy programs in the
context of section 215(g), this interplay
is equally relevant to the ERO’s role
with respect to the development of
Reliability Standards because the
Commission is acknowledging that FPA
section 215 establishes resource
adequacy assessments as being relevant
to reliability and, further, that the
reliability aspect of resource adequacy
assessments does not preempt state
action.
21. The Commission, by approving
BAL–502–RFC–02, is not usurping,
21 Cal. Indep. Sys. Operator Corp., 116 FERC ¶
61,274, at P 1112 (2006) (stating that resource
adequacy affects the ability of the operator of the
interstate transmission grid to ensure reliable
service).
22 FPA section 215(g) provides that the ‘‘ERO shall
conduct periodic assessments of the reliability and
adequacy of the bulk-power system in North
America.’’ 16 U.S.C. 824o(g) (emphasis added).
23 North American Electric Reliability
Corporation, 116 FERC ¶ 61,062, at P 292 (2006)
(citing Order No. 672, FERC Stats. & Regs. ¶ 31,204
at P 805–806).
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intruding on, or preempting any
authority exclusively within a state’s
jurisdiction because, as recognized in
Order No. 672, the FPA does not reserve
authority for the states over all matters
related to or that flow from ‘‘resource
adequacy.’’ Moreover, the ‘‘savings’’
provision in section 215, section
215(i)(3), is clear that nothing in section
215 shall be ‘‘construed to preempt any
authority of any State to take action to
ensure the safety, adequacy, and
reliability of electric service within that
State, as long as such [State] action is
not inconsistent with any reliability
standard.’’ As we have clarified in a
prior order, the saving provision in
section 215(i) is not a grant of new
authority to the states, but merely
preserves any authority states may have
under state law ‘‘to take action to ensure
the safety, adequacy, and reliability of
electric service within that State, so long
as such action is not inconsistent with
any reliability standard * * * .’’ 24 Thus,
we do not agree with NARUC or the
Ohio PUC that the approval of BAL–
502–RFC–02 will impinge on states’
jurisdiction over matters related to
resource adequacy. BAL–502–RFC–02
does not touch the establishment of
specific resource adequacy
requirements, and thus does not intrude
on the state’s decisional authority with
respect to building or acquisition of
assets or capacity to meet resource
adequacy needs.
22. With respect to the Ohio PUC’s
argument that by approving a regional
Reliability Standard mandating the use
of a specific resource adequacy planning
criterion (the one day in ten years
criterion), the Commission is
establishing that criterion as the de facto
criterion to be used to set resource
investment requirements, this argument
appears to be borne out of the Ohio
PUC’s concern regarding preserving its
authority to set resource adequacy
standards. The standard does not
impinge on Ohio PUC’s authority to set
or determine how to meet resource
adequacy standards. Contrary to the
Ohio PUC’s concerns, the Commission
believes that establishing a common
criterion for resource planning will
provide states with a uniform
framework of information regarding
resource adequacy. The information the
reliability assessments provide would
then be available to the states to use or
could serve as a platform on which to
layer additional factors, such as costs, as
the states see fit.
23. The Commission also finds that
the proposed resource adequacy
24 New York State Reliability Council, 122 FERC
¶ 61,153, at P 33 (2008) (emphasis added).
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analyses and documentation
requirements in BAL–502–RFC–02 fall
within the definition of ‘‘Reliability
Standard’’ as that term is defined in
section 215(a)(3) and pertain to the
‘‘Reliable Operation’’ of the Bulk-Power
System as that term is defined in section
215(a)(4). Under section 215(a)(3), the
only type of requirement that is
explicitly precluded from being part of
an enforceable Reliability Standard is a
‘‘requirement to enlarge [bulk-power
system facilities] or to construct new
transmission capacity or generation
capacity.’’ 25 BAL–502–RFC–02 does not
include any such requirement.
Specifically, BAL–502–RFC–02
mandates planning, it does not require
entities to secure any resources as an
outcome of the resource adequacy
assessment.
24. BAL–502–RFC–02 also falls
within the definition of Reliability
Standard, as it provides for the reliable
operation of the Bulk-Power System
because it serves to identify potential
resource adequacy deficiencies in a
planning horizon with time to mitigate
projected resource adequacy problems
before shortages of resources occur in
the operating horizon. Shortages of
resources in the operating horizon can
lead to blackouts and even cascading
outages. Under these conditions,
operators may be continually challenged
to balance load with energy to prevent
major power or voltage swings across
the grid that can lead to blackouts and
cascading outages. Because the standard
does not prescribe that action must be
taken, entities with authority for
planning and siting new resources,
including demand response resources or
any other resource type, can determine
the appropriate course of action, if any,
that should be taken, including
performing additional resource
adequacy studies. The standard
therefore does not preclude or preempt
any action by a state commission with
regard to resource adequacy. The Ohio
PUC argues that NERC and RFC
‘‘conflate[] resource adequacy with
reliable operation of the Bulk-Power
System,’’ stating that the definition of
‘‘Reliable Operation’’ cannot be enlarged
and manipulated to include planning to
build such capacity.26 The Commission
finds that the Ohio PUC, in making this
argument, is reading into BAL–502–
RFC–02 a requirement that registered
entities within RFC build or acquire
new generating capacity. Such a
requirement simply does not exist in
BAL–502–RFC–02.
25 16
U.S.C. 824o(a)(3).
PUC Comments at 5–6.
26 Ohio
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25. Ohio PUC further argues that a
lack of adequate resources to serve firm
load does not lead to ‘‘instability,
uncontrolled separation or cascading
failures,’’ which are hallmarks of the
term ‘‘Reliable Operation.’’ We disagree
with the Ohio PUC’s interpretation of
the definition of ‘‘Reliable Operation’’ as
stated in section 215. A more careful
reading reveals that the ‘‘hallmarks’’ of
this term, instability, uncontrolled
separation or cascading failures, are not
to occur upon the unanticipated failure
of a system element. If resources cannot
meet load, or are insufficient to provide
a reserve margin above expected load,
then instability, uncontrolled separation
or cascading failures can result from the
unanticipated loss of a system element.
If this situation occurs, reliable
operation is not achieved due to
resource inadequacy. Thus, like other
planning standards, BAL–502–RFC–02
provides for the reliable operation of the
Bulk-Power System as it will help
identify areas of concern that, if left
unresolved, could result in future
instability, uncontrolled separation, or
cascading failures of the Bulk-Power
System.
26. The only other affirmative
limitation on the scope of Commissionapproved and enforceable Reliability
Standards under FPA section 215 is the
savings clause in section 215(i)(2),
which states: ‘‘This section does not
authorize the ERO or the Commission to
order the construction of additional
generation or transmission capacity or
to set and enforce compliance with
standards for adequacy or safety of
electric facilities or services.’’ 27
Regional Reliability Standard BAL–502–
RFC–02 does not set any resource
adequacy standards. Specifically, BAL–
502–RFC–02 does not impose on any
registered entity a resource adequacy
obligation because the standard contains
no requirement for an entity to construct
or otherwise invest in additional
transmission, distribution, or generation
resources or capacity. Nothing in BAL–
502–RFC–02 requires any entity to use
or take any action with respect to the
resulting resource adequacy assessment.
Regional Reliability Standard BAL–502–
RFC–02 only requires a resource
adequacy analysis and documentation
of such analysis. Importantly, the
Commission is not, through BAL–502–
RFC–02, setting, enforcing or in any way
mandating the resource adequacy levels
that are derived through the BAL–502–
RFC–02 resource adequacy analyses.
Accordingly, BAL–502–RFC–02 does
27 16
U.S.C. 824o(i)(2).
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not run afoul of the prohibitions in FPA
sections 215(a)(3) or 215(i)(2).
2. One Day in Ten Years Criterion
27. Regional Reliability Standard
BAL–502–RFC–02 requires planning
coordinators to perform an annual
resource adequacy analysis and
calculate a planning reserve margin that
meets the ‘‘one day in ten years’’
criterion.28 The analysis must be
‘‘performed or verified separately’’ for:
(i) Year one, (ii) for one year falling in
the second through fifth years, and (iii)
at least one year in the sixth through
tenth years.29
Comments
28. Several commenters expressed
that the ‘‘one day in ten years’’ criterion
is not economically efficient, is
outdated, and is too conservative of a
requirement.30 OCC comments that the
‘‘one day in ten years’’ criterion does not
account for changes in the electric
industry such as markets, demand
response, energy advancements,
distributed generation, energy efficiency
or the smart grid. Thus, OCC
recommends that the Commission
consider alternative planning reserve
margin methodologies rather than a
conservative one day in ten years
methodology. The Ohio PUC argues that
the one day in ten years criterion has
not been shown to be just and
reasonable because: (1) The criterion is
outdated; (2) it may negatively impact
competition such as the development of
price responsive demand; and (3) no
analysis has been done to confirm that
a one day in ten years criterion
produces a reserve margin that
reasonably balances the value of
avoiding scarcity and the cost of
maintaining the target reserve margin.
29. Carden supports annual resource
adequacy assessments that are based on
common criteria for reliability. Wilson
comments that the conservative
assumptions in a one day in ten years
analysis often lead to less reliance on
neighboring systems that results in
excess generation.
30. Responding to these criticisms of
the one day in ten years criterion, RFC
points out that the only RFC stakeholder
that voted against the BAL–502–RFC–02
cast a negative vote because that
stakeholder favors implementing a
28 The ‘‘one day in ten years’’ criterion is used to
plan resource adequacy such that reserve margins
are planned so that the expected frequency of loss
of load due to inadequate resources does not exceed
0.1 events per year, which equates to one event in
ten years.
29 See proposed Reliability Standard BAL–502–
RFC–02, Requirement R1.2.
30 See Comments submitted by Borlick, Carden,
OCC, Ohio PUC, and Wilson.
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continent-wide resource adequacy
planning standard rather than a regional
standard. RFC asserts that the one day
in ten years criterion is just and
reasonable because its use will ensure,
for the first time, that similar
assessments of resource adequacy are
performed for every part of the RFC
region, including in states that have
deregulated electric markets, which will
provide a consistent and mutually
understandable target against which to
assess adequacy. RFC rejects as
unreasonable, burdensome and
unnecessary the other commenters’
suggestion that the one day in ten years
criterion must be first proven to balance
the benefit of avoiding scarcity with the
cost of maintaining an appropriate
reserve. RFC further notes that even
though the criterion used in regional
Reliability Standard BAL–502–RFC–02
could be improved in the future, that
does not make the standard
unreasonable now. To that end, RFC
encourages interested parties to
participate regularly in its regional
Reliability Standards development
process as well as at its informal
stakeholder meetings.
Commission Determination
31. The comments on this issue reveal
a level of disagreement regarding the
appropriateness of using the ‘‘one day in
ten years’’ criterion for an annual
resource adequacy assessment. In
approving this regional Reliability
Standard, the Commission need not
determine that the ‘‘one day in ten
years’’ criterion represents the most
effective or most economically efficient
method of measuring resource
adequacy. Rather, the Commission is to
determine whether the proposed
standard is just and reasonable, not
unduly discriminatory or preferential,
and in the public interest. Thus, in this
case, the Commission considers whether
the requirements in BAL–502–RFC–02
are a just and reasonable means of
achieving the reliability objective of the
standard. As noted by RFC in its reply
comments, the reliability objective of
BAL–502–RFC–02 is to provide a
common framework for analyzing,
assessing, and documenting resource
adequacy, in part to resolve RFC’s
concerns regarding the lack of
standardization and the lack of a
measure for resource adequacy in
deregulated states within its footprint.31
The Commission finds that BAL–502–
RFC–02 achieves the reliability
objective of establishing a common
criteria for analyzing, assessing and
documenting resource adequacy in a
31 RFC
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just and reasonable manner through the
imposition of the one day in ten years
criterion for measuring resource
adequacy. The Commission emphasizes
that the one day in ten years criterion
is one common approach for resource
adequacy assessment, and by approving
this regional Reliability Standard, the
Commission does not establish the one
day in ten years criterion to be the de
facto, or the only acceptable metric for
resource adequacy assessment. Rather,
the Commission is acknowledging that
the one day in ten years criterion is a
well-established and common criterion
for assessing resource adequacy.32 The
use of a known and understood criterion
should result in consistent, transparent
and understandable resource adequacy
analyses within the RFC region, and
thus meets the reliability goal of
establishing a common criterion to
assess resource adequacy.
32. The Commission does not disagree
with commenters’ arguments that the
one day in ten years criterion could be
improved upon as an assessment tool or
replaced with another methodology, but
this does not mean that RFC’s proposed
one day in ten years criterion is unjust
or unreasonable. NERC endorsed the
one day in ten years criterion in its
Petition, stating that ‘‘experience has
demonstrated that correlating generating
capacity and customer load in a ‘loss of
load’ methodology with a target of ‘one
day in 10 year’ criterion has provided
adequate generating capacity in real
time operation * * * to supply all
customer firm loads, even under
extreme conditions.’’ 33 The Commission
further notes that approving this
regional Reliability Standard with the
one day in ten years criterion does not
32 See, e.g., Midwest Independent Transmission
System Operator, Inc., 122 FERC ¶ 61,283, at P 108
(2008) (accepting the Midwest ISO’s proposal to use
the one day in ten years standard as reasonable and
consistent with industry standard); Devon Power
LLC, et al., 110 FERC ¶ 61,313, at P 8 (2005) (noting
that the ISO–NE uses as a regional planning criteria
the one day in ten years criterion); see also North
American Electric Reliability Council, Resource and
Transmission Adequacy Task Force, Resource and
Transmission Adequacy Recommendations, June
15, 2004, available at https://www.nerc.com/docs/
docs/pubs/Resource_and_Transmission_Adequacy_
Recommendations.pdf (survey of the criteria used
for resource adequacy planning during 2003–2004
timeframe showed that of the eight regional
reliability councils polled in the East, five use the
one day in ten years LOLE criteria); PJM
Interconnection, L.L.C., PJM Generation Adequacy
Analysis: Technical Methods Capacity Adequacy
Planning Department, at 1 (October 2003), available
at https://www.nerc.com/docs/pc/ris/PJM_
Generation_Adequacy_Analysis_Technical_
Methods.pdf (stating ‘‘This ‘one day in ten year’
loss-of-load expectation (LOLE) is the standard
observed in most NERC regions and is the basis for
determining PJM’s required Installed Reserve
Margin (IRM).’’).
