Protection System Maintenance Reliability Standard, 43987-43994 [2014-17230]
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Federal Register / Vol. 79, No. 145 / Tuesday, July 29, 2014 / Proposed Rules
YC121, YC301, YC302, YC321 through
YC330 inclusive, YC381, YC401 through
YC403 inclusive, YC501, YC502, and YE001
through YE003 inclusive: This paragraph
provides credit for the actions required by
paragraph (h) of this AD, if those actions
were performed before the effective date of
this AD using Boeing Alert Service Bulletin
737–31A1332, Revision 2, dated August 18,
2011.
(4) For Group 21, Configuration 2 airplanes
identified in Boeing Alert Service Bulletin
737–31A1332, Revision 3, dated March 28,
2012: This paragraph provides credit for the
actions required by paragraph (h) of this AD,
if those actions were performed before the
effective date of this AD using Boeing Alert
Service Bulletin 737–31A1332, Revision 2,
dated August 18, 2011, and provided that the
actions specified in Boeing Service Bulletin
737–21–1171, dated February 12, 2009, were
accomplished prior to or concurrently with
the actions specified in Boeing Alert Service
Bulletin 737–31A1332, Revision 2, dated
August 18, 2011.
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(k) New Requirements to This AD:
Exceptions to the Service Information
(1) Where Boeing Special Attention Service
Bulletin 737–21–1164, Revision 2, dated
August 23, 2013, specifies to contact Boeing
for instructions: Before further flight, repair
using a method approved in accordance with
the procedures specified in paragraph (l) of
this AD.
(2) Where Boeing Alert Service Bulletin
737–31A1325, Revision 1, dated July 5, 2012,
specifies to contact Boeing for instructions:
Before further flight, repair using a method
approved in accordance with the procedures
specified in paragraph (l) of this AD.
(l) Alternative Methods of Compliance
(AMOCs)
(1) The Manager, Seattle Aircraft
Certification Office (ACO), FAA, has the
authority to approve AMOCs for this AD, if
requested using the procedures found in 14
CFR 39.19. In accordance with 14 CFR 39.19,
send your request to your principal inspector
or local Flight Standards District Office, as
appropriate. If sending information directly
to the manager of the ACO, send it to the
attention of the person identified in
paragraph (m)(1) of this AD. Information may
be emailed to: 9-ANM-Seattle-ACO-AMOCRequests@faa.gov.
(2) Before using any approved AMOC,
notify your appropriate principal inspector,
or lacking a principal inspector, the manager
of the local flight standards district office/
certificate holding district office.
(3) An AMOC that provides an acceptable
level of safety may be used for any repair
required by this AD if it is approved by the
Boeing Commercial Airplanes Organization
Designation Authorization (ODA) that has
been authorized by the Manager, Seattle
ACO, to make those findings. For a repair
method to be approved, the repair must meet
the certification basis of the airplane, and the
approval must specifically refer to this AD.
(4) AMOCs approved for AD 2012–19–11,
Amendment 39–17206 (77 FR 60296, October
3, 2012), are approved as AMOCs for the
corresponding provisions of this AD.
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(m) Related Information
(1) For more information about this AD,
contact Francis Smith, Aerospace Engineer,
Cabin Safety and Environmental Systems
Branch, ANM–150S, FAA, Seattle Aircraft
Certification Office, 1601 Lind Avenue SW.,
Renton, WA 98057–3356; phone: 425–917–
6596; fax: 425–917–6590; email:
Francis.Smith@faa.gov.
(2) For service information identified in
this AD, contact Boeing Commercial
Airplanes, Attention: Data & Services
Management, P.O. Box 3707, MC 2H–65,
Seattle, WA 98124–2207; telephone 206–
544–5000, extension 1; fax 206–766–5680;
Internet https://www.myboeingfleet.com. You
may view this referenced service information
at the FAA, Transport Airplane Directorate,
1601 Lind Avenue SW., Renton, Washington.
For information on the availability of this
material at the FAA, call 425–227–1221.
Issued in Renton, Washington, on July 16,
2014.
John P. Piccola,
Acting Manager, Transport Airplane
Directorate, Aircraft Certification Service.
[FR Doc. 2014–17781 Filed 7–28–14; 8:45 am]
BILLING CODE 4910–13–P
DEPARTMENT OF ENERGY
Federal Energy Regulatory
Commission
18 CFR Part 40
[Docket No. RM14–8–000]
Protection System Maintenance
Reliability Standard
Federal Energy Regulatory
Commission, Energy.
ACTION: Notice of proposed rulemaking.
AGENCY:
Pursuant to the section
regarding Electric Reliability of the
Federal Power Act, the Commission
proposes to approve a revised
Reliability Standard, PRC–005–3
(Protection System and Automatic
Reclosing Maintenance). In addition, the
Commission proposes to approve one
new definition and six revised
definitions referenced in the proposed
Reliability Standard, the assigned
violation risk factors and violation
severity levels, and NERC’s proposed
implementation plan. Consistent with
Order No. 758, the proposed Reliability
Standard requires applicable entities to
test and maintain certain autoreclosing
relays as part of a protection system
maintenance program. The Commission
also proposes to direct NERC to submit
a report based on actual performance
data, and simulated system conditions
from planning assessments, two years
after the effective date of the proposed
standard, which addresses whether the
SUMMARY:
PO 00000
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proposed Reliability Standard applies to
an appropriate set of autoreclosing
relays that can affect Bulk-Power
System reliability. Further, the
Commission proposes to direct NERC to
modify the proposed Reliability
Standard to include maintenance and
testing of supervisory relays, as
discussed below.
DATES: Comments are due September
29, 2014.
ADDRESSES: Comments, identified by
docket number, may be filed in the
following ways:
• Electronic Filing through https://
www.ferc.gov. Documents created
electronically using word processing
software should be filed in native
applications or print-to-PDF format and
not in a scanned format.
• Mail/Hand Delivery: Those unable
to file electronically may mail or handdeliver comments to: Federal Energy
Regulatory Commission, Secretary of the
Commission, 888 First Street NE.,
Washington, DC 20426.
Instructions: For detailed instructions
on submitting comments and additional
information on the rulemaking process,
see the Comment Procedures Section of
this document.
FOR FURTHER INFORMATION CONTACT:
Tom Bradish (Technical Information),
Office of Electric Reliability, Federal
Energy Regulatory Commission, 888
First Street NE., Washington, DC
20426, (301) 665–1391, Tom.Bradish@
ferc.gov.
Julie Greenisen (Legal Information),
Office of the General Counsel, Federal
Energy Regulatory Commission, 888
First Street NE., Washington, DC
20426, (202) 502–6362,
julie.greenisen@ferc.gov.
SUPPLEMENTARY INFORMATION:
1. Pursuant to section 215 of the
Federal Power Act (FPA),1 the
Commission proposes to approve a
revised Reliability Standard, PRC–005–
3 (Protection System and Automatic
Reclosing Maintenance). In addition, the
Commission proposes to approve one
new definition and six revised
definitions referenced in the proposed
Reliability Standard, the assigned
violation risk factors and violation
severity levels, and NERC’s proposed
implementation plan. Consistent with
Order No. 758,2 the proposed Reliability
Standard requires applicable entities to
test and maintain certain autoreclosing
relays as part of a protection system
maintenance program. The Commission
1 16
U.S.C. 824o (2012).
of Protection System Reliability
Standard, Order No. 758, 138 FERC ¶ 61,094,
clarification denied, 139 FERC ¶ 61,227 (2012).
2 Interpretation
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also proposes to direct NERC to submit
a report based on actual performance
data, and simulated system conditions
from planning assessments, two years
after the effective date of the proposed
standard, which addresses whether the
proposed Reliability Standard applies to
an appropriate set of autoreclosing
relays that can affect Bulk-Power
System reliability. Further, the
Commission proposes to direct NERC to
modify the proposed Reliability
Standard to include maintenance and
testing of supervisory relays, as
discussed below.
I. Background
A. Regulatory Background
2. Section 215 of the FPA requires a
Commission-certified Electric
Reliability Organization (ERO) to
develop mandatory and enforceable
Reliability Standards, subject to
Commission review and approval.3
Once approved, the Reliability
Standards may be enforced by the ERO
subject to Commission oversight, or by
the Commission independently.4 In
2006, the Commission certified NERC as
the ERO pursuant to FPA section 215.5
3. In 2007, in Order No. 693, the
Commission approved an initial set of
Reliability Standards submitted by
NERC, including initial versions of four
protection system and load-sheddingrelated maintenance standards: PRC–
005–1, PRC–008–0, PRC–011–0, and
PRC–017–0.6 In addition, the
Commission directed NERC to develop
a revision to PRC–005–1 incorporating a
maximum time interval during which to
conduct maintenance and testing of
protection systems, and to consider
combining into one standard the various
maintenance and testing requirements
for all of the maintenance and testingrelated Reliability Standards for
protection systems, underfrequency
load shedding (UFLS) equipment and
undervoltage load shedding (UVLS)
equipment.
4. The Commission issued Order No.
758 in February 2012, in response to
NERC’s request for approval of its
interpretation of Requirement R1 of the
then-current version of protection
system maintenance standard, PRC–
005–1. The Commission accepted
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3 16
U.S.C. 824o(c) and (d).
id. 824o(e).
5 North American Electric Reliability Corp., 116
FERC ¶ 61,062, 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).
6 Mandatory Reliability Standards for the BulkPower System, Order No. 693, FERC Stats. & Regs.
¶ 31,242 at PP 1474, 1492, 1497, and 1514, order
on reh’g, Order No. 693–A, 120 FERC ¶ 61,053
(2007).
4 See
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NERC’s proposed interpretation of PRC–
005–1, which identified the types of
protection system equipment to which
the Reliability Standard applied. In
addition, the Commission directed
NERC to develop modifications to the
standard to address gaps highlighted by
the proposed interpretation, including
the need to address reclosing relays that
may affect the reliability of the BulkPower System.7
5. In the discussion surrounding that
directive, the Commission described
certain scenarios where reclosing relays
might impact reliability,8 but recognized
that it may not be appropriate to include
all applications of autoreclosing relays
in the protection system maintenance
standard:
The NOPR raised a concern that excluding
the maintenance and testing of reclosing
relays that can exacerbate fault conditions
when not properly maintained and
coordinated will result in a gap affecting
Bulk-Power System reliability. We agree with
MidAmerican that while there are only
limited circumstances when a reclosing relay
can actually affect the reliability of the BulkPower System, there are some reclosing
relays, e.g., whose failure to operate or that
misoperate during an event due to lack of
maintenance and testing, may negatively
impact the reliability of the Bulk-Power
System.
. . .
In the NOPR we stated that a misoperating
or miscoordinated reclosing relay may result
in the reclosure of a Bulk-Power System
element back onto a fault or that a
misoperating or miscoordinated reclosing
relay may fail to operate after a fault has been
cleared, thus failing to restore the element to
service. As a result, the reliability of the
Bulk-Power System would be affected. In
addition, misoperated or miscoordinated
relays may result in damage to the BulkPower System. For example, a misoperation
or miscoordination of a reclosing relay
causing the reclosing of Bulk-Power System
facilities into a permanent fault can subject
generators to excessive shaft torques and
winding stresses and expose circuit breakers
to systems conditions less than optimal for
correct operation, potentially damaging the
circuit breaker.9
6. Prior to issuance of Order No. 758,
NERC had begun development of
approved interpretation stated:
Request R3: Does R1 require maintenance and
testing of transmission line re-closing relays?
Response: No. ‘Protective Relays’ refer to devices
that detect and take action for abnormal conditions.
Automatic restoration of transmission lines is not
a ‘protective’ function.
Order No. 758, 138 FERC ¶ 61,094 at P 7.
8 The Commission referred to one incident
involving the misoperation or poor coordination of
reclosing relays that ultimately resulted in the loss
of over 4,000 MW of generation and multiple 765
kV lines, to illustrate the effect reclosing relays can
have on the reliability of the Bulk-Power System.
See Order No. 758, 138 FERC ¶ 61,094 at P 23 and
n.32.
9 Id. PP 23–24 (footnotes excluded).
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7 The
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revisions to its initial maintenance
standards for protection systems and
underfrequency and undervoltage load
shedding equipment in response to the
Order No. 693 directives. Those
revisions, reflected in a consolidated
Reliability Standard, PRC–005–2, were
approved by the Commission on
December 24, 2013.10 In the order
approving PRC–005–2, the Commission
found that the revised standard
represented an improvement over the
four standards it would replace because
it incorporated specific, required
minimum maintenance activities and
maximum time intervals for
maintenance of individual components
of the protection systems and load
shedding equipment affecting the bulk
electric system.11
B. NERC Petition and Proposed
Standard PRC–005–3
7. On February 14, 2014, NERC
submitted a petition seeking approval of
proposed Reliability Standard PRC–
005–3, developed in response to the
Order No. 758 directive to include
maintenance and testing of reclosing
relays that can affect the reliable
operation of the Bulk-Power System.12
In its petition, NERC maintains that the
proposed standard promotes reliability
by making certain reclosing relays
subject to a mandatory maintenance
program, including adding detailed
tables of minimum maintenance
activities and maximum maintenance
intervals for the reclosing relays. NERC
explains that the purpose of PRC–005–
3 is to ‘‘document and implement
programs for the maintenance of all
Protection Systems and Automatic
Reclosing affecting the reliability of the
Bulk Electric System so that they are
kept in working order.’’ 13
8. NERC explains that the subset of
reclosing applications included in
proposed PRC–005–3 is based on the
findings of a technical study performed,
in response to Order No. 758, by NERC’s
System Analysis and Modeling
Subcommittee (SAMS) and System
Protection and Control Subcommittee
(SPCS). The resulting study (the Joint
Committee Report) is attached to
NERC’s petition as Exhibit D, and
examines both the scope of reclosing
relays that could affect the reliable
operation of the Bulk-Power System and
appropriate maintenance intervals and
activities for those relays.14
10 Protection System Maintenance Reliability
Standard, Order No. 793, 145 FERC ¶ 61,253
(2013).
11 Id. P 2.
12 See NERC Petition at 2, 7.
13 Id. at 8.
14 See id. at 3.
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9. In its petition, NERC explains that
reclosing relays are ‘‘utilized on
transmission systems to restore
elements to service following automatic
circuit breaker tripping,’’ and are
‘‘typically installed to lessen the burden
on Transmission operators of manually
restoring transmission lines.’’15 NERC
explains that ‘‘while more efficient
restoration of transmission lines
following temporary faults does provide
an inherent reliability benefit, certain
applications of reclosing relays can
result in undesired relay operation or
operation not consistent with relay
design, leading to adverse reliability
impacts.’’16 After examining these
potential reliability impacts, the Joint
Committee Report recommended that
the revised standard should:
(1) Explicitly address maintenance and
testing of reclosing relays applied as an
integral part of a Special Protection System;
and (2) include maintenance and testing of
reclosing relays at or in proximity to
generating plants at which the total installed
capacity is greater than the capacity of the
largest generating unit within the Balancing
Authority Area.17
In addition, NERC explains that the
Joint Committee Report recommended
that ‘‘proximity’’ to these large
generators be defined as ‘‘substations
one bus away if the substation is within
10 miles of the plant.’’ 18
10. The Joint Committee Report
recommendations are reflected in
proposed Reliability Standard PRC–
005–3, which now includes the
following among the applicable
facilities:
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4.2.6.1 Automatic Reclosing applied on
terminals of Elements connected to the BES
bus located at generating plant substations
where the total installed gross generating
plant capacity is greater than the gross
capacity of the largest BES generating unit
within the Balancing Authority Area.
4.2.6.2 Automatic Reclosing applied on
the terminals of all BES Elements at
substations one bus away from generating
plants specified in Section 4.2.6.1 when the
substation is less than 10 circuit-miles from
the generating plant substation.
4.2.6.3 Automatic Reclosing applied as an
integral part of an SPS specified in Section
4.2.4.19
15 Id. at 9 (citations to Joint Committee Report
omitted).
16 Id.
17 Id. at 10.
18 Id.
19 Id., Ex. A at 1–2. In addition, relays that would
otherwise be subject to the proposed standard
under sections 4.2.6.1 and 4.2.6.2 ‘‘may be excluded
if the equipment owner can demonstrate that a
close-in three-phase fault present for twice the
normal clearing time . . . does not result in a total
loss of gross generation in the Interconnection
exceeding the gross capacity of the largest BES
generating unit within the Balancing Authority
Area.’’
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11. NERC explains that the Joint
Committee Report examined two areas
of concern, based on the Commission’s
statements in Order No. 758.
Specifically, the Joint Committee
examined (1) situations in which
reclosing relays fail to operate when
required to maintain Bulk-Power
System reliability, and (2) situations in
which reclosing relays operate in a
manner not consistent with design,
adversely affecting reliability.20 As for
the first category, NERC explains the
Joint Committee Report recognized that
‘‘[b]ecause the potential for permanent
power system faults exists for any
application, it is not possible to depend
on successful reclosing relay operation
as a sole means to guarantee reliability
or satisfy the Requirements contained in
Reliability Standards.’’ 21 However, the
Joint Committee Report recognized one
exception, where reclosing relays are
included as an integral part of a Special
Protection System. Accordingly, NERC
proposes to include reclosing relays of
Special Protection Systems under the
revised standard’s maintenance
requirements, under Applicability
section 4.2.6.3.
12. With respect to the second
category examined by the committees,
i.e., situations in which reclosing relays
operate in a manner not consistent with
design, NERC notes that the Joint
Committee Report found that
‘‘premature reclosing has the potential
to cause generating unit or plant
instability,’’ and that there could be an
impact on the reliable operation of the
Bulk-Power System if the loss of
generating resources exceeds the largest
unit within the Balancing Authority
Area.22 NERC explains that reclosing at
transmission substations may affect the
stability of generating units when
applied in proximity to a generating
plant, and that the Joint Committee
Report therefore recommended
including reclosing relays applied one
bus away from these same generating
stations when the substation is less than
10 circuit-miles from the applicable
generating plant substation. The Joint
Committee Report indicated that
generating units generally exhibit a
stable response to a bus fault at the
high-side of the generator step-up
transformer if the fault location is on the
order of one mile, but recommended a
10-mile threshold in order to
incorporate a significant safety factor.23
13. As NERC explains in its petition,
NERC staff conducted its own analysis
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of this definition of ‘‘proximity,’’ ‘‘to
verify that the 10-mile threshold
provides adequate margin to ensure
maintenance and testing of all reclosing
relays where failure could result in
generating station instability.’’ 24
According to NERC, it performed tests at
the high-voltage switchyard for 145
lines at 50 generating stations, using a
sampling of generating stations and
simulating a three-phase fault on each
line. In addition, faults were simulated
for a duration that NERC maintains
‘‘conservatively represents’’ two times
the normal clearing time for a threephase fault.25 NERC states that this test
‘‘approximates the response if a
transmission line circuit breaker is
reclosed into a fault without any time
delay due to a reclosing relay failure.’’ 26
14. NERC found that the generating
unit response was stable for 110 of the
close-in faults; stable for faults at one
mile from the generation station for 22
of the remaining 35 lines; and stable for
faults five miles from the station for 10
of the remaining 13 lines. For the three
remaining cases, two were associated
with two transmission lines of
approximately 120 miles leaving the
same generating station. NERC indicates
that it repeated its analysis at each
remote bus at the remote terminal of
those lines, and found that the
generating units were stable for close-in
three-phase faults on each line. The
third case involved a two-mile line, and
resulted in instability of the generating
units for faults anywhere on the line. On
further testing, NERC found that the
generating units remained stable for
close-in faults on each of the lines
terminating at the remote bus of the
two-mile line, ‘‘confirming that the
criterion is conservative.’’ 27
15. NERC proposes modifications to
the language of Requirements R1, R3
and R4 of PRC–005–2 to reflect the
inclusion of automatic reclosing
relays.28 NERC also proposes to include
a new definition as part of the revised
standard, as follows:
Automatic Reclosing—Includes the
following Components:
• Reclosing relay.