33 NERC Petition at 10.
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prevent future changes or improvements
to this resource assessment
methodology. Our approval of BAL–
502–RFC–02 does not prevent RFC or
NERC from proposing other
methodologies from replacing the one
day in ten years criterion to assess
resource adequacy and determine a
level of planning reserve margin
necessary to maintain reliability of the
Bulk-Power System.34
33. The only obligations under BAL–
502–RFC–02 are analysis and
documentation requirements. This
regional Reliability Standard does not
specify how the results of the analysis
required in this standard are to be used.
For example, BAL–502–RFC–02 does
not require state commissions to use the
resource assessment analysis resulting
from BAL–502–RFC–02 for economic
decisions regarding resource adequacy
requirements. Thus, the Commission
rejects the Ohio PUC’s argument that the
one day in ten years criterion is
unreasonable because the criterion does
not consider the economics of resource
adequacy such as the cost of additional
resources or the value of energy to the
consumers whose service would be
interrupted in the event of a shortfall.
Certainly, the BAL–502–RFC–02
assessments will be available as a tool
to help inform the policy decisions to
determine the level of service entities
are willing to pay for and resource
adequacy requirements. However, the
Commission repeats, these activities are
not required by this regional Reliability
Standard.
34. In response to the Ohio PUC’s
claim that BAL–502–RFC–02 was
developed with limited visibility to and
involvement by many of those most
involved in resource adequacy issues,
e.g., state commissions and economists,
the Commission emphasizes that BAL–
502–RFC–02 was developed through an
open and transparent process, allowing
anyone with an interest to participate.35
As documented by RFC, during the
standard development process, entities
had multiple opportunities to express
concerns regarding anything related to
the regional Reliability Standard,
including the one day in ten year
criterion. The RFC Reliability Standards
Development Procedure (RSDP) also
includes an opportunity for submitting
a ‘‘standard authorization request’’ to
suggest a modification to any regional
Reliability Standard or development of
34 See e.g., Version One Regional Reliability
Standard Resource and Demand Balancing, 133
FERC ¶ 61,063, at P 30 (2010) (Order No. 740)
(remanding regional Reliability Standard BAL–002–
WECC–1).
35 NERC Petition at 5–6, 19–21; RFC Reply
Comments at 15–16.
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a new regional Reliability Standard. The
Commission also notes that RFC will
review BAL–502–RFC–02 at least every
five years, thereby affording future
opportunities for interested entities to
participate in these reviews.
B. Issues Regarding Specific BAL–502–
RFC–02 Requirements
35. In the NOPR, the Commission
stated that it believes that the factors or
characteristics to be considered in the
resource adequacy analysis as set forth
in Requirement R1 of BAL–502–RFC–02
are a technically sound means to set up
the analysis for ascertaining the
probability of not having enough
resources in order to meet demand and
avoid loss of load. In addition, the
Commission sought clarification
regarding three aspects of the resource
adequacy analysis: (i) The loss of load
calculation, (ii) use of capacity benefit
margin; and (iii) the meaning of
common mode outages.
1. Loss of Load Calculation
36. Regional Reliability Standard
BAL–502–RFC–02, Requirement R1.1
states that the planning coordinator’s
assessment shall calculate a planning
reserve margin that results in the sum of
probabilities for loss of load for each
planning year equal to 0.1, or
comparable to ‘‘one day in ten years’’
when available capacity will not meet
the load. With respect to the loss of load
calculation, BAL–502–RFC–02
specifically identifies two
circumstances that do not contribute to
the loss of load probability: (1)
Utilization of direct control load
management 36 and (2) curtailment of
interruptible load.37 Notwithstanding
these two exceptions to the loss of load
probability, the Commission sought
comment on how other system operator
actions, such as voltage reduction or
other, non-voluntary types of load
reduction plans, would be modeled and
documented in this analysis.38
Comments
37. RFC and Midwest ISO comment
that real-time operating actions, like
voltage reductions or other non36 NERC defines direct control load management
(DCLM) as ‘‘Demand-Side Management that is under
the direct control of the system operator. DCLM
may control the electric supply to individual
appliances or equipment on customer premises.
DCLM as defined here does not include
Interruptible Demand.’’ Glossary of Terms Used in
NERC Reliability Standards, April 20, 2010 (NERC
Glossary), available at: https://www.nerc.com/docs/
standards/rs/Glossary_of_Terms_2010April20.pdf.
37 The NERC Glossary defines Interruptible Load
as ‘‘Demand that the end-use customer makes
available to its Load-Serving Entity via contract or
agreements for curtailment.’’
38 NOPR, FERC Stats. & Regs. ¶ 32,662 at P 18.
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voluntary types of load reduction plans
are not intended to be included in the
BAL–502–RFC–02 assessment. RFC and
Midwest ISO explain that these types of
load reduction are only considered
during the operating horizon and are not
included in planning time frame
assessments to comply with
requirements associated with the
planning horizon.
38. Borlick, Midwest ISO, OCC, Ohio
PUC and Wilson comment on various
demand side resources and their
inclusion or exclusion from the BAL–
502–RFC–02 resource adequacy
assessment. Borlick comments that price
responsive demand should not be
counted both in Requirement R1.3.1
(load forecast characteristics) 39 and in
Requirement R1.4 (resource availability
characteristics).40 Midwest ISO states
that the regional Reliability Standard
does not limit which demand response
programs are excluded from the loss of
load calculation, thereby allowing for,
not preventing, future innovations in
demand side programs. OCC asserts that
the NOPR and BAL–502–RFC–02 imply
that voluntary curtailment services,
including demand response, are
completely excluded from consideration
in the loss of load calculation. OCC
further argues that complete exclusion
of voluntary curtailment service from
the loss of load calculation would
undervalue demand response resources.
OCC states that demand response
resources should be taken into account
in the loss of load calculation because
they reduce the need for additional
capacity. Accordingly, OCC urges the
Commission to require including
historical demand response rates for
resources in the loss of load calculation.
The Ohio PUC comments that price
39 BAL–502–RFC–1, Requirement R1.3.1 sets
forth the load forecast characteristics that are to be
included and documented in the resource adequacy
analysis. Specifically, Requirement R1.3.1 identifies
the following six load forecast characteristics: (1)
Median (50:50) forecast peak load; (2) load forecast
uncertainty; (3) load diversity; (4) seasonal load
variations; (5) daily demand modeling assumptions;
and (6) contractual arrangements concerning
curtailable/interruptible demand.
40 BAL–502–RFC–1, Requirement R1.4 requires
the consideration in the resource adequacy analysis
of eight resource availability characteristics and
documentation of how and why they were included
in the analysis or why they were not included. The
resource availability characteristics include: (1)
Availability and deliverability of fuel; (2) common
mode outages that affect resource availability; (3)
environmental or regulatory restrictions of resource
availability; (4) any other demand (load) response
programs not included in R1.3.1; (5) sensitivity to
resource outage rates; (6) impacts of extreme
weather/drought conditions that affect unit
availability; (7) modeling assumptions for
emergency operation procedures used to make
reserves available; and (8) market resources not
committed to serving load within the planning
coordinator area.
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responsive demand is not accounted for
in this regional Reliability Standard.
Last, Wilson notes that approving BAL–
502–RFC–02 could actually prevent
demand response or price responsive
demand from developing.
Commission Determination
39. Based on the Midwest ISO and
RFC comments, the Commission accepts
that for planning assessments conducted
under BAL–502–RFC–02, typical system
operator actions, such as voltage
reduction or other non-voluntary types
of load reduction plans should not be
included given that they pertain to the
operating, not planning, horizon. The
Commission agrees with Borlick’s
comment, and emphasizes that any type
of demand response program, including
price responsive demand, should not be
represented twice in the assessment
under both Requirement R1.3.1 and
Requirement R1.4. The clause contained
in Requirement R1.4 for considering
‘‘Any other demand (Load) response
programs not included in R1.3.1’’
(emphasis added) is sufficient to
prevent any responsible entity from
counting any type of demand response
program multiple times within this
assessment.
40. The Commission also agrees with
Midwest ISO’s comment that BAL–502–
RFC–02’s requirements are not so
restrictive that they would limit any
specific types of demand response
programs from being included in the
BAL–502–RFC–02 assessment. Contrary
to the comments from OCC, Ohio PUC
and Wilson, the requirements for
conducting the BAL–502–RFC–02
assessment are general enough to
include interruptible loads, voluntary
curtailment services, price responsive
demand, and other types of demand
response programs, and therefore would
not hinder the development of new
programs or technologies related to
demand-side resources. Regarding
OCC’s comment that BAL–502–RFC–02
completely excludes voluntary
curtailment services from consideration
in the loss of load calculation, thus
undervaluing demand response, the
Commission notes that demand
response is addressed elsewhere in the
assessment. While Requirement R1.1.1
makes clear that utilization of direct
control load management or curtailment
of interruptible demand shall not
contribute to the loss of load
probability, Requirement R1.1.1 does
not prevent demand related resources
from being considered under other parts
of the assessment, such as under
Requirement R1.3.1 or R1.4.
41. Specifically, the Commission
agrees with OCC that historical demand
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16257
response rates or performance should be
considered in the BAL–502–RFC–02
assessment to determine the
effectiveness of a demand response
program and typical performance
achieved by the demand response
program. Assessing how resources,
including demand side resources, have
performed in the past, how a resource’s
performance changed over time, and
how a resource’s performance varied
under different scenarios is an effective
way to estimate how the resource might
perform under the conditions
considered for the analysis. To that end,
the Commission notes that BAL–502–
RFC–02, Requirement R1.3.2 includes
‘‘historical resource performance and
any projected changes’’ as one of the
resource characteristics to be considered
in performing the resource adequacy
analysis. Similarly, Requirement R1.4
requires consideration of resource
availability characteristics of ‘‘any other
demand (Load) response programs not
included in R1.3.1,’’ which could
include historical performance of such
demand response programs.
Requirement R1.4 also requires the
planning coordinator to document how
and why each resource availability
characteristic was included in the
analysis, or why the characteristic was
not included.
42. Based on the foregoing, the
Commission affirms that the loss of load
calculation performed under
Requirement R1.1 of BAL–502–RFC–02
does not include typical system operator
actions or non-voluntary types of load
loss. The Commission further notes that
demand response programs should be
considered under aspects of a BAL–
502–RFC–02 resource adequacy
assessment, specifically under either
R1.3.1 or R1.4 as appropriate.
2. Use of Capacity Benefit Margin
43. With respect to the capacity
benefit margin (CBM), the Commission
in the NOPR noted that the
requirements do not explicitly state
whether planning coordinators may rely
upon CBM 41 to satisfy BAL–502–RFC–
41 NOPR, FERC Stats. & Regs. ¶ 32,662 at P 19.
The NERC Glossary defines capacity benefit margin
(CBM) as ‘‘the amount of firm transmission transfer
capability preserved by the transmission provider
for Load-Serving Entities (LSE), whose loads are
located on that Transmission Service Provider’s
system, to enable access by the LSEs to generation
from interconnected systems to meet generation
reliability requirements. Preservation of CBM for an
LSE allows that entity to reduce its installed
generating capacity below that which may
otherwise have been necessary without
interconnections to meet its generation reliability
requirements. The transmission transfer capability
preserved as CBM is intended to be used by the LSE
only in times of emergency generation deficiencies.’’
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02’s requirements. During the standard
development posting period, RFC
received comments regarding potential
conflicts or lack of coordination
between BAL–502–RFC–02 and the
continent-wide NERC Reliability
Standard MOD–004–1—Capacity
Benefit Margin.42 The Commission
stated in the NOPR that it does not
believe that BAL–502–RFC–02 conflicts
with NERC Reliability Standard MOD–
004–1. However, the Commission noted
that there could be some confusion
regarding whether CBM could or could
not be used in order to meet the
requirements of BAL–502–RFC–02,43
and sought comment on the issue.
Comments
44. Carden, Midwest ISO, RFC and
Wilson responded to the Commission’s
question regarding utilization of CBM to
meet BAL–502–RFC–02’s requirements.
Carden and Wilson support allowing
CBM to be used to meet the
requirements for the planning reserve
margins. Midwest ISO comments that
BAL–502–RFC–02 correctly neither
excludes nor includes the use of CBM
to meet the requirements. RFC states
that CBM alone cannot satisfy the
regional Reliability Standard.
Commission Determination
45. Based on these comments, the
Commission understands and agrees
that the intent of BAL–502–RFC–02 is
that while CBM may be used to meet the
requirements, it is not mandatory to
include CBM in the assessment. The
Commission also understands and
agrees, as RFC stated, that CBM cannot
be the only source assessed in order to
satisfy BAL–502–RFC–02’s
requirements.
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3. Meaning of Common Mode Outages
46. With respect to Requirement R1.4,
which requires the resource adequacy
analysis to consider resource
availability characteristics including
‘‘common mode outages that affect
resource availability,’’ the Commission
sought comment on whether planning
coordinators, when evaluating ‘‘common
Glossary of Terms Used in NERC Reliability
Standards, April 20, 2010, available at: https://
www.nerc.com/docs/standards/rs/
Glossary_of_Terms_2010April20.pdf.
42 See NERC Petition, Exhibit C, Comments from
ITC Transmission.
43 NOPR, FERC Stats. & Regs. ¶ 32,662 at P 19.
Reliability Standard MOD–004–1 addresses CBM,
or a capacity preserved for firm transmission
transfer capability. Conversely, the Requirements in
proposed Reliability Standard BAL–502–RFC–02
address an analysis regarding the capability of
generation to serve the projected load. While CBM
could be a method of meeting the Requirements of
BAL–502–RFC–02, the two Reliability Standards do
not contradict each other.
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mode outages that affect resource
availability’’ will consider only outages
within the generation facility, or if the
analysis will also consider outages of
transmission facilities that would have
an impact on resource or generator
availability.44
Comments
47. Both Midwest ISO and RFC agree
that Requirement R1.4 only explicitly
requires common mode outages of
resources, but does not limit the
consideration of transmission outages
that could affect resource deliverability.
Midwest ISO further explains that
Requirements R1.3.3 and R1.3.4 45 apply
to transmission facilities within and
outside of the planning coordinator area
and these requirements properly allow
for the inclusion and documentation of
consideration of common mode outages
within a study, while not explicitly
requiring the consideration of common
mode outages.
Commission Determination
48. Based on the RFC and Midwest
ISO comments, the Commission
understands that common mode outages
discussed in Requirement R1.4 do not
explicitly require consideration of
transmission facility outages.