• Control circuitry associated with
the reclosing relay.
NERC states that the definition is
intended for use within the proposed
Reliability Standard only, and would
not be incorporated into the NERC
24 Id.
20 See
NERC Petition at 10.
21 Id. at 11.
22 Id. at 15.
23 Id. at 17.
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at 20.
25 Id.
26 Id.
27 Id.
at 21.
28 Id.
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Glossary of Terms.29 In addition, NERC
proposes modifications to four defined
terms referenced in PRC–005–2,
Protection System Maintenance Plan,
Component Type, Component, and
Countable Event, to reflect the inclusion
of automatic reclosing components.
Finally, NERC proposes to revise the
definitions of Unresolved Maintenance
Issue and Segment, also currently
referenced in PRC–005–2, to capitalize
the reference to the defined term
‘‘Component.’’
16. NERC’s proposed implementation
plan for PRC–005–3 incorporates the
phased-in implementation period
approved for PRC–005–2, with the
addition of compliance dates for the
new requirements for automatic
reclosing components. Accordingly,
retirement of the legacy Reliability
Standards (PRC–005–1b, PRC–008–0,
PRC–011–0, PRC–017–0) will continue
to ‘‘key off’’ the regulatory approval date
for PRC–005–2, although PRC–005–2
itself will be retired in the United States
immediately prior to the effective date
of PRC–005–3, on the first day of the
first calendar quarter twelve months
following regulatory approval.30
According to NERC, applicable entities
will continue to calculate compliance
dates for Protection System Components
by counting forward from the applicable
regulatory approval date of PRC–005–2,
and for Automatic Reclosing
Components by counting forward from
the effective date of Commission
approval of PRC–005–3. Finally, for any
newly identified Automatic Reclosing
Components (e.g., resulting from the
addition or retirement of generating
units), compliance would be required by
the end of the third calendar year
following identification of those
Components.
17. NERC states that the violation risk
factors proposed in PRC–005–3 track
those in the currently approved
standard PRC–005–2, and that the
violation severity levels now include
the additional component (Automatic
Reclosing) in a manner consistent with
the approach taken for PRC–005–2.
C. NERC Supplemental Filings
18. On June 4, 2014, NERC submitted
two additional filings in this docket: (1)
proposed revisions to a violation
severity level assigned to Requirement
R1 in approved Reliability Standard
PRC–005–2 and in proposed Reliability
Standard PRC–005–3; 31 and (2) an
errata to NERC’s petition in this docket
29 Id.
at 12.
id. at 22–24.
31 The proposed violation severity level revision
was also submitted in Docket No. RM13–7–000.
30 See
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to reflect proper capitalization of
defined terms as used in the proposed
standard. NERC explains that the
violation severity level revision reflects
the change directed by the Commission
when it approved PRC–005–2, in Order
No. 793, regarding the failure to include
station batteries in a time-based
maintenance program. In accordance
with that directive NERC has now
assigned a ‘‘severe’’ violation severity
level to that failure for both PRC–005–
2– and PRC–005–3.
II. Discussion
19. Pursuant to section 215(d)(2) of
the FPA, the Commission proposes to
approve Reliability Standard PRC–005–
3, one new definition and six revised
definitions referenced in the proposed
standard, the assigned violation risk
factors and violation severity levels, and
NERC’s proposed implementation plan.
Generally, the proposed Reliability
Standard appears to adequately address
the Commission directives from Order
No. 758 with respect to the inclusion of
reclosing relays in an adequate
protection system maintenance
program, and will enhance reliability by
reducing the risk of autoreclosing relay
misoperations by imposing minimum
maintenance activities and maximum
maintenance intervals for these relays.
20. However, to further validate the
scope of the proposed applicability, we
propose to direct that NERC submit a
report based on actual performance data
and simulated system conditions from
planning assessments, two years after
the effective date of the proposed
standard, which addresses whether the
proposed Reliability Standard applies to
an appropriate set of autoreclosing
relays that can affect Bulk-Power
System reliability. In addition, as
discussed below, we propose to direct
NERC to modify the proposed standard
to include supervisory devices such as
synchronism check (sync-check) and
voltage relays.
A. Proposed Reporting on Effectiveness
of PRC–005–3
21. Consistent with the Commission’s
directive in Order No. 758,32 proposed
Reliability Standard PRC–005–3 would
expand the scope of the protection
system maintenance standard
requirements to apply to a limited
subset of autoreclosing relays. As
discussed above, the proposed
Reliability Standard includes thresholds
that are intended to limit the applicable
set of reclosing relays to those that affect
the reliable operation of the Bulk-Power
System. For example, the proposed
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32 See
Order No. 758, 138 FERC ¶ 61,094 at P 23.
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standard would mandate testing and
maintenance of only those autoreclosing
relays located within ten miles of a
generation plant that has a greater gross
capacity than the largest single
generating unit in the Balancing
Authority Area. NERC provides
technical support for the applicability
thresholds, both in the Joint Committee
Report and the NERC study of the tenmile threshold.33
22. While NERC provides support for
the proposed thresholds, we
nonetheless have concerns whether the
thresholds are too narrow and that the
standard therefore does not encompass
a comprehensive set of autoreclosing
relays that could affect the reliable
operation of the Bulk-Power System.
Thus, while we propose to approve the
proposed Reliability Standard, we also
propose that NERC submit a report, two
years after the effective date of the
standard, addressing the effectiveness of
the autoreclosing provisions based on
(1) actual operations data, and (2)
simulated system conditions from
planning assessments.
23. With regard to actual operations
data, we note that NERC has an ongoing
effort that collects and analyses
performance data regarding actual
misoperations events, requiring the
submission of data according to a set of
specifications that includes
misoperation categories and cause
codes.34 We propose that NERC enhance
the granularity of this database to gather
relevant information regarding events
that involve autoreclosing relays, such
as distance from the fault, whether the
relay reclosed into the fault, and
whether that reclosure caused or
exacerbated an event. Relevant
information collected in this database
could then be analyzed and submitted
in the proposed report. We seek
comment on this proposal, including
whether this is the right/meaningful
data for the type of analysis we seek,
and whether other types of granular data
would be useful to analyze the impact
of autoreclosing relays in system events.
While we propose to have NERC
33 See NERC Petition at 15–21 and Exh. D (Joint
Committee Report) at 2–7.
34 See https://www.nerc.com/pa/RAPA/Pages/
Misoperations.aspx. Protection system
misoperations are reported by transmission owners
and generator owners via regional procedures based
on the PRC–003–1 standard requirements. Using a
common template developed by the eight Regional
Entities and NERC, misoperations of facilities
operated at 100 kV and above are collected NERCwide. NERC is proposing to continue collection of
the data through the NERC ROP Section 1600
process immediately upon the retirement of the
data reporting obligation in Reliability Standard
PRC–004–2a. See https://www.nerc.com/pa/RAPA/
ProctectionSystemMisoperations/Misoperations_
Data_Request_for_Public_Comment.pdf.
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include this data in the report to be filed
two years after this standard takes effect,
we also propose to have NERC continue
this enhancement of its data collection
subsequently.
24. Further, we believe that simulated
contingency analyses, generated as part
of required planning assessments, could
serve as an appropriate benchmark or
metric to assess whether the right set of
autoreclosing relays is included in the
proposed Reliability Standard, or
whether further enhancements or
modifications are appropriate to include
those autoreclosing relays that affect
reliable operation of the Bulk-Power
System. As one possible approach, we
believe it could be useful to be able to
compare the set of reclosing relays
identified by the thresholds set forth in
proposed PRC–005–3 with the set of
reclosing relays studied pursuant to
approved Reliability Standard TPL–
001–4.35
25. Requirement R4 of TPL–001–4
requires transmission planners and
planning coordinators to perform
contingency analyses that explicitly
include an examination of the impact of
high speed reclosing into a fault (both
successful and unsuccessful), to ensure
that system performance criteria can
still be met (including ensuring no loss
of generators outside of the protection
zone). Specifically, Requirement R4 of
TPL–001–4 states in relevant part that
‘‘[e]ach Transmission Planner and
Planning Coordinator shall perform the
Contingency analyses listed in Table 1,’’
and the sub-requirements of
Requirement R4 require that the
analysis include the following:
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The analyses shall include the impact of
subsequent . . . [s]uccessful high speed (less
than one second) reclosing and unsuccessful
high speed reclosing into a Fault where high
speed reclosing is utilized.36
26. While there may be valid reasons
to differentiate between what should be
studied under TPL–001–4 versus what
must be maintained in the prescribed
fashion under PRC–005–3, we believe
the TPL–001–4 contingency analysis
could provide a meaningful check or
benchmark to examine the validity of
the applicability thresholds proposed in
PRC–005–3. Accordingly, we propose to
require NERC to submit a report two
years after the effective date of
Reliability Standard PRC–005–3,
comparing the set of reclosing relays
identified as having an impact on
reliability using the contingency
analyses generated under TPL–001–4,
35 Transmission Planning Reliability Standards,
Order No. 786, 145 FERC ¶ 61,051 (2013).