Notwithstanding that Requirement R1.4
does not explicitly require consideration
of transmission facility outages, the
Commission agrees with the Midwest
ISO that nothing in the standard limits
a planning coordinator’s flexibility to
consider such outages.
49. Consistent with Midwest ISO
comments, the Commission understands
Requirements R1.3.3 and R1.3.4 apply
to transmission facilities, specifically
documenting transmission limitations
that would prevent the delivery of
generation reserves and considering
transmission limitations impacting
assistance from other interconnected
systems. These transmission limitations
could include, but do not explicitly
require, outage assessments of
transmission facilities that would result
in preventing delivery of generation
reserves. The Commission notes that the
outage assessment would likely benefit
from analyzing transmission facility
outages that would directly impact the
ability to deliver resources to demand,
or decrease the amount of resources
44 NOPR,
FERC Stats. & Regs. ¶ 32,662 at P 20.
R1.3.3 and R1.3.4 list items that
must be considered in conducting the BAL–502–
RFC–02 resource adequacy analysis. R1.3.3 refers to
transmission limitations that prevent the delivery of
generation reserves. R1.3.4 refers to assistance from
other interconnected systems including multi-area
assessment considering transmission limitations
into the study area.
45 Requirements
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delivered to an area from interconnected
systems. Not all transmission facilities
would need to be included in the
assessment as many individual
transmission facilities would have
minimal impact on resource
deliverability. Thus, determining which
transmission outages to assess would
require some engineering judgment to
determine the impact of the
transmission outage on resource
deliverability. The Commission
encourages planning coordinators to
consider transmission outages to
determine which, if any, transmission
outages have the greatest impact on
delivery of resources and to include
those limiting elements when evaluating
common mode outages.
C. Other Issues Raised in NOPR
1. Missing Time Horizons
50. The NERC Petition explained that
the template for Reliability Standards
dictates that each main requirement in
a Reliability Standard be assigned one of
the following time horizons: 46 (1) Longterm Planning (a planning horizon of
one year or longer), (2) operations
planning (operating and resource plans
from day-ahead up to and including
seasonal), (3) same-day operations
(routine actions required within the
timeframe of a day, but not real-time),
(4) real-time operations (actions
required within one hour or less to
preserve the reliability of the bulk
electric system), and (5) operations
assessment (follow-up evaluations and
reporting of real time operations). In the
Petition, NERC noted the absence of a
time horizon in BAL–502–RFC–02 and
explained that RFC had stated that it did
not include time horizons because its
Commission-approved Reliability
Standard Development Process does not
include time horizons as a required
element in its template for Reliability
Standards. As stated in the NERC
Petition, RFC also noted that ‘‘the [BAL–
502–RFC–02] focuses on ‘planning
oriented’ subject matter for one year and
beyond,’’ and, as such, the appropriate
time horizon, long-term planning, is
relatively straight forward.47
51. In the NOPR, the Commission
noted that it is important to identify the
46 Time horizons are used as a factor in
determining the size of a sanction. If an entity
violates a Requirement and there is no time to
mitigate the violation because the Requirement
takes place in real-time, then, depending on the
violation’s specific facts, the sanction associated
with the violation generally would be higher than
it would be for violation of a Requirement that
could be mitigated over a longer period of time. See
NERC’s ‘‘Time Horizons’’ document, available on
NERC’s Web site at https://www.nerc.com/files/
Time_Horizons.pdf.
47 NERC Petition at 24.
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time horizons for each Reliability
Standard, but acknowledged that time
horizons are not critical to its
determination of whether to approve a
Reliability Standard. Moreover, the
Commission agreed with RFC that with
respect to BAL–502–RFC–02, the time
horizon ‘‘long-term planning’’ can be
gleaned from the context of the standard
for the purpose of determining the
severity of a violation risk factor, or for
determining the penalty for a violation.
Based on RFC’s statement that it is
moving towards requiring the
assignment of time horizons as part of
its standard drafting process, the
Commission proposed to direct RFC to
add time horizons to the two main
requirements when RFC reviews BAL–
502–RFC–02 at the scheduled five-year
review.
Comments
52. RFC states in its comments that it
does not oppose the Commission’s
proposal to direct RFC to add time
horizons to BAL–502–RFC–02 during its
scheduled five-year review. The only
other commenter on the issue of time
horizons, Midwest ISO, supports the
NOPR’s proposal, noting that time
horizons should be specifically
identified in Reliability Standards
because they are a factor for determining
the size of a sanction.
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Commission Determination
53. The Commission agrees with the
Midwest ISO that time horizons are a
factor in NERC’s determination of a
penalty for a violation and
acknowledges that RFC is modifying its
standards development process such
that it will include time horizons as an
element in its regional Reliability
Standards template. Accordingly, as
proposed in the NOPR, the Commission
directs RFC to add time horizons to the
two main requirements when RFC
reviews BAL–502–RFC–02 at the
scheduled five-year review.
2. Proposed Effective Date
54. Proposed regional Reliability
Standard BAL–502–RFC–02’s stated
effective date is ‘‘upon RFC Board
approval,’’ which occurred on December
4, 2008. In the NOPR, the Commission
noted that, while the effective date for
Commission approved Reliability
Standards is generally ‘‘the first day of
the first quarter after regulatory
approval,’’ with respect to BAL–502–
RFC–02, no additional implementation
time is necessary as the four registered
planning coordinators in the RFC region
are already subject to BAL–502–RFC–02
by the terms of the RFC membership
agreement. Accordingly, the
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Commission proposed in the NOPR that
BAL–502–RFC–02 become mandatory
and enforceable on the effective date of
the Commission’s final rule approving
the regional Reliability Standard.
Comments
55. Dominion is the sole commenter
regarding the effective date. Dominion,
noting the potential pitfalls that may
occur when regions like RFC implement
multiple effective dates for the same
standard,48 seeks two clarifications.
First, Dominion requests that the
Commission clarify that the effective
date of regional Reliability Standard
BAL–502–RFC–02 is the effective date
of the Commission’s final rule
approving the standard and that the
standard will be enforced prospectively
only. Second, Dominion requests that
the Commission clarify that all future
regional Reliability Standards shall not
have effective dates that are prior to the
effective date of the Commission’s order
approving the regional Reliability
Standard and that RFC should modify
its governance documents accordingly.
Commission Determination
56. Under section 215(d)(2) of the
FPA, it is clear that a proposed
Reliability Standard ‘‘shall take effect
upon approval by the Commission.’’
Accordingly, a Reliability Standard
cannot have an effective date in the
United States that is prior to the
effective date of the final rule issued by
the Commission approving the
Reliability Standard at issue. Thus, the
effective date of BAL–502–RFC–02 is
the effective date of this Final Rule, and
further, BAL–502–RFC–02 first becomes
enforceable upon this effective date.49
3. Provision of Data
57. In the NOPR, the Commission,
noting that BAL–502–RFC–02 does not
require other entities (load-serving
entities, balancing authorities,
transmission operators, resource
planners, or transmission planners) to
provide the planning coordinators
subject to BAL–502–RFC–02 the
necessary data for the resource
adequacy analysis, sought comment on
whether the planning coordinators have
encountered problems with collecting
necessary data in order to complete the
resource adequacy assessment that is
the subject of BAL–502–RFC–02.
48 Dominion notes that with respect to BAL–502–
RFC–02, the stated effective date is ‘‘upon RFC
Board approval,’’ which was December 4, 2008.
However, under section 215 of the FPA, a
Reliability Standard may not become effective until
after Commission approval.
49 For this Final Rule, the effective date is 60 days
after publication in the Federal Register.
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16259
Comments
58. In response, both RFC and the
Midwest ISO report that, to their
knowledge planning coordinators have
not had problems collecting the
necessary data.
Commission Determination
59. Based on the comments of
Midwest ISO and RFC, and the fact that
no entity has raised a concern about the
ability of RFC’s planning coordinators’
to obtain the data necessary to comply
with BAL–502–RFC–02, we are satisfied
that no action is necessary now on this
issue.
4. Consideration of Resources Beyond
the RFC Footprint
60. In the NOPR, the Commission
sought comment on how to address load
and resources outside of the RFC
footprint during a planning assessment
and on how entities currently perform
this task or other similar planning tasks
where load and resources are located
outside of boundaries required by the
assessment.
Comments
61. RFC states that current
Requirements R1.3.4, R1.6 and R1.7
address consideration of resources
beyond the RFC footprint. Midwest ISO
comments that while a common method
for considering external support or
modeling external systems appears
beneficial, this would be an onerous
task, and might limit valid
methodologies for considering external
support. Midwest ISO further comments
that it considers resource adequacy on
a footprint-wide basis, and includes
resources outside of the RFC footprint,
holding the entire Midwest ISO region
to the ‘‘one day in ten years’’ criterion.
Midwest ISO notes that if other regional
entities develop potentially conflicting
regional Reliability Standards, Midwest
ISO could be subject to conflicting
Reliability Standards for its planning
coordinator footprint.
Commission Determination
62. The Commission agrees with
RFC’s comment that Requirements
R1.3.4, R1.6 and R1.7 are a means to
address consideration of resources
outside of the RFC footprint. By
identifying what assistance from
external areas is included in the
assessment (R1.3.4) and what capacity
resources and load are included within
the planning coordinator area (R1.6 and
R1.7), an entity can determine the area
for which the assessment is being
performed, and whether or not that area
includes areas beyond the RFC
footprint. The Commission agrees with
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Midwest ISO that identifying a common
process for all planning coordinators to
use might be onerous and might limit
valid methodologies for determining
whether or not to consider resources or
loads outside of the RFC footprint when
conducting the BAL–502–RFC–02
resource adequacy assessment.
However, the Commission expects that,
as a foundational element of a reliability
assessment, each planning coordinator
would document its own consideration
of resources and loads in the
assessment.50
5. Planning Gap Identification
63. In the NOPR, the Commission
noted that BAL–502–RFC–02 does not
include a requirement to document any
gap between the planning reserve
margin calculated in Requirement R1.1
(the amount of planning reserve needed
to ensure a ‘‘one day in ten years’’
criterion) and the actual planning
reserve determined in the resource
adequacy analysis. The Commission
stated that it believes that it would be
useful for planning coordinators to
identify and document a deficiency in
planning reserves to help ensure that
entities are aware of potential risks
regarding the capability to balance
resources and demand in a planning
timeframe. Accordingly, the
Commission proposed to direct RFC,
when reviewing BAL–502–RFC–02
during its scheduled five-year review, to
consider modifying BAL–502–RFC–02
to include a new requirement to identify
any gap between the needed amount of
planning reserves defined in
Requirement R1.1 and the planning
reserves determined from the resource
adequacy analysis. The Commission
further clarified that this would be a
documentation requirement only and
would not require entities to install
additional generation or transmission
capacity.
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Comments
64. RFC submitted the sole comment
on this issue. RFC supports the proposal
in the NOPR on this issue and stated
that it ‘‘will consider modifying the
Standard in its scheduled five-year
review, to include a requirement to
identify any gap between the needed
amount of planning reserves defined in
Requirement 1.1 and the planning
50 For example, the PJM Manual 20: PJM Resource
Adequacy Analysis, Section 3 provides ‘‘a guide for
fostering consistency from year to year and across
all related analysis,’’ and further describes input
data and models, including what is identified as the
PJM area and areas adjacent to PJM referred to as
the ‘‘World.’’ See PJM Manual 20: PJM Resource
Adequacy Analysis, Revision 3, 6/1/2007, at 17–28,
available at https://www.pjm.com/documents/
manuals.aspx.
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reserves determined from the [Resource
Adequacy] Analysis.’’ 51
Commission Determination
65. The Commission accepts RFC’s
commitment to consider, at the time of
its five-year review, whether to add a
requirement to BAL–502–RFC–02 that
would require Planning Coordinators to
identify any gap between the needed
amount of planning reserves defined in
Requirement R1.1 and the planning
reserves determined from the resource
adequacy analysis.
D. Regional Definitions
66. Regional Reliability Standard
BAL–502–RFC–02 includes four new
defined terms that apply only to the
RFC region: Resource Adequacy, Net
Internal Demand, Peak Period, and Year
One. In the NOPR, the Commission
proposed to accept the four new defined
terms to be applicable only in the RFC
region.
Comments
67. No comments were filed regarding
the four regional definitions.
Commission Determination
68. The Commission approves the
inclusion of the four new regional
definitions related to BAL–502–RFC–02
in the NERC Glossary, specifically as
RFC regional terms.
E. Violation Risk Factors/Violation
Security Levels
69. With respect to BAL–502–RFC–02,
RFC assigned VRFs only to the two
main requirements and did not propose
VRFs for any of the sub-requirements.52
RFC assigned Requirement R1 a
‘‘medium’’ VRF and Requirement R2 a
‘‘lower’’ VRF. Requirement R1 is
assigned a ‘‘medium’’ VRF based on RFC
and NERC’s conclusion that it is a
Requirement in a planning time frame
and, if violated, could affect the
capability of the Bulk-Power System.
Requirement R2 is assigned a ‘‘lower’’
VRF because it is a documentation only
requirement and therefore is considered
to be administrative. Similarly, RFC
assigned VSLs only to the main
51 RFC
Comment at 6.
note that in Version Two Facilities Design,
Connections and Maintenance Reliability
Standards, Order No. 722, 126 FERC ¶ 61,255, at
P 45 (2009), the ERO proposed to develop VRFs and
VSLs for requirements but not sub-requirements.
The Commission denied the proposal as
‘‘premature’’ and, instead, encouraged the ERO to
‘‘develop a new and comprehensive approach that
would better facilitate the assignment of violation
severity levels and violation risk factors.’’ As
directed, on March 5, 2010, NERC submitted a
comprehensive approach in Docket No. RR08–4–
005, which is currently pending before the
Commission.
52 We
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Requirements, R1 and R2, of proposed
BAL–502–RFC–02, and not to any of the
sub-requirements. NERC notes that
RFC’s assignment of VRFs and VSLs
only to the main requirements is
consistent with NERC’s ‘‘roll-up’’
proposal in its August 10, 2009
Informational Filing Regarding the
Assignment of VRFs and VSLs.53 NERC
also stated that RFC followed applicable
NERC and FERC guidance in developing
the VSLs and VRFs for BAL–502–RFC–
02.