36 Reliability Standard TPL–001–4, Requirement
R4, R4.3.1 and R4.3.1.1.
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versus the set of relays covered by PRC–
005–3.
27. We request that NERC and other
commenters address whether the
information expected to be generated
pursuant to the contingency analyses
required by Requirement R4 of TPL–
001–4 could provide a meaningful
metric or benchmark in analyzing the
scope of PRC–005–3, i.e., whether PRC–
005–3’s thresholds include an
appropriate set of autoreclosing relays
that could affect the reliable operation
of the Bulk-Power System. We seek
comment on this proposal, including
whether there are refinements that
could improve this benchmark.
Likewise, we seek comment whether
NERC or other interested entities believe
there is a more appropriate or more
accurate benchmark or metric to achieve
the purpose discussed above. We further
seek comment on the potential burden
associated with collecting and
evaluating the information expected to
be generated under TPL–001–4. While
transmission planners will, in any case,
be responsible for conducting the
studies required under Requirement R4
of TPL–001–4, we seek to understand
the incremental burden of collecting
and analyzing this data for purposes of
the proposed benchmarking and
reporting. Likewise, commenters
suggesting an alternative analysis that
could serve as an appropriate
benchmark or metric should include a
discussion on the potential burden of
the suggested alternative.
B. Supervisory Devices
28. Proposed Reliability Standard
PRC–005–3 defines the components of
an ‘‘Automatic Reclosing’’ device to
include both the reclosing relay and its
associated control circuitry. The
proposed Reliability Standard does not
include supervisory devices such as
sync-check and/or voltage relays that
may be critical to the operation of an
autoreclosing scheme.37 In general,
supervisory devices, like sync-check
relays, are applied to monitor voltages
on both sides of a circuit breaker to
allow autoreclosing for desirable
conditions (e.g., proper phase angle and
voltage) or block autoreclosing for
undesirable conditions.
29. The Joint Committee Report states
that the NERC subcommittees dismissed
the need to consider supervision
37 While NERC does not directly address this
issue in its petition, in response to one commenter’s
requests for clarification during development of the
standard, the standard drafting team noted that
‘‘supervisory capability such as sync-check and line
switch status are not included.’’ NERC Petition,
Exh. H (Summary of Development History and
Complete Development Record) at 507.
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43991
failures because the committee believed
supervisory device failure to be a small
subset of autoreclosing failures.38
While, according to NERC, premature or
undesired autoreclosing due to the
failure of a supervisory element may in
fact be a relatively small subset of
autoreclosing failures, we are not
persuaded to exclude such devices from
the maintenance and testing
requirements of proposed PRC–005–3.
Notably, the Commission rejected
almost identical arguments in Order No.
733, when it directed NERC to include
supervisory relays as part of its
Transmission Relay Loadability (TRL)
standard:
Exelon asserts that the TRL Reliability
Standard’s goal is to address protective relays
that have a history of contributing to
cascades, and that relays enabled only when
other relays or associated systems fail are
extremely unlikely to be a factor in a
disturbance because they are enabled so
infrequently.
. . .
[W]e disagree with those commenters that
suggest that the Commission should approve
section 3.1 because it excludes from the
Reliability Standard’s scope relays and
protection systems that rarely operate. These
commenters appear to suggest that protection
systems that rarely operate do not pose a risk
to the reliability of the Bulk-Power System.
We disagree. A protective relay, as an integral
part of the Bulk-Power System, must be
dependable and secure; it must operate
correctly when required to clear a fault and
refrain from operating unnecessarily, i.e.,
during non-fault conditions or for faults
outside of its zone of protection, regardless
of how many times the relay must actually
operate.39
30. As we explained previously,
supervisory devices essentially
‘‘supervise’’ the actions of an
autoreclosing scheme; i.e., allow
autoreclosing for desirable conditions or
block autoreclosing for undesirable
conditions.40 The Joint Committee
Report explains that, ‘‘failure of a
synchronism check function may allow
a close when static system angles are
greater than designed, or inhibit a close
when static system angles are less than
designed.’’ 41 While we agree with the
Joint Committee Report that a failure of
a sync-check relay would not send a
38 See, e.g., NERC Petition, Exh. D (Joint
Committee Report) at 6 (noting that premature
autoreclosing has the potential to cause generating
unit loss of life due to shaft fatigue, but concluding
that supervisory failures need not be considered
because ‘‘[p]remature autoreclosing due to a
supervision failure is a small subset of
autoreclosing failures’’).
39 Transmission Relay Loadability Reliability
Standard, Order No. 733, 130 FERC ¶ 61,221, at PP
257, 269 (2010).
40 See supra P 28.
41 NERC Petition, Exh. D (Joint Committee Report)
at 4.
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signal to reclose into a fault, NERC has
not explained in its petition how a
failure of a sync-check relay for
undesirable conditions, such as when
static system angles are greater than
designed, would not allow autoreclosing
and consequently, the reliability
concern that we discussed in Order No.
758.42
31. Moreover, the proposed exclusion
of supervisory devices in PRC–005–3 is
inconsistent with other aspects of the
Joint Committee Report regarding the
overall function of autoreclosing relays,
which explicitly recognized that ‘‘there
are a few main characteristics shared by
most autoreclosing relays,’’ and
identified these as supervision
functions, timing functions, and output
functions.43 The Joint Committee Report
also concluded that ‘‘when analyzing
autoreclosing relay failure modes, the
functions described above are one of the
most likely to lead to failure.’’ 44
32. Accordingly, to address the
concerns set forth here, we propose to
direct that NERC develop modifications
to PRC–005–3 that address our concerns
regarding the appropriateness of
including supervisory relays under the
mandatory maintenance and testing
provisions of the Reliability Standard.
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III. Information Collection Statement
33. The proposed Version 3
Reliability Standard, PRC–005–3,
retains the same evidence retention
requirements approved in the Version 2
standard, PRC–005–2, requiring entities
to maintain documentation of
maintenance activities for the longer of
(1) the two most recent performances of
each distinct maintenance activity for
the component; or (2) all performances
of each distinct maintenance activity for
the component since the previous
scheduled audit date. Because the
largest maintenance interval prescribed
for certain kinds of components is
twelve years, an entity may be required
to retain its maintenance records up to
24 years (two maintenance cycles).
Thus, the potential data retention
requirement exceeds the three-year
period that is routinely allowed for
regulations requiring record retention,
under the Office of Management and
Budget (OMB) regulations implementing
the Paperwork Reduction Act (PRA).45
34. However, the PRA regulations
allow the Commission to approve a
standard that requires record retention
for more than three years if necessary to
42 See
Order No. 758, 138 FERC ¶ 61,094 at P 24.
Petition, Exh. D (Joint Committee Report)
43 NERC
at 3–4.
44 Id. at 4.
45 See 5 CFR 1320.5(d)(2)(iv).
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satisfy statutory requirements (e.g. of
FPA section 215) or based on other
‘‘substantial need:’’ (d)(2) Unless the
agency is able to demonstrate, in its
submission for OMB clearance, that
such characteristic of the collection of
information is necessary to satisfy
statutory requirements or other
substantial need, OMB will not approve
a collection of information— . . . (iv)
Requiring respondents to retain records,
other than health, medical, government
contract, grant-in-aid, or tax records, for
more than three years).46
35. In its petition, NERC explains that
the two maintenance cycle evidence
retention period ‘‘assures that
documentation is available to show that
the time between maintenance cycles
correctly meets the maintenance
interval limits.’’ 47 In addition, NERC
maintains that the data that must be
retained are ‘‘the usual and customary
documents maintained by these entities
today to document maintenance
internally.’’ 48 Moreover, NERC explains
that ‘‘shortening the time period for
retention would require that the
maintenance intervals be reduced as
well, which would significantly
increase capital maintenance costs since
entities would need to maintain
Components under tighter time
constraints.’’ 49 Because of these factors,
NERC concludes that the burden of
evidence retention under the proposed
standard would be ‘‘minimal compared
to the increased capital costs that would
result from shortening the intervals to
create a shorter maximum retention
time.’’ 50
36. We agree with NERC that the data
retention obligations appear to be
negligible as compared to the benefit
and reduced cost of a longer
maintenance interval for the highly
reliable components that are subject to
such lengthy data retention
requirements, and note that the data
retention provisions were developed by
industry experts and subject to approval
by stakeholder vote. However, we seek
comment regarding the reasonableness
of the proposed data retention
obligations. Specifically, for relays with
a 12-year maintenance cycle, the
Commission seeks comment from NERC
and other interested entities whether: (a)
46 Id.
47 NERC Petition at 25, & n. 45 (citing to Exh. E
(Supplementary Reference and FAQ Document) at
39).
48 Id. at 25–26.
49 Id. at 26.
50 Id. NERC notes that it has requested that the
standard drafting team currently working on
another revision to the PRC–005 standard consider
possible alternatives to the evidence retention
period of at least two maintenance cycles.
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there is substantial need to keep the
maintenance records for two cycles, and
(b) retaining these types of records for
24 years is overly burdensome or costly.
In addition, we seek comment as to
whether entities would keep
maintenance records for a similar time
frame even if it were not required under
PRC–005–3. Finally, we seek comment
on any alternatives to the two
maintenance cycle/24 year record
retention approach which could prove
to be less costly and burdensome, or
more effective. To the extent such
alternatives are identified, we seek
information on the associated costs and
benefits of the alternative approach.
37. The following collection of
information contained in this Notice of
Proposed Rulemaking is subject to
review by the Office of Management and
Budget (OMB) under section 3507(d) of
the Paperwork Reduction Act of 1995.51
OMB’s regulations require approval of
certain information collection
requirements imposed by agency
rules.52 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 a 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.
38. We solicit comments on the
Commission’s need for this information,
whether the information will have
practical utility, the accuracy of the
burden estimates, ways to enhance the
quality, utility, and clarity of the
information to be collected or retained,
and any suggested methods for
minimizing respondents’ burden,
including the use of automated
information techniques. Specifically,
the Commission asks that any revised
burden or cost estimates submitted by
commenters be supported by sufficient
detail to understand how the estimates
are generated.
39. The Commission proposes to
approve Reliability Standard PRC–005–
3, which will replace PRC–005–2
(Protection System Maintenance). The
proposed Reliability Standard expands
the existing standard to cover reclosing
schemes that meet certain criteria,
imposing mandatory minimum
maintenance activities and maximum
maintenance intervals for the various
reclosing scheme components. Because
the specific requirements were designed
to reflect common industry practice,
entities are not expected to experience
a meaningful change in actual
51 44
52 5
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maintenance and documentation
practices. However, applicable entities
will have to perform a one-time review
of their reclosing schemes to determine
which ones fall under PRC–005–3, and,
if they have applicable reclosing
schemes, review current reclosing
scheme maintenance programs to ensure
that they meet the requirements of the
proposed standard PRC–005–3.
Accordingly, all information collection
costs are expected to be limited to the
first year of implementation of the
revised standard.
40. Public Reporting Burden: Our
estimate below regarding the number of
respondents is based on an analysis of
the generating plants within the
footprint of the PJM Interconnection,
LLC (PJM) that meet the inclusion
criteria of the proposed standard. There
are an estimated 23 generating plants in
PJM that meet these criteria. These
generating plants represent
approximately 47,000 MW’s of the
approximately 184,000 MWs within
PJM. Based on 2012 data, total installed
capacity in the continental United
States is 1,153,000 MWs.53 Applying the
PJM ratio to this total results in 144
plant sites nationwide to which PRC–
005–3 would be applicable. We also
assume that a substation will be located
within 10 miles of each plant site,
resulting in an estimated total number
of entities that meet the inclusion
criteria of 288.54 Finally, we assume that
43993
all generator owners (GOs) and
transmission owners (TOs) must review
their existing plant and substation sites
to determine applicability under the
proposed standard.
41. Affected entities must perform a
one-time review of their existing
reclosing scheme maintenance program
to ensure that it contains at a minimum
the activities listed in Table 4 in
Reliability Standard PRC–005–3, and
that the activities are performed within
the applicable maximum interval listed
in Table 4. If the existing reclosing
scheme maintenance program does not
meet the criteria in Reliability Standard
PRC–005–3, the entity will have to make
certain adjustments to the program.
Number of
affected
entities
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One-time review of existing plant and substation sites
to determine which ones fall under PRC–005–3.
One-time review and adjustment of existing program ..
Average
number of
hours per
review
Total burden
hours
Total cost
(1)
Requirement
(2)
(3)
(1)*(2)
(5)
(3)*$73 55
937 (GOs and TOs) 56 .....................
2
1,874
$136,802
288 (subset of GOs and TOs) .........
8
2,304
168,192
Title: FERC–725P, Mandatory
Reliability Standards: Reliability
Standard PRC–005–3.
Action: Proposed Collection of
Information.
OMB Control No: 1902–0269.
Respondents: Business or other forprofit and not-for-profit institutions.
Frequency of Responses: One time.
Necessity of the Information: The
proposed Reliability Standard PRC–
005–3, if adopted, would implement the
Congressional mandate of the Energy
Policy Act of 2005 to develop
mandatory and enforceable Reliability
Standards to better ensure the reliability
of the nation’s Bulk-Power System.
Specifically, the proposal would ensure
that transmission and generation
protection systems affecting the
reliability of the bulk electric system are
maintained and tested.
42. Internal review: The Commission
has reviewed revised Reliability
Standard PRC–005–3 and made a
determination that approval of this
standard is necessary to implement
section 215 of the FPA. The
Commission has assured itself, by
means of its internal review, that there
is specific, objective support for the
burden estimates associated with the
information requirements.
43. Interested persons may obtain
information on the reporting
requirements by contacting the Federal
Energy Regulatory Commission, Office
of the Executive Director, 888 First
Street, NE., Washington, DC 20426
[Attention: Ellen Brown, email:
DataClearance@ferc.gov, phone: (202)
502–8663, fax: (202) 273–0873].
44. Comments concerning the
information collections proposed in this
NOPR and the associated burden
estimates, should be sent to the
Commission in this docket and may also
be sent to the Office of Management and
Budget, Office of Information and
Regulatory Affairs [Attention: Desk
Officer for the Federal Energy
Regulatory Commission]. For security
reasons, comments should be sent by
email to OMB at the following email
address: oira_submission@omb.eop.gov.
53 See https://search.usa.gov/
search?utf8=%E2%9C%93&affiliate=eia.doe.gov&
query=generation+capacity+all+states&search=
Submit and https://www.eia.gov/electricity/annual/
html/epa_08_07_a.html.
54 This estimate conservatively assumes that the
proximate substation would be owned by a different
entity than the generating plant.
55 This figure is the average of the salary plus
benefits for a manager and an engineer (rounded to
the nearest dollar). The figures are taken from the
Bureau of Labor Statistics at (https://bls.gov/oes/
current/naics3_221000.htm).
56 Based on the NERC Compliance Registry as of
May 28, 2014.
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Please reference the docket number of
this Notice of Proposed Rulemaking
(Docket No. RM14–8–000) in your
submission.
IV. Regulatory Flexibility Act Analysis
45. The Regulatory Flexibility Act of
1980 (RFA) 57 generally requires a
description and analysis of Proposed
Rules that will have 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
business.58 The SBA recently revised its
size standard for electric utilities
(effective January 22, 2014) to a
standard based on the number of
employees, including affiliates (from a
standard based on megawatt hours).59
Under SBA’s new size standards,
generator owners and transmission
owners are likely included in one of the
following categories (with the associated
size thresholds noted for each):60
57 5
U.S.C. 601–12.
CFR 121.101 (2013).
59 SBA Final Rule on ‘‘Small Business Size
Standards: Utilities,’’ 78 FR 77343 (Dec. 23, 2013).
60 13 CFR 121.201, Sector 22, Utilities.
58 13
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• Hydroelectric power generation, at
500 employees
• Fossil fuel electric power generation,
at 750 employees
• Nuclear electric power generation, at
750 employees
• Other electric power generation (e.g.,
solar, wind, geothermal, biomass,
and other), at 250 employees
• Electric bulk power transmission and
control, at 500 employees
46. Based on U.S. economic census
data,61 the approximate percentages of
small firms in these categories vary from
24 percent to 84 percent. However,
currently FERC does not have
information on how the economic
census data compare with the specific
entities affected by this proposed rule
using the new SBA definitions.62
Regardless, FERC recognizes that the
rule will likely impact some small
entities and estimates the economic
impact below.
47. As discussed above, proposed
Reliability Standard PRC–005–3 would
apply to 144 generating plant sites and
144 sub-stations that are located within
10 miles of the plant site. In addition,
we estimate that all GOs and TOs will
initially review plant and substation
sites to determine applicability with the
proposed standard.
48. On average, each small entity
affected may have a one-time cost of
$730 per site, representing a one-time
review of the program for each entity,
consisting of 10 man-hours at $73/hour
as explained above in the information
collection statement. We do not
consider this cost to be a significant
economic impact for small entities.
Accordingly, the Commission certifies
that proposed Reliability Standard PRC–
005–3 will not have a significant
economic impact on a substantial
number of small entities. The
Commission seeks comment on this
certification.
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V. Environmental Analysis
49. 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
61 Data and further information are available from
SBA at https://www.sba.gov/advocacy/849/12162.
62 For utilities in the SBA’s subsector 221, the
previous SBA definition stated that ‘‘[a] firm is
small if, including its affiliates, it is primarily
engaged in the generation, transmission, and/or
distribution of electric energy for sale and its total
electric output for the preceding fiscal year did not
exceed 4 million megawatt hours.’’
63 Regulations Implementing the National
Environmental Policy Act of 1969, Order No. 486,
FERC Stats. & Regs. ¶ 30,783 (1987).
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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 proposed herein fall within this
categorical exclusion in the
Commission’s regulations.
VI. Comment Procedures
50. The Commission invites interested
persons to submit comments on the
matters and issues proposed in this
notice to be adopted, including any
related matters or alternative proposals
that commenters may wish to discuss.
Comments are due September 29, 2014.
Comments must refer to Docket No.
RM14–8–000, and must include the
commenter’s name, the organization
they represent, if applicable, and
address.
51. The Commission encourages
comments to be filed electronically via
the eFiling link on the Commission’s
Web site at https://www.ferc.gov. The
Commission accepts most standard
word processing formats. Documents
created electronically using word
processing software should be filed in
native applications or print-to-PDF
format and not in a scanned format.
Commenters filing electronically do not
need to make a paper filing.
52. Commenters that are not able to
file comments electronically must send
an original of their comments to:
Federal Energy Regulatory Commission,
Secretary of the Commission, 888 First
Street NE., Washington, DC 20426.