70. In the NOPR, the Commission
proposed deferring action on the
proposed VRFs and VSLs assigned to
BAL–502–RFC–02 until after the
Commission acts on NERC’s pending
petition in Docket No. RR08–4–005, in
which NERC proposes a ‘‘roll-up’’
approach for VRF and VSL assignments
by which NERC would only assign VRFs
and VSLs to the main requirements and
not to the sub-requirements.
Comments
71. Borlick and Midwest ISO
comment on the VRF and VSL
assignments. The Midwest ISO states
that the VRF for Requirement R1 should
be assigned a lower VRF because
Requirement R1 will never directly
affect the electrical state of the RFC
Region. Borlick makes a generic
comment regarding VSLs, stating that
‘‘the assignment of qualitative [VSLs] to
various infractions is too ‘fluffy’.’’ 54
Commission Determination
72. A VRF is assigned to each
Requirement of a Reliability Standard
that relates to the expected or potential
impact of a violation of the requirement
on the reliability of the Bulk-Power
System. VRFs are either: Lower,
medium or high.55 The Commission has
established guidelines for evaluating the
validity of each VRF assignment.56
73. NERC will also define up to four
VSLs (low, moderate, high, and severe)
as measurements for the degree to
which the requirement was violated in
a specific circumstance. For a specific
violation of a particular Requirement,
NERC or the Regional Entity will
53 NERC
Petition at 24.
Comments at 7.
55 The specific definitions of high, medium and
lower are provided in North American Electric
Reliability Corp., 119 FERC ¶ 61,145, at P 9 (VRF
Order), order on reh’g, 120 FERC ¶ 61,145 (2007)
(VRF Rehearing Order).
56 The guidelines are: (1) Consistency with the
conclusions of the Blackout Report; (2) consistency
within a Reliability Standard; (3) consistency
among Reliability Standards; (4) consistency with
NERC’s definition of the violation risk factor level;
and (5) treatment of requirements that com-mingle
more than one obligation. See VRF Rehearing
Order, 120 FERC ¶ 61,145 at P 8–13.
54 Borlick
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establish the initial value range for the
base penalty amount by finding the
intersection of the applicable VRF and
VSL in the base penalty amount table in
Appendix A of its sanction guidelines.
On June 19, 2008, the Commission
issued an order establishing four
guidelines for the development of
VSLs.57
74. The Commission has reviewed the
VRF and VSL assignments for BAL–
502–RFC–02 and it is our view that both
the VRFs and VSLs are consistent with
the above-described Commission
guidance. The Commission does not
agree with Midwest ISO that
Requirement R1 should be assigned a
‘‘lower’’ VRF instead of ‘‘medium.’’
Midwest ISO states that the VRF for
Requirement R1 should be ‘‘lower’’
because Requirement R1: (1) Will never
directly affect the electrical state or
capability of the bulk electric system,
and (2) only establishes administrative
requirements to conduct an analysis
without compelling planning
coordinators to take actions based upon
the analysis. The Commission finds that
Requirement R1 is not administrative in
nature as it requires an analysis of the
state of the Bulk-Power System in the
planning horizon to be able to meet
demand with available resources. While
this standard does not specifically
require planning coordinators to take
action per the results of this analysis,
not performing the analysis would
create a lack of awareness of the BulkPower System’s ability to meet demand
with available resources during the
planning horizon, which, if no actions
were taken, could directly affect the
electrical state or capability of the BulkPower System. Thus, the nature of
Requirement R1 is consistent with
NERC’s definition of a ‘‘medium’’ VRF
level rather than the ‘‘lower’’ level.58
57 North American Electric Reliability Corp., 123
FERC ¶ 61,284, at P 20–35 (VSL Order), order on
reh’g & compliance, 125 FERC ¶ 61,212 (2008). The
VSL guidelines are: (1) VSL assignments should not
have the unintended consequence of lowering the
current level of compliance; (2) the VSL should
ensure uniformity and consistency in the
determination of penalties; (3) a VSL assignment
should be consistent with the corresponding
requirement; and (4) a VSL assignment should be
based on a single violation, not on a cumulative
number of violations.
58 The VRF Order guidance emphasizes
consistency with NERC’s definition of the VRF
level. NERC defines a ‘‘medium’’ risk requirement,
which will be assigned a medium VRF, as follows:
‘‘A requirement that, if violated, could directly
affect the electrical state or the capability of the
bulk electric system, or the ability to effectively
monitor and control the bulk electric system.
However, violation of a medium risk requirement
is unlikely to lead to bulk electric system
instability, separation, or cascading failures; or, a
requirement in a planning time frame that, if
violated, could, under emergency, abnormal, or
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75. With respect to Borlick’s comment
that the assignment of qualitative VSLs
to various infractions is too ‘‘fluffy,’’ the
Commission finds this to be a generic
concern regarding VSLs that is outside
the scope of this proceeding.
76. Accordingly, the Commission
approves the VRFs and VSLs assigned to
the two main Requirements in BAL–
502–RFC–02. Although the Commission
is approving the VRFs and VSLs, which
are assigned only to the main
Requirements of the Reliability
Standard, the Commission is not making
any determination regarding NERC’s
and RFC’s decision to apply its
proposed ‘‘roll-up’’ approach to BAL–
502–RFC–02, i.e., to not assign VRFs
and VSLs to any Sub-requirement. The
appropriateness of the roll-up approach
is pending before the Commission in
Docket No. RR08–4–005.
III. Information Collection Statement
77. The following collections of
information contained in this proposed
rule have been submitted to the Office
of Management and Budget (OMB) for
review under section 3507(d) of the
Paperwork Reduction Act of 1995.59
OMB’s regulations require OMB to
approve certain information collection
requirements imposed by agency rule.60
Upon approval of a collection(s) of
information, OMB will assign an OMB
control number and an expiration date.
Respondents subject to the filing
requirements of an agency rule will not
be penalized for failing to respond to
these collections of information unless
the collections of information display a
valid OMB control number.
78. The Commission solicited
comments on the need for and the
purpose of the information contained in
regional Reliability Standard BAL–502–
RFC–02 and the corresponding burden
to implement it. The Commission
received comments on specific
Requirements in the regional Reliability
Standard, which we address in this
Final Rule. However, we did not receive
any comments on our reporting burden
estimates. The Commission has not
directed any immediate modifications to
the Requirements in the regional
Reliability Standard being approved.
Thus, the Final Rule does not affect the
burden estimate provided in the NOPR.
restorative conditions anticipated by the
preparations, directly and adversely affect the
electrical state or capability of the bulk electric
system, or the ability to effectively monitor, control,
or restore the bulk electric system. * * *.’’ NERC
Violation Risk Factor, available at https://
www.nerc.com/files/Violation_Risk_Factors.pdf.
59 44 U.S.C. 3507(d).
60 5 CFR 1320.11.
PO 00000
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16261
Burden Estimate: Regional Reliability
Standard BAL–502–RFC–02 requires
planning coordinators within the RFC
geographical footprint to analyze, assess
and document resource adequacy,
annually, and to document and post
projected load and resource capability
in each area and transmissionconstrained sub-area identified in the
resource adequacy assessment. BAL–
502–RFC–02, which applies to four
planning coordinators located in the
eastern portion of the U.S., does not
require the planning coordinators to file
information with the Commission. It
does require planning coordinators to
develop, document, publically post, and
retain certain information, subject to
compliance monitoring by RFC.
However, the Commission does not
believe that approval of BAL–502–RFC–
02 will result in a substantive increase
in reporting burdens because the
Reliability Standard implements the
current, mandatory and enforceable
practices in RFC. As RFC has
represented, the affected RFC-member
planning coordinators have been subject
to these requirements since December
2008 and would continue to be subject
to them even if the Commission did not
approve BAL–502–RFC–02 as a regional
Reliability Standard subject to
Commission, NERC and RFC
enforcement under section 215 of the
FPA. As stated in the RFC’s
implementation plan for BAL–502–
RFC–02, once this standard was
approved by RFC’s Board of Trustees,
which occurred on December 4, 2008,
the requirements under the standard
became effective with respect to RFC
members and subject to the enforcement
mechanism under the ‘‘Term of
Membership’’ in RFC’s by-laws.61 Thus,
the Commission finds that the
requirements to develop, document, and
maintain information in the regional
Reliability Standard are current and
ongoing requirements for RFC members
and, therefore, the Commission’s
proposed action in this Final Rule
would not impose any additional
burden on RFC-member planning
coordinators. The proposed regional
Reliability Standard is a new standard
and was not included in the original
standards submitted for review and
approval by OMB. In addition,
Commission approval of proposed
regional Reliability Standard BAL–502–
RFC–02 makes the standard mandatory
and enforceable. Therefore, the
61 See RFC’s Planning Resource Adequacy
Analysis, Assessment and Documentation
Implementation Plan, available online at https://
rsvp.rfirst.org/BAL502RFC02/
SupportingDocuments/BAL–502–RFC–
02_Implementation_Plan.pdf.
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Federal Register / Vol. 76, No. 56 / Wednesday, March 23, 2011 / Rules and Regulations
Commission will submit this final rule
to OMB for review and approval of the
reporting requirements and propose a de
minimis burden to reflect the prior
implementation by RFC as part of its
region’s standard practices.
79. The Commission estimates that
the increased Public Reporting Burden
Number of
respondents
Proposed data collection FERC–725–H
of approving BAL–502–RFC–02 is de
minimis as follows:
Number of
responses
Hours per
respondent
Total annual
hours
4
1
10
40
Total ..........................................................................................
erowe on DSK5CLS3C1PROD with RULES
Registered planning coordinators 62 in the RFC region ..................
............................
............................
............................
40
Information Collection Costs:
• Total annual costs: $2,651.41 ((40
hours/2080 hours/year) × $137,874/
year).
• Title: FERC–725–H, RFC Regional
Reliability Standard.
• Action: Collection of information.
• OMB Control No: To be determined.
• Respondents: Registered planning
coordinators in the RFC region.
• Frequency of Responses: On
occasion.
• Necessity of the Information: This
Final Rule approves a regional
Reliability Standard that requires
planning coordinators to document and
maintain, for the current and prior two
years, their resource adequacy analyses
and the projected load and resource
capability subject to review by the
Commission, NERC, and RFC to ensure
compliance with the regional Reliability
Standard.
• Internal review: The Commission
has reviewed the regional Reliability
Standard BAL–502–RFC–02 and
determined that the standard’s
Requirements are necessary to meet the
statutory provisions of the Energy Policy
Act of 2005. The Commission has
assured itself, by means of internal
review, that there is specific, objective
support for the burden estimates
associated with the information
requirements.
80. Interested persons may obtain
information on the reporting
requirements by contacting: Federal
Energy Regulatory Commission, 888
First Street, NE., Washington, DC 20426
[Attention: Ellen Brown, Office of the
Executive Director, e-mail:
DataClearance@ferc.gov, Phone: (202)
502–8663, fax: (202) 273–0873].
Comments on the requirements of this
Final Rule may also be sent to the Office
of Information and Regulatory Affairs,
Office of Management and Budget,
Washington, DC 20503 [Attention: Desk
Officer for the Federal Energy
Regulatory Commission]. For security
reasons, comments should be sent by email to OMB at
oira_submission@omb.eop.gov. Please
62 At this time, there are only four registered
planning coordinators in the RFC region.
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reference FERC–725H and the docket
number of this final rule in your
submission.
IV. Environmental Analysis
81. The Commission is required to
prepare an Environmental Assessment
or an Environmental Impact Statement
for any action that may have a
significant adverse effect on the human
environment.63 The Commission has
categorically excluded certain actions
from this requirement as not having a
significant effect on the human
environment. Included in the exclusion
are rules that are clarifying, corrective,
or procedural or that do not
substantially change the effect of the
regulations being amended.64 The
actions taken in this Final Rule fall
within this categorical exclusion as the
regional Reliability Standard reflects a
continuation of existing resource
planning assessment requirements for
these planning coordinators and is
‘‘new’’ only with respect to the fact that
once approved by the Commission, it
will be subject to enforcement by RFC,
NERC or the Commission. Accordingly,
neither an environmental impact
statement nor environmental assessment
is required.
V. Regulatory Flexibility Act
Certification
82. The Regulatory Flexibility Act of
1980 (RFA) 65 generally requires a
description and analysis of final rules
that will have significant economic
impact on a substantial number of small
entities. The RFA mandates
consideration of regulatory alternatives
that accomplish the stated objectives of
a proposed rule and that minimize any
significant economic impact on a
substantial number of small entities.
The Small Business Administration’s
(SBA) Office of Size Standards develops
the numerical definition of a small
63 Regulations Implementing the National
Environmental Policy Act of 1969, Order No. 486
52 FR 47,897 (Dec. 17, 1987), FERC Stats. & Regs.,
Regulations Preambles 1986–1990 ¶ 30,783 (1987).
64 18 CFR 380.4(a)(2)(ii).
65 5 U.S.C. 601–612.
PO 00000
Frm 00032
Fmt 4700
Sfmt 4700
business.66 The SBA has established a
size standard for electric utilities,
stating that a firm is small if, including
its affiliates, it is primarily engaged in
the transmission, generation and/or
distribution of electric energy for sale
and its total electric output for the
preceding twelve months did not exceed
four million megawatt hours.67 The
entities to which the requirements of
this Rule would apply, i.e., planning
coordinators within the RFC region, do
not fall within the definition of small
entities. Moreover, the regional
Reliability Standard reflects a
continuation of existing resource
planning assessment requirements for
these planning coordinators and is
‘‘new’’ only with respect to the fact that
once approved by the Commission, it
will be subject to enforcement by RFC,
NERC or the Commission. Based on the
foregoing, the Commission certifies that
this Rule will not have a significant
impact on a substantial number of small
entities. Accordingly, no regulatory
flexibility analysis is required.
VI. Document Availability
83. In addition to publishing the full
text of this document in the Federal
Register, the Commission provides all
interested persons an opportunity to
view and/or print the contents of this
document via the Internet through
FERC’s Home Page (https://www.ferc.gov)
and in FERC’s Public Reference Room
during normal business hours (8:30 a.m.
to 5 p.m. Eastern time) at 888 First
Street, NE., Room 2A, Washington, DC
20426.
84. From FERC’s Home Page on the
Internet, this information is available on
eLibrary. The full text of this document
is available on eLibrary in PDF and
Microsoft Word format for viewing,
printing, and/or downloading. To access
this document in eLibrary, type the
docket number excluding the last three
digits of this document in the docket
number field.
85. User assistance is available for
eLibrary and the FERC’s Web site during
66 13
67 13
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CFR 121.101.
CFR 121.201, Sector 22, Utilities & n. 1.
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Federal Register / Vol. 76, No. 56 / Wednesday, March 23, 2011 / Rules and Regulations
normal business hours from FERC
Online Support at 202–502–6652 (toll
free at 1–866–208–3676) or e-mail at
ferconlinesupport@ferc.gov, or the
Public Reference Room at (202) 502–
8371, TTY (202) 502–8659. E-mail the
Public Reference Room at
public.referenceroom@ferc.gov.
VII. Effective Date and Congressional
Notification
86. These regulations, including
regional Reliability Standard BAL–502–
RFC–02, are effective May 23, 2011. The
Commission has determined, with the
concurrence of the Administrator of the
Office of Information and Regulatory
Affairs of OMB, that this Rule is not a
16263
‘‘major rule’’ as defined in section 351 of
the Small Business Regulatory
Enforcement Fairness Act of 1996.
By the Commission.
Nathaniel J. Davis, Sr.,
Deputy Secretary.
Appendix A: Entities That Filed
Comments, Motions To Intervene or
Notices of Intervention
Abbreviation
Commenter
Commenters
Dominion ..........................................................................................................
Carden .............................................................................................................
ICC ...................................................................................................................
Midwest ISO ....................................................................................................
MRO .................................................................................................................
NARUC ............................................................................................................
NERC ...............................................................................................................
OCC .................................................................................................................
OMS .................................................................................................................
Ohio PUC .........................................................................................................
PJM Power Providers ......................................................................................
RFC ..................................................................................................................
Borlick ..............................................................................................................
Wilson ..............................................................................................................
Dominion Resources Services, Inc.
Kevin Carden, Johannes Pfeifenberger, and Nick Wintermantel.
Illinois Commerce Commission.
Midwest Independent Transmission System Operator, Inc.
Midwest Reliability Organization.
National Association of Regulatory Utility Commissioners.
North American Electric Reliability Corporation+.
Office of the Ohio Consumers’ Counsel.
Organization of MISO States.
Public Utilities Commission of Ohio.
PJM Power Providers Group.
ReliabilityFirst Corporation+.
Robert L. Borlick.
James F. Wilson.
Intervenors
Constellation Energy Commodities Group, Inc.
Dayton Power and Light Company.
Designated FirstEnergy Affiliates*.
Exelon Corp.
New York State Public Service Commission.
Pennsylvania Public Utility Commission.
PSEG Companies.
Public Utilities Commission of the State of California.
+ NERC
and RFC filed both comments and reply comments.
* The Designated FirstEnergy Affiliates include: Ohio Edison Co., Cleveland Electric Illuminating Co., Pennsylvania Power Co., Toledo Edison
Co., American Transmission Systems, Inc., Jersey Central Power & Light Co., Metropolitan Edison Co., Pennsylvania Electric Co., and
FirstEnergy Solutions Corp.
[FR Doc. 2011–6763 Filed 3–22–11; 8:45 am]
BILLING CODE 6717–01–P
DEPARTMENT OF ENERGY
Federal Energy Regulatory
Commission
18 CFR Part 40
[Docket No. RM09–18–001; Order No. 743–
A]
Revision to Electric Reliability
Organization Definition of Bulk Electric
System
Federal Energy Regulatory
Commission, DOE.
ACTION: Order on rehearing.
erowe on DSK5CLS3C1PROD with RULES
AGENCY:
The Commission denies
rehearing and otherwise reaffirms its
determinations in Order No. 743. In
addition, the Commission clarifies
certain provisions of the Final Rule.
SUMMARY:
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15:27 Mar 22, 2011
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Order No. 743 directed the Electric
Reliability Organization (ERO) to revise
the definition of the term ‘‘bulk electric
system’’ through the ERO’s Reliability
Standards Development Process to
address the Commission’s policy and
technical concerns and ensure that the
definition encompasses all facilities
necessary for operating an
interconnected electric transmission
network pursuant to section 215 of the
Federal Power Act.
DATES: Effective Date: This order on
rehearing and clarification will become
effective March 23, 2011.
FOR FURTHER INFORMATION CONTACT:
Robert V. Snow (Technical Information),
Office of Electric Reliability, Division
of Reliability Standards, Federal
Energy Regulatory Commission, 888
First Street, NE., Washington, DC
20426. Telephone: (202) 502–6716.
Patrick A. Boughan (Technical
Information), Office of Electric
Reliability, Division of Engineering,
PO 00000
Frm 00033
Fmt 4700
Sfmt 4700
Planning and Operations, Federal
Energy Regulatory Commission, 888
First Street, NE., Washington, DC
20426. Telephone: (202) 502–8071.
Jonathan E. First (Legal Information),
Office of the General Counsel, Federal
Energy Regulatory Commission, 888
First Street, NE., Washington, DC
20426. Telephone: (202) 502–8529.
Mindi Sauter (Legal Information), Office
of the General Counsel, Federal
Energy Regulatory Commission, 888
First Street, NE., Washington, DC
20426. Telephone: (202) 502–6830.
SUPPLEMENTARY INFORMATION:
Before Commissioners: Jon Wellinghoff,
Chairman; Marc Spitzer, Philip D. Moeller,
John R. Norris, and Cheryl A. LaFleur.
I. Order on Rehearing
Issued March 17, 2011.
I. Introduction
1. On November 18, 2010, the
Commission issued a Final Rule (Order
E:\FR\FM\23MRR1.SGM
23MRR1
Agencies
[Federal Register Volume 76, Number 56 (Wednesday, March 23, 2011)]
[Rules and Regulations]
[Pages 16250-16263]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2011-6763]
-----------------------------------------------------------------------
DEPARTMENT OF ENERGY
Federal Energy Regulatory Commission
18 CFR Part 40
[Docket No. RM10-10-000; Order No. 747]
Planning Resource Adequacy Assessment Reliability Standard
AGENCY: Federal Energy Regulatory Commission, DOE.
ACTION: Final rule.
-----------------------------------------------------------------------
SUMMARY: Under section 215(d)(2) of the Federal Power Act, the Federal
Energy Regulatory Commission approves regional Reliability Standard,
BAL-502-RFC-02 (Planning Resource Adequacy Analysis, Assessment and
[[Page 16251]]
Documentation), developed by ReliabilityFirst Corporation (RFC) and
submitted to the Commission by the North American Electric Reliability
Corporation. The approved regional Reliability Standard requires
planning coordinators within the RFC geographical footprint to analyze,
assess and document resource adequacy for load in the RFC footprint
annually, to utilize a ``one day in ten years'' loss of load criterion,
and to document and post load and resource capability in each area or
transmission-constrained sub-area identified. The Commission also
approves four regional reliability definitions related to the approved
regional Reliability Standard and the violation risk factors and
violation severity levels assigned to the BAL-502-RFC-02 Requirements.
DATES: Effective Date: This Rule will become effective May 23, 2011.
FOR FURTHER INFORMATION CONTACT:
Karin L. Larson (Legal Information), Office of the General Counsel,
Federal Energy Regulatory Commission, 888 First Street, NE.,
Washington, DC 20426, (202) 502-8236.
Scott Sells (Technical Information), Office of Electric Reliability,
Division of Policy Analysis and Rulemaking, Federal Energy Regulatory
Commission, 888 First Street, NE., Washington, DC 20426, (202) 502-
6664.
SUPPLEMENTARY INFORMATION:
Before Commissioners: Jon Wellinghoff, Chairman; Marc Spitzer,
Philip D. Moeller, John R. Norris, and Cheryl A. LaFleur.
Final Rule
Issued March 17, 2011.
1. Under section 215(d)(2) of the Federal Power Act (FPA), the
Commission approves regional Reliability Standard BAL-502-RFC-02
(Planning Resource Adequacy Analysis, Assessment and Documentation),
developed by ReliabilityFirst Corporation (RFC) and submitted to the
Commission by the North American Electric Reliability Corporation
(NERC). The approved regional Reliability Standard requires planning
coordinators within the RFC geographical footprint to analyze, assess
and document resource adequacy for load in the RFC footprint annually,
to utilize a ``one day in ten years'' loss of load criterion, and to
document and post load and resource capability in each area or
transmission-constrained sub-area identified. The Commission also
approves four regional reliability definitions related to the approved
regional Reliability Standard and the violation risk factors and
violation severity levels assigned to the BAL-502-RFC-02 Requirements.
I. Background
2. Section 215 of the FPA requires a Commission-certified Electric
Reliability Organization (ERO) to develop mandatory and enforceable
Reliability Standards, which are subject to Commission review and
approval. Once approved, the Reliability Standards may be enforced by
the ERO, subject to Commission oversight, or by the Commission
independently.\1\ In July 2006, the Commission certified NERC as the
ERO.\2\ Reliability Standards that the ERO proposes to the Commission
may include Reliability Standards that are developed by a Regional
Entity.\3\ In Order No. 672, the Commission urged uniformity of
Reliability Standards, but recognized a potential need for regional
differences.\4\ Accordingly, the Commission stated that:
\1\ See 16 U.S.C. 824o(e)(3) (2006).
\2\ North American Electric Reliability Corp., 116 FERC ] 61,062
(ERO Certification Order), order on reh'g & compliance, 117 FERC ]
61,126 (2006), aff'd sub nom. Alcoa, Inc. v. FERC, 564 F.3d 1342
(D.C. Cir. 2009).
\3\ 16 U.S.C. 824o(e)(4).
\4\ Rules Concerning Certification of the Electric Reliability
Organization; Procedures for the Establishment, Approval, and
Enforcement of Electric Reliability Standards, Order No. 672, FERC
Stats. & Regs. ] 31,204, at P 290; order on reh'g, Order No. 672-A,
FERC Stats. & Regs. ] 31,212 (2006).
As a general matter, we will accept the following two types of
regional differences, provided they are otherwise just, reasonable,
not unduly discriminatory or preferential and in the public
interest, as required under the statute: (1) A regional difference
that is more stringent than the continent-wide Reliability Standard,
including a regional difference that addresses matters that the
continent-wide Reliability Standard does not; and (2) a regional
Reliability Standard that is necessitated by a physical difference
in the Bulk-Power System.[\5\]
---------------------------------------------------------------------------
\5\ Id. P 291.
---------------------------------------------------------------------------
A. ReliabilityFirst
3. On April 19, 2007, the Commission approved delegation agreements
between NERC and eight Regional Entities.\6\ In the Delegation
Agreement Order, the Commission accepted RFC as a Regional Entity and
accepted RFC's Standards Development Manual, which sets forth the
process for RFC's development of regional Reliability Standards.\7\ The
RFC region is a less than interconnection-wide region that covers all
or portions of 14 states and the District of Columbia.
---------------------------------------------------------------------------
\6\ See North American Electric Reliability Corp., 119 FERC ]
61,060, at P 316-350 (Delegation Agreement Order), order on reh'g,
120 FERC ] 61,260 (2007).
\7\ Id. P 339.
---------------------------------------------------------------------------
B. Regional Reliability Standard BAL-502-RFC-02
4. On December 14, 2009, NERC submitted for Commission approval, in
accordance with section 215(d)(1) of the FPA,\8\ regional Reliability
Standard BAL-502-RFC-02 and four associated new definitions.\9\ NERC
stated that the proposed regional Reliability Standard establishes
requirements for planning coordinators in the RFC region regarding
resource adequacy assessment, which subject matter is not currently
addressed in NERC's continent-wide Reliability Standards.\10\ The
stated purpose of this regional Reliability Standard is to establish
common criteria, based on ``one day in ten years'' loss of load
expectation principles, for the analysis, assessment and documentation
of resource adequacy for load in the RFC region.\11\
---------------------------------------------------------------------------
\8\ 16 U.S.C. 824o.
\9\ NERC Petition for Approval of Proposed RFC Regional
Reliability Standard BAL-502-RFC-02, Docket No. RM10-10-000 (Dec.
14, 2009) (Petition).
\10\ Id. at 7. NERC notes that it has a pending continent-wide
project, Project 2009-05, Resource Adequacy Assessments, which is
intended to address resource adequacy assessments.
\11\ NERC Petition at 7.
---------------------------------------------------------------------------
5. Regional Reliability Standard BAL-502-RFC-02 contains the
following two main requirements. Requirement R1 requires each planning
coordinator in RFC's footprint \12\ to perform and document an annual
resource adequacy analysis. The sub-requirements of Requirement R1 set
forth the criteria to be used for the resource adequacy analysis.
Requirement R2 requires each planning coordinator to annually document
the projected load and resource capability for each area and
transmission constrained sub-area identified in the analysis. The sub-
requirements of Requirement R2 set forth the specific documentation
requirements. Each of the two main requirements is assigned a violation
risk factor (VRF) and violation severity level (VSL). RFC did not
assign VRFs or VSLs to the sub-requirements.
---------------------------------------------------------------------------
\12\ Currently, there are four registered planning coordinators
in the RFC region: American Transmission Co., LLC; International
Transmission Company (ITC Transmission); Midwest Independent
Transmission System Operator, Inc. (Midwest ISO); and PJM
Interconnection, LLC (PJM).
---------------------------------------------------------------------------
6. The NERC Petition also includes the following four new regional
definitions related to regional Reliability Standard BAL-502-RFC-02.
First, ``Resource Adequacy,'' which is defined as the ability of
supply-side and demand-side resources to meet the
[[Page 16252]]
aggregate electrical demand (including losses). Second, ``Net Internal
Demand,'' which is defined as the total of all end-use customer demand
and electric system losses within specified metered boundaries, less
Direct Control Load Management and Interruptible Demand. Third, ``Peak
Period,'' which is defined as a period consisting of two (2) or more
calendar months but less than seven (7) calendar months, which includes
the period during which the responsible entity's annual peak demand is
expected to occur. Fourth, ``Year One,'' the planning year that begins
with the upcoming annual Peak Period. These four defined terms would
apply in the RFC region only.
C. Notice of Proposed Rulemaking
7. On October 21, 2010, the Commission issued its Notice of
Proposed Rulemaking (NOPR) proposing to approve regional Reliability
Standard BAL-502-RFC-02, stating that the standard will improve the
reliable operation of the Bulk-Power System by ensuring use in the RFC
region of a common criterion, the ``one day in ten years'' principle,
to assess resource adequacy during the planning horizon.\13\ In the
NOPR, the Commission proposed to direct RFC, at the time it conducts
its scheduled five-year review of regional Reliability Standard BAL-
502-RFC-02, to: (1) Add time horizons to the two main requirements, and
(2) consider modifying the regional Reliability Standard to include a
requirement that the planning coordinators identify any gap between the
needed amount of planning reserves defined in Requirement R1.1 and the
planning reserves determined from the resource adequacy analysis. The
Commission also proposed to accept the four related definitions for
inclusion in NERC's Glossary for use with RFC's regional Reliability
Standards,\14\ and proposed to defer ruling on the proposed VRFs and
VSLs for the standard.