53. All comments will be placed in
the Commission’s public files and may
be viewed, printed, or downloaded
remotely as described in the Document
Availability section below. Commenters
on this proposal are not required to
serve copies of their comments on other
commenters.
VII. Document Availability
54. 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 the
Commission’s Home Page (https://
www.ferc.gov) and in the Commission’s
Public Reference Room during normal
business hours (8:30 a.m. to 5:00 p.m.
Eastern time) at 888 First Street NE.,
Room 2A, Washington, DC 20426.
55. From the Commission’s Home
Page on the Internet, this information is
available on eLibrary. The full text of
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CFR 380.4(a)(2)(ii).
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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.
56. User assistance is available for
eLibrary and the Commission’s Web site
during normal business hours from the
Commission’s Online Support at 202–
502–6652 (toll free at 1–866–208–3676)
or email at ferconlinesupport@ferc.gov,
or the Public Reference Room at (202)
502–8371, TTY (202) 502–8659. Email
the Public Reference Room at
public.referenceroom@ferc.gov.
By direction of the Commission.
Issued: July 17, 2014.
Nathaniel J. Davis, Sr.,
Deputy Secretary.
[FR Doc. 2014–17230 Filed 7–28–14; 8:45 am]
BILLING CODE 6717–01–P
DEPARTMENT OF ENERGY
Federal Energy Regulatory
Commission
18 CFR Part 154
[Docket No. RM14–21–000]
Natural Gas Act Pipeline Maps
Federal Energy Regulatory
Commission.
ACTION: Notice of proposed rulemaking.
AGENCY:
The Federal Energy
Regulatory Commission (Commission or
FERC) is proposing to amend the filing
requirements for natural gas pipeline
system maps. Under current regulations,
natural gas pipelines must include a
system map as part of their tariff on file
with the Commission, and file an
updated map by the following April for
any year that there is a major change in
the pipeline’s system. Additionally, this
map must be posted on the pipeline’s
own Web site. In order to reduce
regulatory burden on these pipelines,
the Commission proposes to eliminate
the requirement to file a map as part of
the tariff, leaving only the requirement
to maintain a map on the pipeline’s own
Web site.
Furthermore, in order to promote
transparency, the Commission proposes
to change the deadline for updating
system maps. Currently, if a pipeline
experiences a major change that renders
its existing map obsolete, it must make
a tariff filing no later than April 30 of
the subsequent calendar year. The
Commission proposes a quarterly
deadline for updating pipeline maps.
SUMMARY:
E:\FR\FM\29JYP1.SGM
29JYP1
Agencies
[Federal Register Volume 79, Number 145 (Tuesday, July 29, 2014)]
[Proposed Rules]
[Pages 43987-43994]
From the Federal Register Online via the Government Printing Office [www.gpo.gov]
[FR Doc No: 2014-17230]
=======================================================================
-----------------------------------------------------------------------
DEPARTMENT OF ENERGY
Federal Energy Regulatory Commission
18 CFR Part 40
[Docket No. RM14-8-000]
Protection System Maintenance Reliability Standard
AGENCY: Federal Energy Regulatory Commission, Energy.
ACTION: Notice of proposed rulemaking.
-----------------------------------------------------------------------
SUMMARY: Pursuant to the section regarding Electric Reliability of the
Federal Power Act, the Commission proposes to approve a revised
Reliability Standard, PRC-005-3 (Protection System and Automatic
Reclosing Maintenance). In addition, the Commission proposes to approve
one new definition and six revised definitions referenced in the
proposed Reliability Standard, the assigned violation risk factors and
violation severity levels, and NERC's proposed implementation plan.
Consistent with Order No. 758, the proposed Reliability Standard
requires applicable entities to test and maintain certain autoreclosing
relays as part of a protection system maintenance program. The
Commission also proposes to direct NERC to submit a report based on
actual performance data, and simulated system conditions from planning
assessments, two years after the effective date of the proposed
standard, which addresses whether the proposed Reliability Standard
applies to an appropriate set of autoreclosing relays that can affect
Bulk-Power System reliability. Further, the Commission proposes to
direct NERC to modify the proposed Reliability Standard to include
maintenance and testing of supervisory relays, as discussed below.
DATES: Comments are due September 29, 2014.
ADDRESSES: Comments, identified by docket number, may be filed in the
following ways:
Electronic Filing through https://www.ferc.gov. Documents
created electronically using word processing software should be filed
in native applications or print-to-PDF format and not in a scanned
format.
Mail/Hand Delivery: Those unable to file electronically
may mail or hand-deliver comments to: Federal Energy Regulatory
Commission, Secretary of the Commission, 888 First Street NE.,
Washington, DC 20426.
Instructions: For detailed instructions on submitting comments and
additional information on the rulemaking process, see the Comment
Procedures Section of this document.
FOR FURTHER INFORMATION CONTACT:
Tom Bradish (Technical Information), Office of Electric Reliability,
Federal Energy Regulatory Commission, 888 First Street NE., Washington,
DC 20426, (301) 665-1391, Tom.Bradish@ferc.gov.
Julie Greenisen (Legal Information), Office of the General Counsel,
Federal Energy Regulatory Commission, 888 First Street NE., Washington,
DC 20426, (202) 502-6362, julie.greenisen@ferc.gov.
SUPPLEMENTARY INFORMATION:
1. Pursuant to section 215 of the Federal Power Act (FPA),\1\ the
Commission proposes to approve a revised Reliability Standard, PRC-005-
3 (Protection System and Automatic Reclosing Maintenance). In addition,
the Commission proposes to approve one new definition and six revised
definitions referenced in the proposed Reliability Standard, the
assigned violation risk factors and violation severity levels, and
NERC's proposed implementation plan. Consistent with Order No. 758,\2\
the proposed Reliability Standard requires applicable entities to test
and maintain certain autoreclosing relays as part of a protection
system maintenance program. The Commission
[[Page 43988]]
also proposes to direct NERC to submit a report based on actual
performance data, and simulated system conditions from planning
assessments, two years after the effective date of the proposed
standard, which addresses whether the proposed Reliability Standard
applies to an appropriate set of autoreclosing relays that can affect
Bulk-Power System reliability. Further, the Commission proposes to
direct NERC to modify the proposed Reliability Standard to include
maintenance and testing of supervisory relays, as discussed below.
---------------------------------------------------------------------------
\1\ 16 U.S.C. 824o (2012).
\2\ Interpretation of Protection System Reliability Standard,
Order No. 758, 138 FERC ] 61,094, clarification denied, 139 FERC ]
61,227 (2012).
---------------------------------------------------------------------------
I. Background
A. Regulatory Background
2. Section 215 of the FPA requires a Commission-certified Electric
Reliability Organization (ERO) to develop mandatory and enforceable
Reliability Standards, subject to Commission review and approval.\3\
Once approved, the Reliability Standards may be enforced by the ERO
subject to Commission oversight, or by the Commission independently.\4\
In 2006, the Commission certified NERC as the ERO pursuant to FPA
section 215.\5\
---------------------------------------------------------------------------
\3\ 16 U.S.C. 824o(c) and (d).
\4\ See id. 824o(e).
\5\ North American Electric Reliability Corp., 116 FERC ]
61,062, 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. In 2007, in Order No. 693, the Commission approved an initial
set of Reliability Standards submitted by NERC, including initial
versions of four protection system and load-shedding-related
maintenance standards: PRC-005-1, PRC-008-0, PRC-011-0, and PRC-017-
0.\6\ In addition, the Commission directed NERC to develop a revision
to PRC-005-1 incorporating a maximum time interval during which to
conduct maintenance and testing of protection systems, and to consider
combining into one standard the various maintenance and testing
requirements for all of the maintenance and testing-related Reliability
Standards for protection systems, underfrequency load shedding (UFLS)
equipment and undervoltage load shedding (UVLS) equipment.
---------------------------------------------------------------------------
\6\ Mandatory Reliability Standards for the Bulk-Power System,
Order No. 693, FERC Stats. & Regs. ] 31,242 at PP 1474, 1492, 1497,
and 1514, order on reh'g, Order No. 693-A, 120 FERC ] 61,053 (2007).
---------------------------------------------------------------------------
4. The Commission issued Order No. 758 in February 2012, in
response to NERC's request for approval of its interpretation of
Requirement R1 of the then-current version of protection system
maintenance standard, PRC-005-1. The Commission accepted NERC's
proposed interpretation of PRC-005-1, which identified the types of
protection system equipment to which the Reliability Standard applied.
In addition, the Commission directed NERC to develop modifications to
the standard to address gaps highlighted by the proposed
interpretation, including the need to address reclosing relays that may
affect the reliability of the Bulk-Power System.\7\
---------------------------------------------------------------------------
\7\ The approved interpretation stated:
Request R3: Does R1 require maintenance and testing of
transmission line re-closing relays?
Response: No. `Protective Relays' refer to devices that detect
and take action for abnormal conditions. Automatic restoration of
transmission lines is not a `protective' function.
Order No. 758, 138 FERC ] 61,094 at P 7.