---------------------------------------------------------------------------
\13\ Planning Resource Adequacy Assessment Reliability Standard,
75 FR 66038 (October 27, 2010), FERC Stats. & Regs. ] 32,662 (2010)
(``NOPR'').
\14\ NERC's Glossary lists each term that has been defined for
use in one or more of NERC's continent-wide or regional Reliability
Standards.
---------------------------------------------------------------------------
8. In addition, in the NOPR, the Commission sought clarification or
comment on a few aspects of BAL-502-RFC-02. With respect to the
regional Reliability Standard's resource adequacy analysis, the
Commission sought comment on three issues: (1) The loss of load
calculation; (2) consideration of the capacity benefit margin; and (3)
evaluation of common mode outages. The Commission also sought comment
on: (1) How planning coordinators, when conducting the resource
adequacy analysis, will address load and resources outside of the RFC
footprint; (2) whether planning coordinators should have a common
process or procedure that addresses the planning reserves assessments;
and (3) whether the planning coordinators have experienced problems
collecting the data necessary to perform the resource adequacy
analysis.
9. In response to the NOPR, comments were filed by 13 interested
parties. These comments assisted us in the evaluation of BAL-502-RFC-
02. In the discussion below, we address the issues raised by these
comments. In addition, five entities filed motions to intervene and
three state utility commissions filed notices of intervention. Appendix
A to this Final Rule lists the entities that filed comments and
interventions.
II. Discussion
10. In this Final Rule, the Commission approves regional
Reliability Standard BAL-502-RFC-02 as just, reasonable, not unduly
discriminatory or preferential, and in the public interest. To that
end, the Commission finds that BAL-502-RFC-02 satisfies the Order No.
672 factors on how the Commission determines whether a regional
Reliability Standard is just and reasonable in that BAL-502-RFC-02: (1)
Is clear and unambiguous regarding what is required and who is required
to comply (planning coordinator); (2) has clear and objective measures
for compliance and achieves a reliability goal (namely, providing a
common framework for resource adequacy analysis, assessment, and
documentation) using one effective methodology, and (3) is ``more
stringent'' in that NERC's continent-wide standards currently do not
address assessment of resource adequacy in the planning horizon.
11. The Commission also denies the requests made by NARUC, Ohio
PUC, Borlick, and the Illinois Commerce Commission that the Commission
hold a technical conference in this proceeding to ``foster needed
dialogue'' by state regulatory commissions, economists, and
stakeholders regarding the one in ten years criterion. First, the
Commission finds that there is adequate information in the record in
this proceeding to act on NERC's Petition. Second, the more appropriate
venue to discuss technical details, such as the appropriateness of the
one day in ten years criterion compared with other methodologies, is in
the standards development process itself. The Commission's decision
here does not preclude other entities, such as NERC, from holding
technical conferences to foster further dialogue and to discuss
improvements in criteria used for resource planning.
12. The following discussion addresses first, the two challenges to
approval of BAL-502-RFC-02, the Commission's jurisdictional authority
to approve a resource adequacy assessment standard and the propriety of
using the one day in ten years criterion. As discussed below, on these
two issues the Commission determines first, that it is within our
authority to approve a resource adequacy assessment regional
Reliability Standard and, second, that the one day in ten years
criterion is a just and reasonable method to use to conduct resource
adequacy assessments for purposes of BAL-502-RFC-02. Next, the
Commission discusses the six issues on which we sought comment in the
NOPR. Finally, the Commission discusses the following remaining issues
related to BAL-502-RFC-02: (i) Missing time horizons, (ii) effective
date, (iii) regional definitions, and (iv) VRFs and VSLs.
A. Challenges To Approving BAL-502-RFC-02
13. NERC, RFC and other commenters support approval of regional
Reliability Standard BAL-502-RFC-02. NARUC and Ohio PUC raise concerns
regarding the Commission's jurisdiction to approve this regional
Reliability Standard. Commenters also raise concerns regarding the
appropriateness of the one day in ten years criterion. These issues are
discussed below.
1. Jurisdiction
Comments
14. NARUC and the Ohio PUC raise several jurisdictional arguments
regarding the Commission's authority under section 215 of the FPA to
approve regional Reliability Standard BAL-502-RFC-02. These comments
are endorsed by the Illinois Commerce Commission. NARUC and the Ohio
PUC argue that the Commission lacks jurisdiction under section 215 of
the FPA to approve a regional Reliability Standard that pertains to
resource adequacy, asserting that BAL-502-RFC-02 is, in reality, a
capacity requirement that RFC has couched as a planning tool. The Ohio
PUC quotes Order No. 672, in which the Commission stated: ``The
proposed Reliability Standard must address a reliability concern that
falls within the requirements of section 215 of the FPA. That is, it
must provide for the reliable operation of Bulk-Power System
[[Page 16253]]
facilities. It may not extend beyond reliable operation of such
facilities or apply to other facilities.'' \15\ The Ohio PUC and NARUC
argue that BAL-502-RFC-02 fails this parameter as it does not provide
for the reliable operation of Bulk-Power System facilities.
Specifically, they point to the definitions of ``Reliability Standard''
and ``Reliable Operation'' set forth in section 215 of the FPA, which
definitions they argue make clear that Congress did not intend for a
resource adequacy planning criterion to be the subject of a FPA section
215 Reliability Standard. They claim that the statutory definition of
``Reliability Standard,'' specifically precludes the Commission from
instituting any capacity requirements.\16\ They next posit that the
definition of ``Reliable Operation'' pertains to cascading outages, not
the orderly shedding of load due to a capacity shortage.\17\ The Ohio
PUC argues that a lack of adequate resources to serve all ``firm'' load
at current prices does not lead to ``instability, uncontrolled
separation, or cascading failures'' in the Bulk-Power System. Thus,
NARUC and Ohio PUC argue that BAL-502-RFC-02, which requires a resource
adequacy assessment, does not address a reliability concern as resource
adequacy issues are not relevant to the ``Reliable Operation'' of Bulk-
Power System facilities as that term is defined in section 215 of the
FPA.
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\15\ Ohio PUC Comments at 7, Order No. 672, FERC Stats. & Regs.
] 31,204 at P 331.
\16\ ``Reliability Standard'' is defined to mean ``a
requirement, approved by the Commission under this section, to
provide for reliable operation of the bulk-power system. The term
includes requirements for the operation of existing bulk-power
system facilities, including cybersecurity protection, and the
design of planned additions or modifications to such facilities to
the extent necessary to provide for reliable operation of the bulk-
power system, but the term does not include any requirement to
enlarge such facilities or to construct new transmission capacity or
generation capacity.'' 16 U.S.C. 824o(a)(3).
\17\ The term ``Reliable Operation,'' as defined in section
215(a)(4) of the FPA, means ``operating the elements of the bulk-
power system within equipment and electric system thermal, voltage,
and stability limits so that instability, uncontrolled separation,
or cascading failures of such system will not occur as a result of a
sudden disturbance, including a cybersecurity incident, or
unanticipated failure of system elements.''
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15. NARUC and Ohio PUC also contend that resource adequacy is a
traditional state concern that is outside of the Commission's domain.
They argue that both capacity requirements and resource adequacy
planning criteria involve economic and policy decisions that impact the
reasonableness of rates, generation decisions and retail demand
response programs, all of which are within the states' domain. The Ohio
PUC states that a Commission-mandated resource adequacy Reliability
Standard, such as BAL-502-RFC-02, infringes on a state's authority to
balance need for capacity investments against the risk of curtailments.
Following up on this point, the Ohio PUC states in a footnote that it
is unreasonable for anyone to argue that planning coordinators would
plan using one criterion and then use a different criterion to make the
economic determination of what resources should be acquired as doing so
would be a waste of the planning coordinator's time and resources.
16. NERC, RFC, and the PJM Power Providers respond to the
jurisdictional questions raised by NARUC and Ohio PUC in their reply
comments. In its Petition, NERC asserted that regional Reliability
Standard BAL-502-RFC-02 does not adversely affect competition or cause
restriction on the grid because it does not require entities to secure
the needed resources as an outcome of the planning coordinators
resource adequacy analysis. In their reply comments, NERC, RFC, and PJM
Power Providers reiterate that BAL-502-RFC-02 is consistent with the
provisions and stated goals of the Energy Policy Act of 2005.
17. NERC counters NARUC's and the Ohio PUC's comments, arguing that
section 215(a)(3), which contains the definition of ``Reliability
Standard,'' does not preclude NERC from including a resource adequacy
planning criterion. NERC states that the key distinction is between
NERC's ability to include resource adequacy planning criterion in a
Reliability Standard, which is clearly allowed under section 215(a)(3)
and prior Commission orders, and NERC's ability to require the building
or acquisition of new generating capacity, which is prohibited by
section 215(a)(3) of the FPA. To support this argument, NERC quotes
Order No. 672 in which the Commission stated:
We agree with PG&E's recommendation that the Commission require
the ERO to obtain information on resource adequacy and make related
recommendations where entities are found to have inadequate
resources. Resource adequacy is a fundamental aspect of reliability.
The ERO is in a unique position to obtain and analyze information
regarding resource adequacy across all regions of the Bulk-Power
System in interconnected North America. Although section 215(a)(3)
of the FPA provides that the term Reliability Standard does not
include any requirement to enlarge Bulk-Power System facilities or
to construct new transmission capacity or generation capacity, it
does not preclude the ERO from obtaining information relating to
resource adequacy for the purposes of making its required reports on
the adequacy of the Bulk-Power System pursuant to section 215(g) of
the FPA.\18\
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\18\ Order No. 672, FERC Stats. & Regs. ] 31,204 at P 806
(emphasis added).
NERC asserts that the common criterion established in regional
Reliability Standard BAL-502-RFC-02 to be used to complete a resource
adequacy assessment serves a reliability purpose as the ``common
criterion is necessary so that recommendations can be made in the [RFC]
Region regarding inadequate resource adequacy requirements that could
negatively impact the reliability of the bulk power system.'' \19\
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\19\ NERC Reply Comments at 5.
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18. RFC argues that Reliability Standards are not simply
engineering standards and that many Reliability Standards, like BAL-
502-RFC-02, involve long horizons and are intended to prevent the Bulk-
Power System from coming anywhere near ``instability, uncontrolled
separation, or cascading failures.'' As an example, RFC cites to NERC
Reliability Standard FAC-010, which requires planning authorities to
identify system operating limits (SOLs) and interconnection reliability
operating limits (IROLs) in the planning horizon. RFC also cites to
NERC Reliability Standard TPL-001, which requires that the transmission
system be able to supply projected customer demands over the range of
forecast system demands under no contingency conditions for the
planning horizon. With respect to proposed regional Reliability
Standard BAL-502-RFC-02, RFC states that the resource adequacy data
produced under the standard will be a ``valuable reliability tool that
can be used by registered entities in working to ensure, well in
advance of any identified concerns, that `instability, uncontrolled
separation, or cascading failures' never occur.'' \20\
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\20\ RFC Reply Comments at 11.
---------------------------------------------------------------------------
19. With respect to NARUC and the Ohio PUC's arguments that a
resource adequacy assessment standard will infringe on areas within a
state's jurisdiction, RFC responds that BAL-502-RFC-02 does not
encroach on the authority of the states to make the policy decisions
that weigh resource adequacy against cost. RFC notes that states within
the RFC region are free to use the data and documentation developed
under BAL-502-RFC-02 in imposing resource adequacy obligations and
making policy decisions regarding what level of service they are
willing to pay to achieve. RFC further asserts that each state
commission remains the ultimate arbiter of economic decisions regarding
how to balance capacity
[[Page 16254]]
investments against the risk of curtailment as no economic decisions of
any kind are mandated by BAL-502-RFC-02. RFC reiterates that the only
enforceable mandate under BAL-502-RFC-02 is the obligation to perform
and document the resource adequacy analysis in a consistent way across
the RFC region.
Commission Determination
20. As explained herein, the Reliability Standard before us does
not preclude or preempt any action by a state PUC with regard to
resource adequacy. As the Commission has previously recognized,
resource adequacy raises ``complex jurisdictional concerns'' which at
times are at the ``confluence of state-federal jurisdiction.'' \21\ As
the Commission stated in the order in which the Commission certified
NERC as the ERO, with respect to FPA section 215(g), ``Reliability
Reports'': \22\
\21\ Cal. Indep. Sys. Operator Corp., 116 FERC ] 61,274, at P
1112 (2006) (stating that resource adequacy affects the ability of
the operator of the interstate transmission grid to ensure reliable
service).
\22\ FPA section 215(g) provides that the ``ERO shall conduct
periodic assessments of the reliability and adequacy of the bulk-
power system in North America.'' 16 U.S.C. 824o(g) (emphasis added).
We agree * * * that the ERO's assessments of Bulk-Power System
reliability and adequacy cannot themselves provide the basis for
preempting state or regional transmission planning and resource
adequacy programs. The Commission can, however, order the ERO to
submit adequacy assessments, including recommendations that some
entities are found to have inadequate resources. In addition, our
regulations provide for a determination of consistency between state
actions and a Reliability Standard, as well as an assessment of the
Reliability Standard's effectiveness as the Commission may deem
---------------------------------------------------------------------------
appropriate.\23\
\23\ North American Electric Reliability Corporation, 116 FERC ]
61,062, at P 292 (2006) (citing Order No. 672, FERC Stats. & Regs. ]
31,204 at P 805-806).
Although the Commission was addressing the interplay between the
ERO's role with respect to resource adequacy assessments and states'
resource adequacy programs in the context of section 215(g), this
interplay is equally relevant to the ERO's role with respect to the
development of Reliability Standards because the Commission is
acknowledging that FPA section 215 establishes resource adequacy
assessments as being relevant to reliability and, further, that the
reliability aspect of resource adequacy assessments does not preempt
state action.
21. The Commission, by approving BAL-502-RFC-02, is not usurping,
intruding on, or preempting any authority exclusively within a state's
jurisdiction because, as recognized in Order No. 672, the FPA does not
reserve authority for the states over all matters related to or that
flow from ``resource adequacy.'' Moreover, the ``savings'' provision in
section 215, section 215(i)(3), is clear that nothing in section 215
shall be ``construed to preempt any authority of any State to take
action to ensure the safety, adequacy, and reliability of electric
service within that State, as long as such [State] action is not
inconsistent with any reliability standard.'' As we have clarified in a
prior order, the saving provision in section 215(i) is not a grant of
new authority to the states, but merely preserves any authority states
may have under state law ``to take action to ensure the safety,
adequacy, and reliability of electric service within that State, so
long as such action is not inconsistent with any reliability standard *
* * .'' \24\ Thus, we do not agree with NARUC or the Ohio PUC that the
approval of BAL-502-RFC-02 will impinge on states' jurisdiction over
matters related to resource adequacy. BAL-502-RFC-02 does not touch the
establishment of specific resource adequacy requirements, and thus does
not intrude on the state's decisional authority with respect to
building or acquisition of assets or capacity to meet resource adequacy
needs.
---------------------------------------------------------------------------
\24\ New York State Reliability Council, 122 FERC ] 61,153, at P
33 (2008) (emphasis added).
---------------------------------------------------------------------------
22. With respect to the Ohio PUC's argument that by approving a
regional Reliability Standard mandating the use of a specific resource
adequacy planning criterion (the one day in ten years criterion), the
Commission is establishing that criterion as the de facto criterion to
be used to set resource investment requirements, this argument appears
to be borne out of the Ohio PUC's concern regarding preserving its
authority to set resource adequacy standards. The standard does not
impinge on Ohio PUC's authority to set or determine how to meet
resource adequacy standards. Contrary to the Ohio PUC's concerns, the
Commission believes that establishing a common criterion for resource
planning will provide states with a uniform framework of information
regarding resource adequacy. The information the reliability
assessments provide would then be available to the states to use or
could serve as a platform on which to layer additional factors, such as
costs, as the states see fit.
23. The Commission also finds that the proposed resource adequacy
analyses and documentation requirements in BAL-502-RFC-02 fall within
the definition of ``Reliability Standard'' as that term is defined in
section 215(a)(3) and pertain to the ``Reliable Operation'' of the
Bulk-Power System as that term is defined in section 215(a)(4). Under
section 215(a)(3), the only type of requirement that is explicitly
precluded from being part of an enforceable Reliability Standard is a
``requirement to enlarge [bulk-power system facilities] or to construct
new transmission capacity or generation capacity.'' \25\ BAL-502-RFC-02
does not include any such requirement. Specifically, BAL-502-RFC-02
mandates planning, it does not require entities to secure any resources
as an outcome of the resource adequacy assessment.
---------------------------------------------------------------------------
\25\ 16 U.S.C. 824o(a)(3).
---------------------------------------------------------------------------
24. BAL-502-RFC-02 also falls within the definition of Reliability
Standard, as it provides for the reliable operation of the Bulk-Power
System because it serves to identify potential resource adequacy
deficiencies in a planning horizon with time to mitigate projected
resource adequacy problems before shortages of resources occur in the
operating horizon. Shortages of resources in the operating horizon can
lead to blackouts and even cascading outages. Under these conditions,
operators may be continually challenged to balance load with energy to
prevent major power or voltage swings across the grid that can lead to
blackouts and cascading outages. Because the standard does not
prescribe that action must be taken, entities with authority for
planning and siting new resources, including demand response resources
or any other resource type, can determine the appropriate course of
action, if any, that should be taken, including performing additional
resource adequacy studies. The standard therefore does not preclude or
preempt any action by a state commission with regard to resource
adequacy. The Ohio PUC argues that NERC and RFC ``conflate[] resource
adequacy with reliable operation of the Bulk-Power System,'' stating
that the definition of ``Reliable Operation'' cannot be enlarged and
manipulated to include planning to build such capacity.\26\ The
Commission finds that the Ohio PUC, in making this argument, is reading
into BAL-502-RFC-02 a requirement that registered entities within RFC
build or acquire new generating capacity. Such a requirement simply
does not exist in BAL-502-RFC-02.
---------------------------------------------------------------------------
\26\ Ohio PUC Comments at 5-6.
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[[Page 16255]]
25. Ohio PUC further argues that a lack of adequate resources to
serve firm load does not lead to ``instability, uncontrolled separation
or cascading failures,'' which are hallmarks of the term ``Reliable
Operation.'' We disagree with the Ohio PUC's interpretation of the
definition of ``Reliable Operation'' as stated in section 215. A more
careful reading reveals that the ``hallmarks'' of this term,
instability, uncontrolled separation or cascading failures, are not to
occur upon the unanticipated failure of a system element. If resources
cannot meet load, or are insufficient to provide a reserve margin above
expected load, then instability, uncontrolled separation or cascading
failures can result from the unanticipated loss of a system element. If
this situation occurs, reliable operation is not achieved due to
resource inadequacy. Thus, like other planning standards, BAL-502-RFC-
02 provides for the reliable operation of the Bulk-Power System as it
will help identify areas of concern that, if left unresolved, could
result in future instability, uncontrolled separation, or cascading
failures of the Bulk-Power System.
26. The only other affirmative limitation on the scope of
Commission-approved and enforceable Reliability Standards under FPA
section 215 is the savings clause in section 215(i)(2), which states:
``This section does not authorize the ERO or the Commission to order
the construction of additional generation or transmission capacity or
to set and enforce compliance with standards for adequacy or safety of
electric facilities or services.'' \27\ Regional Reliability Standard
BAL-502-RFC-02 does not set any resource adequacy standards.
Specifically, BAL-502-RFC-02 does not impose on any registered entity a
resource adequacy obligation because the standard contains no
requirement for an entity to construct or otherwise invest in
additional transmission, distribution, or generation resources or
capacity. Nothing in BAL-502-RFC-02 requires any entity to use or take
any action with respect to the resulting resource adequacy assessment.
Regional Reliability Standard BAL-502-RFC-02 only requires a resource
adequacy analysis and documentation of such analysis. Importantly, the
Commission is not, through BAL-502-RFC-02, setting, enforcing or in any
way mandating the resource adequacy levels that are derived through the
BAL-502-RFC-02 resource adequacy analyses. Accordingly, BAL-502-RFC-02
does not run afoul of the prohibitions in FPA sections 215(a)(3) or
215(i)(2).
---------------------------------------------------------------------------
\27\ 16 U.S.C. 824o(i)(2).
---------------------------------------------------------------------------
2. One Day in Ten Years Criterion
27. Regional Reliability Standard BAL-502-RFC-02 requires planning
coordinators to perform an annual resource adequacy analysis and
calculate a planning reserve margin that meets the ``one day in ten
years'' criterion.\28\ The analysis must be ``performed or verified
separately'' for: (i) Year one, (ii) for one year falling in the second
through fifth years, and (iii) at least one year in the sixth through
tenth years.\29\
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\28\ The ``one day in ten years'' criterion is used to plan
resource adequacy such that reserve margins are planned so that the
expected frequency of loss of load due to inadequate resources does
not exceed 0.1 events per year, which equates to one event in ten
years.
\29\ See proposed Reliability Standard BAL-502-RFC-02,
Requirement R1.2.
---------------------------------------------------------------------------
Comments
28. Several commenters expressed that the ``one day in ten years''
criterion is not economically efficient, is outdated, and is too
conservative of a requirement.\30\ OCC comments that the ``one day in
ten years'' criterion does not account for changes in the electric
industry such as markets, demand response, energy advancements,
distributed generation, energy efficiency or the smart grid. Thus, OCC
recommends that the Commission consider alternative planning reserve
margin methodologies rather than a conservative one day in ten years
methodology. The Ohio PUC argues that the one day in ten years
criterion has not been shown to be just and reasonable because: (1) The
criterion is outdated; (2) it may negatively impact competition such as
the development of price responsive demand; and (3) no analysis has
been done to confirm that a one day in ten years criterion produces a
reserve margin that reasonably balances the value of avoiding scarcity
and the cost of maintaining the target reserve margin.
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\30\ See Comments submitted by Borlick, Carden, OCC, Ohio PUC,
and Wilson.
---------------------------------------------------------------------------
29. Carden supports annual resource adequacy assessments that are
based on common criteria for reliability. Wilson comments that the
conservative assumptions in a one day in ten years analysis often lead
to less reliance on neighboring systems that results in excess
generation.
30. Responding to these criticisms of the one day in ten years
criterion, RFC points out that the only RFC stakeholder that voted
against the BAL-502-RFC-02 cast a negative vote because that
stakeholder favors implementing a continent-wide resource adequacy
planning standard rather than a regional standard. RFC asserts that the
one day in ten years criterion is just and reasonable because its use
will ensure, for the first time, that similar assessments of resource
adequacy are performed for every part of the RFC region, including in
states that have deregulated electric markets, which will provide a
consistent and mutually understandable target against which to assess
adequacy. RFC rejects as unreasonable, burdensome and unnecessary the
other commenters' suggestion that the one day in ten years criterion
must be first proven to balance the benefit of avoiding scarcity with
the cost of maintaining an appropriate reserve. RFC further notes that
even though the criterion used in regional Reliability Standard BAL-
502-RFC-02 could be improved in the future, that does not make the
standard unreasonable now. To that end, RFC encourages interested
parties to participate regularly in its regional Reliability Standards
development process as well as at its informal stakeholder meetings.
Commission Determination
31. The comments on this issue reveal a level of disagreement
regarding the appropriateness of using the ``one day in ten years''
criterion for an annual resource adequacy assessment. In approving this
regional Reliability Standard, the Commission need not determine that
the ``one day in ten years'' criterion represents the most effective or
most economically efficient method of measuring resource adequacy.
Rather, the Commission is to determine whether the proposed standard is
just and reasonable, not unduly discriminatory or preferential, and in
the public interest. Thus, in this case, the Commission considers
whether the requirements in BAL-502-RFC-02 are a just and reasonable
means of achieving the reliability objective of the standard. As noted
by RFC in its reply comments, the reliability objective of BAL-502-RFC-
02 is to provide a common framework for analyzing, assessing, and
documenting resource adequacy, in part to resolve RFC's concerns
regarding the lack of standardization and the lack of a measure for
resource adequacy in deregulated states within its footprint.\31\ The
Commission finds that BAL-502-RFC-02 achieves the reliability objective
of establishing a common criteria for analyzing, assessing and
documenting resource adequacy in a
[[Page 16256]]
just and reasonable manner through the imposition of the one day in ten
years criterion for measuring resource adequacy. The Commission
emphasizes that the one day in ten years criterion is one common
approach for resource adequacy assessment, and by approving this
regional Reliability Standard, the Commission does not establish the
one day in ten years criterion to be the de facto, or the only
acceptable metric for resource adequacy assessment. Rather, the
Commission is acknowledging that the one day in ten years criterion is
a well-established and common criterion for assessing resource
adequacy.\32\ The use of a known and understood criterion should result
in consistent, transparent and understandable resource adequacy
analyses within the RFC region, and thus meets the reliability goal of
establishing a common criterion to assess resource adequacy.
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\31\ RFC Reply Comment at 13.
\32\ See, e.g., Midwest Independent Transmission System
Operator, Inc., 122 FERC ] 61,283, at P 108 (2008) (accepting the
Midwest ISO's proposal to use the one day in ten years standard as
reasonable and consistent with industry standard); Devon Power LLC,
et al., 110 FERC ] 61,313, at P 8 (2005) (noting that the ISO-NE
uses as a regional planning criteria the one day in ten years
criterion); see also North American Electric Reliability Council,
Resource and Transmission Adequacy Task Force, Resource and
Transmission Adequacy Recommendations, June 15, 2004, available at
https://www.nerc.com/docs/docs/pubs/Resource_and_Transmission_Adequacy_Recommendations.pdf (survey of the criteria used for
resource adequacy planning during 2003-2004 timeframe showed that of
the eight regional reliability councils polled in the East, five use
the one day in ten years LOLE criteria); PJM Interconnection,
L.L.C., PJM Generation Adequacy Analysis: Technical Methods Capacity
Adequacy Planning Department, at 1 (October 2003), available at
https://www.nerc.com/docs/pc/ris/PJM_Generation_Adequacy_Analysis_Technical_Methods.pdf (stating ``This `one day in ten
year' loss-of-load expectation (LOLE) is the standard observed in
most NERC regions and is the basis for determining PJM's required
Installed Reserve Margin (IRM).'').
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32. The Commission does not disagree with commenters' arguments
that the one day in ten years criterion could be improved upon as an
assessment tool or replaced with another methodology, but this does not
mean that RFC's proposed one day in ten years criterion is unjust or
unreasonable. NERC endorsed the one day in ten years criterion in its
Petition, stating that ``experience has demonstrated that correlating
generating capacity and customer load in a `loss of load' methodology
with a target of `one day in 10 year' criterion has provided adequate
generating capacity in real time operation * * * to supply all customer
firm loads, even under extreme conditions.'' \33\ The Commission
further notes that approving this regional Reliability Standard with
the one day in ten years criterion does not prevent future changes or
improvements to this resource assessment methodology. Our approval of
BAL-502-RFC-02 does not prevent RFC or NERC from proposing other
methodologies from replacing the one day in ten years criterion to
assess resource adequacy and determine a level of planning reserve
margin necessary to maintain reliability of the Bulk-Power System.\34\
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\33\ NERC Petition at 10.
\34\ See e.g., Version One Regional Reliability Standard
Resource and Demand Balancing, 133 FERC ] 61,063, at P 30 (2010)
(Order No. 740) (remanding regional Reliability Standard BAL-002-
WECC-1).
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33. The only obligations under BAL-502-RFC-02 are analysis and
documentation requirements. This regional Reliability Standard does not
specify how the results of the analysis required in this standard are
to be used. For example, BAL-502-RFC-02 does not require state
commissions to use the resource assessment analysis resulting from BAL-
502-RFC-02 for economic decisions regarding resource adequacy
requirements. Thus, the Commission rejects the Ohio PUC's argument that
the one day in ten years criterion is unreasonable because the
criterion does not consider the economics of resource adequacy such as
the cost of additional resources or the value of energy to the
consumers whose service would be interrupted in the event of a
shortfall. Certainly, the BAL-502-RFC-02 assessments will be available
as a tool to help inform the policy decisions to determine the level of
service entities are willing to pay for and resource adequacy
requirements. However, the Commission repeats, these activities are not
required by this regional Reliability Standard.