---------------------------------------------------------------------------
5. In the discussion surrounding that directive, the Commission
described certain scenarios where reclosing relays might impact
reliability,\8\ but recognized that it may not be appropriate to
include all applications of autoreclosing relays in the protection
system maintenance standard:
---------------------------------------------------------------------------
\8\ The Commission referred to one incident involving the
misoperation or poor coordination of reclosing relays that
ultimately resulted in the loss of over 4,000 MW of generation and
multiple 765 kV lines, to illustrate the effect reclosing relays can
have on the reliability of the Bulk-Power System. See Order No. 758,
138 FERC ] 61,094 at P 23 and n.32.
The NOPR raised a concern that excluding the maintenance and
testing of reclosing relays that can exacerbate fault conditions
when not properly maintained and coordinated will result in a gap
affecting Bulk-Power System reliability. We agree with MidAmerican
that while there are only limited circumstances when a reclosing
relay can actually affect the reliability of the Bulk-Power System,
there are some reclosing relays, e.g., whose failure to operate or
that misoperate during an event due to lack of maintenance and
testing, may negatively impact the reliability of the Bulk-Power
---------------------------------------------------------------------------
System.
. . .
In the NOPR we stated that a misoperating or miscoordinated
reclosing relay may result in the reclosure of a Bulk-Power System
element back onto a fault or that a misoperating or miscoordinated
reclosing relay may fail to operate after a fault has been cleared,
thus failing to restore the element to service. As a result, the
reliability of the Bulk-Power System would be affected. In addition,
misoperated or miscoordinated relays may result in damage to the
Bulk-Power System. For example, a misoperation or miscoordination of
a reclosing relay causing the reclosing of Bulk-Power System
facilities into a permanent fault can subject generators to
excessive shaft torques and winding stresses and expose circuit
breakers to systems conditions less than optimal for correct
operation, potentially damaging the circuit breaker.\9\
---------------------------------------------------------------------------
\9\ Id. PP 23-24 (footnotes excluded).
6. Prior to issuance of Order No. 758, NERC had begun development
of revisions to its initial maintenance standards for protection
systems and underfrequency and undervoltage load shedding equipment in
response to the Order No. 693 directives. Those revisions, reflected in
a consolidated Reliability Standard, PRC-005-2, were approved by the
Commission on December 24, 2013.\10\ In the order approving PRC-005-2,
the Commission found that the revised standard represented an
improvement over the four standards it would replace because it
incorporated specific, required minimum maintenance activities and
maximum time intervals for maintenance of individual components of the
protection systems and load shedding equipment affecting the bulk
electric system.\11\
---------------------------------------------------------------------------
\10\ Protection System Maintenance Reliability Standard, Order
No. 793, 145 FERC ] 61,253 (2013).
\11\ Id. P 2.
---------------------------------------------------------------------------
B. NERC Petition and Proposed Standard PRC-005-3
7. On February 14, 2014, NERC submitted a petition seeking approval
of proposed Reliability Standard PRC-005-3, developed in response to
the Order No. 758 directive to include maintenance and testing of
reclosing relays that can affect the reliable operation of the Bulk-
Power System.\12\ In its petition, NERC maintains that the proposed
standard promotes reliability by making certain reclosing relays
subject to a mandatory maintenance program, including adding detailed
tables of minimum maintenance activities and maximum maintenance
intervals for the reclosing relays. NERC explains that the purpose of
PRC-005-3 is to ``document and implement programs for the maintenance
of all Protection Systems and Automatic Reclosing affecting the
reliability of the Bulk Electric System so that they are kept in
working order.'' \13\
---------------------------------------------------------------------------
\12\ See NERC Petition at 2, 7.
\13\ Id. at 8.
---------------------------------------------------------------------------
8. NERC explains that the subset of reclosing applications included
in proposed PRC-005-3 is based on the findings of a technical study
performed, in response to Order No. 758, by NERC's System Analysis and
Modeling Subcommittee (SAMS) and System Protection and Control
Subcommittee (SPCS). The resulting study (the Joint Committee Report)
is attached to NERC's petition as Exhibit D, and examines both the
scope of reclosing relays that could affect the reliable operation of
the Bulk-Power System and appropriate maintenance intervals and
activities for those relays.\14\
---------------------------------------------------------------------------
\14\ See id. at 3.
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[[Page 43989]]
9. In its petition, NERC explains that reclosing relays are
``utilized on transmission systems to restore elements to service
following automatic circuit breaker tripping,'' and are ``typically
installed to lessen the burden on Transmission operators of manually
restoring transmission lines.''\15\ NERC explains that ``while more
efficient restoration of transmission lines following temporary faults
does provide an inherent reliability benefit, certain applications of
reclosing relays can result in undesired relay operation or operation
not consistent with relay design, leading to adverse reliability
impacts.''\16\ After examining these potential reliability impacts, the
Joint Committee Report recommended that the revised standard should:
---------------------------------------------------------------------------
\15\ Id. at 9 (citations to Joint Committee Report omitted).
\16\ Id.
(1) Explicitly address maintenance and testing of reclosing
relays applied as an integral part of a Special Protection System;
and (2) include maintenance and testing of reclosing relays at or in
proximity to generating plants at which the total installed capacity
is greater than the capacity of the largest generating unit within
the Balancing Authority Area.\17\
---------------------------------------------------------------------------
\17\ Id. at 10.
In addition, NERC explains that the Joint Committee Report
recommended that ``proximity'' to these large generators be defined as
``substations one bus away if the substation is within 10 miles of the
plant.'' \18\
---------------------------------------------------------------------------
\18\ Id.
---------------------------------------------------------------------------
10. The Joint Committee Report recommendations are reflected in
proposed Reliability Standard PRC-005-3, which now includes the
following among the applicable facilities:
4.2.6.1 Automatic Reclosing applied on terminals of Elements
connected to the BES bus located at generating plant substations
where the total installed gross generating plant capacity is greater
than the gross capacity of the largest BES generating unit within
the Balancing Authority Area.
4.2.6.2 Automatic Reclosing applied on the terminals of all BES
Elements at substations one bus away from generating plants
specified in Section 4.2.6.1 when the substation is less than 10
circuit-miles from the generating plant substation.
4.2.6.3 Automatic Reclosing applied as an integral part of an
SPS specified in Section 4.2.4.\19\
---------------------------------------------------------------------------
\19\ Id., Ex. A at 1-2. In addition, relays that would otherwise
be subject to the proposed standard under sections 4.2.6.1 and
4.2.6.2 ``may be excluded if the equipment owner can demonstrate
that a close-in three-phase fault present for twice the normal
clearing time . . . does not result in a total loss of gross
generation in the Interconnection exceeding the gross capacity of
the largest BES generating unit within the Balancing Authority
Area.''
11. NERC explains that the Joint Committee Report examined two
areas of concern, based on the Commission's statements in Order No.
758. Specifically, the Joint Committee examined (1) situations in which
reclosing relays fail to operate when required to maintain Bulk-Power
System reliability, and (2) situations in which reclosing relays
operate in a manner not consistent with design, adversely affecting
reliability.\20\ As for the first category, NERC explains the Joint
Committee Report recognized that ``[b]ecause the potential for
permanent power system faults exists for any application, it is not
possible to depend on successful reclosing relay operation as a sole
means to guarantee reliability or satisfy the Requirements contained in
Reliability Standards.'' \21\ However, the Joint Committee Report
recognized one exception, where reclosing relays are included as an
integral part of a Special Protection System. Accordingly, NERC
proposes to include reclosing relays of Special Protection Systems
under the revised standard's maintenance requirements, under
Applicability section 4.2.6.3.
---------------------------------------------------------------------------
\20\ See NERC Petition at 10.
\21\ Id. at 11.
---------------------------------------------------------------------------
12. With respect to the second category examined by the committees,
i.e., situations in which reclosing relays operate in a manner not
consistent with design, NERC notes that the Joint Committee Report
found that ``premature reclosing has the potential to cause generating
unit or plant instability,'' and that there could be an impact on the
reliable operation of the Bulk-Power System if the loss of generating
resources exceeds the largest unit within the Balancing Authority
Area.\22\ NERC explains that reclosing at transmission substations may
affect the stability of generating units when applied in proximity to a
generating plant, and that the Joint Committee Report therefore
recommended including reclosing relays applied one bus away from these
same generating stations when the substation is less than 10 circuit-
miles from the applicable generating plant substation. The Joint
Committee Report indicated that generating units generally exhibit a
stable response to a bus fault at the high-side of the generator step-
up transformer if the fault location is on the order of one mile, but
recommended a 10-mile threshold in order to incorporate a significant
safety factor.\23\
---------------------------------------------------------------------------
\22\ Id. at 15.
\23\ Id. at 17.
---------------------------------------------------------------------------
13. As NERC explains in its petition, NERC staff conducted its own
analysis of this definition of ``proximity,'' ``to verify that the 10-
mile threshold provides adequate margin to ensure maintenance and
testing of all reclosing relays where failure could result in
generating station instability.'' \24\ According to NERC, it performed
tests at the high-voltage switchyard for 145 lines at 50 generating
stations, using a sampling of generating stations and simulating a
three-phase fault on each line. In addition, faults were simulated for
a duration that NERC maintains ``conservatively represents'' two times
the normal clearing time for a three-phase fault.\25\ NERC states that
this test ``approximates the response if a transmission line circuit
breaker is reclosed into a fault without any time delay due to a
reclosing relay failure.'' \26\
---------------------------------------------------------------------------
\24\ Id. at 20.
\25\ Id.
\26\ Id.
---------------------------------------------------------------------------
14. NERC found that the generating unit response was stable for 110
of the close-in faults; stable for faults at one mile from the
generation station for 22 of the remaining 35 lines; and stable for
faults five miles from the station for 10 of the remaining 13 lines.
For the three remaining cases, two were associated with two
transmission lines of approximately 120 miles leaving the same
generating station. NERC indicates that it repeated its analysis at
each remote bus at the remote terminal of those lines, and found that
the generating units were stable for close-in three-phase faults on
each line. The third case involved a two-mile line, and resulted in
instability of the generating units for faults anywhere on the line. On
further testing, NERC found that the generating units remained stable
for close-in faults on each of the lines terminating at the remote bus
of the two-mile line, ``confirming that the criterion is
conservative.'' \27\
---------------------------------------------------------------------------
\27\ Id. at 21.