34. In response to the Ohio PUC's claim that BAL-502-RFC-02 was
developed with limited visibility to and involvement by many of those
most involved in resource adequacy issues, e.g., state commissions and
economists, the Commission emphasizes that BAL-502-RFC-02 was developed
through an open and transparent process, allowing anyone with an
interest to participate.\35\ As documented by RFC, during the standard
development process, entities had multiple opportunities to express
concerns regarding anything related to the regional Reliability
Standard, including the one day in ten year criterion. The RFC
Reliability Standards Development Procedure (RSDP) also includes an
opportunity for submitting a ``standard authorization request'' to
suggest a modification to any regional Reliability Standard or
development of a new regional Reliability Standard. The Commission also
notes that RFC will review BAL-502-RFC-02 at least every five years,
thereby affording future opportunities for interested entities to
participate in these reviews.
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\35\ NERC Petition at 5-6, 19-21; RFC Reply Comments at 15-16.
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B. Issues Regarding Specific BAL-502-RFC-02 Requirements
35. In the NOPR, the Commission stated that it believes that the
factors or characteristics to be considered in the resource adequacy
analysis as set forth in Requirement R1 of BAL-502-RFC-02 are a
technically sound means to set up the analysis for ascertaining the
probability of not having enough resources in order to meet demand and
avoid loss of load. In addition, the Commission sought clarification
regarding three aspects of the resource adequacy analysis: (i) The loss
of load calculation, (ii) use of capacity benefit margin; and (iii) the
meaning of common mode outages.
1. Loss of Load Calculation
36. Regional Reliability Standard BAL-502-RFC-02, Requirement R1.1
states that the planning coordinator's assessment shall calculate a
planning reserve margin that results in the sum of probabilities for
loss of load for each planning year equal to 0.1, or comparable to
``one day in ten years'' when available capacity will not meet the
load. With respect to the loss of load calculation, BAL-502-RFC-02
specifically identifies two circumstances that do not contribute to the
loss of load probability: (1) Utilization of direct control load
management \36\ and (2) curtailment of interruptible load.\37\
Notwithstanding these two exceptions to the loss of load probability,
the Commission sought comment on how other system operator actions,
such as voltage reduction or other, non-voluntary types of load
reduction plans, would be modeled and documented in this analysis.\38\
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\36\ NERC defines direct control load management (DCLM) as
``Demand-Side Management that is under the direct control of the
system operator. DCLM may control the electric supply to individual
appliances or equipment on customer premises. DCLM as defined here
does not include Interruptible Demand.'' Glossary of Terms Used in
NERC Reliability Standards, April 20, 2010 (NERC Glossary),
available at: https://www.nerc.com/docs/standards/rs/Glossary_of_Terms_2010April20.pdf.
\37\ The NERC Glossary defines Interruptible Load as ``Demand
that the end-use customer makes available to its Load-Serving Entity
via contract or agreements for curtailment.''
\38\ NOPR, FERC Stats. & Regs. ] 32,662 at P 18.
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Comments
37. RFC and Midwest ISO comment that real-time operating actions,
like voltage reductions or other non-
[[Page 16257]]
voluntary types of load reduction plans are not intended to be included
in the BAL-502-RFC-02 assessment. RFC and Midwest ISO explain that
these types of load reduction are only considered during the operating
horizon and are not included in planning time frame assessments to
comply with requirements associated with the planning horizon.
38. Borlick, Midwest ISO, OCC, Ohio PUC and Wilson comment on
various demand side resources and their inclusion or exclusion from the
BAL-502-RFC-02 resource adequacy assessment. Borlick comments that
price responsive demand should not be counted both in Requirement
R1.3.1 (load forecast characteristics) \39\ and in Requirement R1.4
(resource availability characteristics).\40\ Midwest ISO states that
the regional Reliability Standard does not limit which demand response
programs are excluded from the loss of load calculation, thereby
allowing for, not preventing, future innovations in demand side
programs. OCC asserts that the NOPR and BAL-502-RFC-02 imply that
voluntary curtailment services, including demand response, are
completely excluded from consideration in the loss of load calculation.
OCC further argues that complete exclusion of voluntary curtailment
service from the loss of load calculation would undervalue demand
response resources. OCC states that demand response resources should be
taken into account in the loss of load calculation because they reduce
the need for additional capacity. Accordingly, OCC urges the Commission
to require including historical demand response rates for resources in
the loss of load calculation. The Ohio PUC comments that price
responsive demand is not accounted for in this regional Reliability
Standard. Last, Wilson notes that approving BAL-502-RFC-02 could
actually prevent demand response or price responsive demand from
developing.
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\39\ BAL-502-RFC-1, Requirement R1.3.1 sets forth the load
forecast characteristics that are to be included and documented in
the resource adequacy analysis. Specifically, Requirement R1.3.1
identifies the following six load forecast characteristics: (1)
Median (50:50) forecast peak load; (2) load forecast uncertainty;
(3) load diversity; (4) seasonal load variations; (5) daily demand
modeling assumptions; and (6) contractual arrangements concerning
curtailable/interruptible demand.
\40\ BAL-502-RFC-1, Requirement R1.4 requires the consideration
in the resource adequacy analysis of eight resource availability
characteristics and documentation of how and why they were included
in the analysis or why they were not included. The resource
availability characteristics include: (1) Availability and
deliverability of fuel; (2) common mode outages that affect resource
availability; (3) environmental or regulatory restrictions of
resource availability; (4) any other demand (load) response programs
not included in R1.3.1; (5) sensitivity to resource outage rates;
(6) impacts of extreme weather/drought conditions that affect unit
availability; (7) modeling assumptions for emergency operation
procedures used to make reserves available; and (8) market resources
not committed to serving load within the planning coordinator area.
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Commission Determination
39. Based on the Midwest ISO and RFC comments, the Commission
accepts that for planning assessments conducted under BAL-502-RFC-02,
typical system operator actions, such as voltage reduction or other
non-voluntary types of load reduction plans should not be included
given that they pertain to the operating, not planning, horizon. The
Commission agrees with Borlick's comment, and emphasizes that any type
of demand response program, including price responsive demand, should
not be represented twice in the assessment under both Requirement
R1.3.1 and Requirement R1.4. The clause contained in Requirement R1.4
for considering ``Any other demand (Load) response programs not
included in R1.3.1'' (emphasis added) is sufficient to prevent any
responsible entity from counting any type of demand response program
multiple times within this assessment.
40. The Commission also agrees with Midwest ISO's comment that BAL-
502-RFC-02's requirements are not so restrictive that they would limit
any specific types of demand response programs from being included in
the BAL-502-RFC-02 assessment. Contrary to the comments from OCC, Ohio
PUC and Wilson, the requirements for conducting the BAL-502-RFC-02
assessment are general enough to include interruptible loads, voluntary
curtailment services, price responsive demand, and other types of
demand response programs, and therefore would not hinder the
development of new programs or technologies related to demand-side
resources. Regarding OCC's comment that BAL-502-RFC-02 completely
excludes voluntary curtailment services from consideration in the loss
of load calculation, thus undervaluing demand response, the Commission
notes that demand response is addressed elsewhere in the assessment.
While Requirement R1.1.1 makes clear that utilization of direct control
load management or curtailment of interruptible demand shall not
contribute to the loss of load probability, Requirement R1.1.1 does not
prevent demand related resources from being considered under other
parts of the assessment, such as under Requirement R1.3.1 or R1.4.
41. Specifically, the Commission agrees with OCC that historical
demand response rates or performance should be considered in the BAL-
502-RFC-02 assessment to determine the effectiveness of a demand
response program and typical performance achieved by the demand
response program. Assessing how resources, including demand side
resources, have performed in the past, how a resource's performance
changed over time, and how a resource's performance varied under
different scenarios is an effective way to estimate how the resource
might perform under the conditions considered for the analysis. To that
end, the Commission notes that BAL-502-RFC-02, Requirement R1.3.2
includes ``historical resource performance and any projected changes''
as one of the resource characteristics to be considered in performing
the resource adequacy analysis. Similarly, Requirement R1.4 requires
consideration of resource availability characteristics of ``any other
demand (Load) response programs not included in R1.3.1,'' which could
include historical performance of such demand response programs.
Requirement R1.4 also requires the planning coordinator to document how
and why each resource availability characteristic was included in the
analysis, or why the characteristic was not included.
42. Based on the foregoing, the Commission affirms that the loss of
load calculation performed under Requirement R1.1 of BAL-502-RFC-02
does not include typical system operator actions or non-voluntary types
of load loss. The Commission further notes that demand response
programs should be considered under aspects of a BAL-502-RFC-02
resource adequacy assessment, specifically under either R1.3.1 or R1.4
as appropriate.
2. Use of Capacity Benefit Margin
43. With respect to the capacity benefit margin (CBM), the
Commission in the NOPR noted that the requirements do not explicitly
state whether planning coordinators may rely upon CBM \41\ to satisfy
BAL-502-RFC-
[[Page 16258]]
02's requirements. During the standard development posting period, RFC
received comments regarding potential conflicts or lack of coordination
between BAL-502-RFC-02 and the continent-wide NERC Reliability Standard
MOD-004-1--Capacity Benefit Margin.\42\ The Commission stated in the
NOPR that it does not believe that BAL-502-RFC-02 conflicts with NERC
Reliability Standard MOD-004-1. However, the Commission noted that
there could be some confusion regarding whether CBM could or could not
be used in order to meet the requirements of BAL-502-RFC-02,\43\ and
sought comment on the issue.
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\41\ NOPR, FERC Stats. & Regs. ] 32,662 at P 19. The NERC
Glossary defines capacity benefit margin (CBM) as ``the amount of
firm transmission transfer capability preserved by the transmission
provider for Load-Serving Entities (LSE), whose loads are located on
that Transmission Service Provider's system, to enable access by the
LSEs to generation from interconnected systems to meet generation
reliability requirements. Preservation of CBM for an LSE allows that
entity to reduce its installed generating capacity below that which
may otherwise have been necessary without interconnections to meet
its generation reliability requirements. The transmission transfer
capability preserved as CBM is intended to be used by the LSE only
in times of emergency generation deficiencies.'' Glossary of Terms
Used in NERC Reliability Standards, April 20, 2010, available at:
https://www.nerc.com/docs/standards/rs/Glossary_of_Terms_2010April20.pdf.
\42\ See NERC Petition, Exhibit C, Comments from ITC
Transmission.
\43\ NOPR, FERC Stats. & Regs. ] 32,662 at P 19. Reliability
Standard MOD-004-1 addresses CBM, or a capacity preserved for firm
transmission transfer capability. Conversely, the Requirements in
proposed Reliability Standard BAL-502-RFC-02 address an analysis
regarding the capability of generation to serve the projected load.
While CBM could be a method of meeting the Requirements of BAL-502-
RFC-02, the two Reliability Standards do not contradict each other.
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Comments
44. Carden, Midwest ISO, RFC and Wilson responded to the
Commission's question regarding utilization of CBM to meet BAL-502-RFC-
02's requirements. Carden and Wilson support allowing CBM to be used to
meet the requirements for the planning reserve margins. Midwest ISO
comments that BAL-502-RFC-02 correctly neither excludes nor includes
the use of CBM to meet the requirements. RFC states that CBM alone
cannot satisfy the regional Reliability Standard.
Commission Determination
45. Based on these comments, the Commission understands and agrees
that the intent of BAL-502-RFC-02 is that while CBM may be used to meet
the requirements, it is not mandatory to include CBM in the assessment.
The Commission also understands and agrees, as RFC stated, that CBM
cannot be the only source assessed in order to satisfy BAL-502-RFC-02's
requirements.
3. Meaning of Common Mode Outages
46. With respect to Requirement R1.4, which requires the resource
adequacy analysis to consider resource availability characteristics
including ``common mode outages that affect resource availability,''
the Commission sought comment on whether planning coordinators, when
evaluating ``common mode outages that affect resource availability''
will consider only outages within the generation facility, or if the
analysis will also consider outages of transmission facilities that
would have an impact on resource or generator availability.\44\
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\44\ NOPR, FERC Stats. & Regs. ] 32,662 at P 20.
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Comments
47. Both Midwest ISO and RFC agree that Requirement R1.4 only
explicitly requires common mode outages of resources, but does not
limit the consideration of transmission outages that could affect
resource deliverability. Midwest ISO further explains that Requirements
R1.3.3 and R1.3.4 \45\ apply to transmission facilities within and
outside of the planning coordinator area and these requirements
properly allow for the inclusion and documentation of consideration of
common mode outages within a study, while not explicitly requiring the
consideration of common mode outages.
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\45\ Requirements R1.3.3 and R1.3.4 list items that must be
considered in conducting the BAL-502-RFC-02 resource adequacy
analysis. R1.3.3 refers to transmission limitations that prevent the
delivery of generation reserves. R1.3.4 refers to assistance from
other interconnected systems including multi-area assessment
considering transmission limitations into the study area.
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Commission Determination
48. Based on the RFC and Midwest ISO comments, the Commission
understands that common mode outages discussed in Requirement R1.4 do
not explicitly require consideration of transmission facility outages.
Notwithstanding that Requirement R1.4 does not explicitly require
consideration of transmission facility outages, the Commission agrees
with the Midwest ISO that nothing in the standard limits a planning
coordinator's flexibility to consider such outages.
49. Consistent with Midwest ISO comments, the Commission
understands Requirements R1.3.3 and R1.3.4 apply to transmission
facilities, specifically documenting transmission limitations that
would prevent the delivery of generation reserves and considering
transmission limitations impacting assistance from other interconnected
systems. These transmission limitations could include, but do not
explicitly require, outage assessments of transmission facilities that
would result in preventing delivery of generation reserves. The
Commission notes that the outage assessment would likely benefit from
analyzing transmission facility outages that would directly impact the
ability to deliver resources to demand, or decrease the amount of
resources delivered to an area from interconnected systems. Not all
transmission facilities would need to be included in the assessment as
many individual transmission facilities would have minimal impact on
resource deliverability. Thus, determining which transmission outages
to assess would require some engineering judgment to determine the
impact of the transmission outage on resource deliverability. The
Commission encourages planning coordinators to consider transmission
outages to determine which, if any, transmission outages have the
greatest impact on delivery of resources and to include those limiting
elements when evaluating common mode outages.
C. Other Issues Raised in NOPR
1. Missing Time Horizons
50. The NERC Petition explained