---------------------------------------------------------------------------
15. NERC proposes modifications to the language of Requirements R1,
R3 and R4 of PRC-005-2 to reflect the inclusion of automatic reclosing
relays.\28\ NERC also proposes to include a new definition as part of
the revised standard, as follows:
---------------------------------------------------------------------------
\28\ Id.
---------------------------------------------------------------------------
Automatic Reclosing--Includes the following Components:
Reclosing relay.
Control circuitry associated with the reclosing relay.
NERC states that the definition is intended for use within the
proposed Reliability Standard only, and would not be incorporated into
the NERC
[[Page 43990]]
Glossary of Terms.\29\ In addition, NERC proposes modifications to four
defined terms referenced in PRC-005-2, Protection System Maintenance
Plan, Component Type, Component, and Countable Event, to reflect the
inclusion of automatic reclosing components. Finally, NERC proposes to
revise the definitions of Unresolved Maintenance Issue and Segment,
also currently referenced in PRC-005-2, to capitalize the reference to
the defined term ``Component.''
---------------------------------------------------------------------------
\29\ Id. at 12.
---------------------------------------------------------------------------
16. NERC's proposed implementation plan for PRC-005-3 incorporates
the phased-in implementation period approved for PRC-005-2, with the
addition of compliance dates for the new requirements for automatic
reclosing components. Accordingly, retirement of the legacy Reliability
Standards (PRC-005-1b, PRC-008-0, PRC-011-0, PRC-017-0) will continue
to ``key off'' the regulatory approval date for PRC-005-2, although
PRC-005-2 itself will be retired in the United States immediately prior
to the effective date of PRC-005-3, on the first day of the first
calendar quarter twelve months following regulatory approval.\30\
According to NERC, applicable entities will continue to calculate
compliance dates for Protection System Components by counting forward
from the applicable regulatory approval date of PRC-005-2, and for
Automatic Reclosing Components by counting forward from the effective
date of Commission approval of PRC-005-3. Finally, for any newly
identified Automatic Reclosing Components (e.g., resulting from the
addition or retirement of generating units), compliance would be
required by the end of the third calendar year following identification
of those Components.
---------------------------------------------------------------------------
\30\ See id. at 22-24.
---------------------------------------------------------------------------
17. NERC states that the violation risk factors proposed in PRC-
005-3 track those in the currently approved standard PRC-005-2, and
that the violation severity levels now include the additional component
(Automatic Reclosing) in a manner consistent with the approach taken
for PRC-005-2.
C. NERC Supplemental Filings
18. On June 4, 2014, NERC submitted two additional filings in this
docket: (1) proposed revisions to a violation severity level assigned
to Requirement R1 in approved Reliability Standard PRC-005-2 and in
proposed Reliability Standard PRC-005-3; \31\ and (2) an errata to
NERC's petition in this docket to reflect proper capitalization of
defined terms as used in the proposed standard. NERC explains that the
violation severity level revision reflects the change directed by the
Commission when it approved PRC-005-2, in Order No. 793, regarding the
failure to include station batteries in a time-based maintenance
program. In accordance with that directive NERC has now assigned a
``severe'' violation severity level to that failure for both PRC-005-2-
and PRC-005-3.
---------------------------------------------------------------------------
\31\ The proposed violation severity level revision was also
submitted in Docket No. RM13-7-000.
---------------------------------------------------------------------------
II. Discussion
19. Pursuant to section 215(d)(2) of the FPA, the Commission
proposes to approve Reliability Standard PRC-005-3, one new definition
and six revised definitions referenced in the proposed standard, the
assigned violation risk factors and violation severity levels, and
NERC's proposed implementation plan. Generally, the proposed
Reliability Standard appears to adequately address the Commission
directives from Order No. 758 with respect to the inclusion of
reclosing relays in an adequate protection system maintenance program,
and will enhance reliability by reducing the risk of autoreclosing
relay misoperations by imposing minimum maintenance activities and
maximum maintenance intervals for these relays.
20. However, to further validate the scope of the proposed
applicability, we propose to direct that NERC submit a report based on
actual performance data and simulated system conditions from planning
assessments, two years after the effective date of the proposed
standard, which addresses whether the proposed Reliability Standard
applies to an appropriate set of autoreclosing relays that can affect
Bulk-Power System reliability. In addition, as discussed below, we
propose to direct NERC to modify the proposed standard to include
supervisory devices such as synchronism check (sync-check) and voltage
relays.
A. Proposed Reporting on Effectiveness of PRC-005-3
21. Consistent with the Commission's directive in Order No.
758,\32\ proposed Reliability Standard PRC-005-3 would expand the scope
of the protection system maintenance standard requirements to apply to
a limited subset of autoreclosing relays. As discussed above, the
proposed Reliability Standard includes thresholds that are intended to
limit the applicable set of reclosing relays to those that affect the
reliable operation of the Bulk-Power System. For example, the proposed
standard would mandate testing and maintenance of only those
autoreclosing relays located within ten miles of a generation plant
that has a greater gross capacity than the largest single generating
unit in the Balancing Authority Area. NERC provides technical support
for the applicability thresholds, both in the Joint Committee Report
and the NERC study of the ten-mile threshold.\33\
---------------------------------------------------------------------------
\32\ See Order No. 758, 138 FERC ] 61,094 at P 23.
\33\ See NERC Petition at 15-21 and Exh. D (Joint Committee
Report) at 2-7.
---------------------------------------------------------------------------
22. While NERC provides support for the proposed thresholds, we
nonetheless have concerns whether the thresholds are too narrow and
that the standard therefore does not encompass a comprehensive set of
autoreclosing relays that could affect the reliable operation of the
Bulk-Power System. Thus, while we propose to approve the proposed
Reliability Standard, we also propose that NERC submit a report, two
years after the effective date of the standard, addressing the
effectiveness of the autoreclosing provisions based on (1) actual
operations data, and (2) simulated system conditions from planning
assessments.
23. With regard to actual operations data, we note that NERC has an
ongoing effort that collects and analyses performance data regarding
actual misoperations events, requiring the submission of data according
to a set of specifications that includes misoperation categories and
cause codes.\34\ We propose that NERC enhance the granularity of this
database to gather relevant information regarding events that involve
autoreclosing relays, such as distance from the fault, whether the
relay reclosed into the fault, and whether that reclosure caused or
exacerbated an event. Relevant information collected in this database
could then be analyzed and submitted in the proposed report. We seek
comment on this proposal, including whether this is the right/
meaningful data for the type of analysis we seek, and whether other
types of granular data would be useful to analyze the impact of
autoreclosing relays in system events. While we propose to have NERC
[[Page 43991]]
include this data in the report to be filed two years after this
standard takes effect, we also propose to have NERC continue this
enhancement of its data collection subsequently.
---------------------------------------------------------------------------
\34\ See https://www.nerc.com/pa/RAPA/Pages/Misoperations.aspx.
Protection system misoperations are reported by transmission owners
and generator owners via regional procedures based on the PRC-003-1
standard requirements. Using a common template developed by the
eight Regional Entities and NERC, misoperations of facilities
operated at 100 kV and above are collected NERC-wide. NERC is
proposing to continue collection of the data through the NERC ROP
Section 1600 process immediately upon the retirement of the data
reporting obligation in Reliability Standard PRC-004-2a. See https://www.nerc.com/pa/RAPA/ProctectionSystemMisoperations/Misoperations_Data_Request_for_Public_Comment.pdf.
---------------------------------------------------------------------------
24. Further, we believe that simulated contingency analyses,
generated as part of required planning assessments, could serve as an
appropriate benchmark or metric to assess whether the right set of
autoreclosing relays is included in the proposed Reliability Standard,
or whether further enhancements or modifications are appropriate to
include those autoreclosing relays that affect reliable operation of
the Bulk-Power System. As one possible approach, we believe it could be
useful to be able to compare the set of reclosing relays identified by
the thresholds set forth in proposed PRC-005-3 with the set of
reclosing relays studied pursuant to approved Reliability Standard TPL-
001-4.\35\
---------------------------------------------------------------------------
\35\ Transmission Planning Reliability Standards, Order No. 786,
145 FERC ] 61,051 (2013).
---------------------------------------------------------------------------
25. Requirement R4 of TPL-001-4 requires transmission planners and
planning coordinators to perform contingency analyses that explicitly
include an examination of the impact of high speed reclosing into a
fault (both successful and unsuccessful), to ensure that system
performance criteria can still be met (including ensuring no loss of
generators outside of the protection zone). Specifically, Requirement
R4 of TPL-001-4 states in relevant part that ``[e]ach Transmission
Planner and Planning Coordinator shall perform the Contingency analyses
listed in Table 1,'' and the sub-requirements of Requirement R4 require
that the analysis include the following:
The analyses shall include the impact of subsequent . . .
[s]uccessful high speed (less than one second) reclosing and
unsuccessful high speed reclosing into a Fault where high speed
reclosing is utilized.\36\
---------------------------------------------------------------------------
\36\ Reliability Standard TPL-001-4, Requirement R4, R4.3.1 and
R4.3.1.1.
---------------------------------------------------------------------------
26. While there may be valid reasons to differentiate between what
should be studied under TPL-001-4 versus what must be maintained in the
prescribed fashion under PRC-005-3, we believe the TPL-001-4
contingency analysis could provide a meaningful check or benchmark to
examine the validity of the applicability thresholds proposed in PRC-
005-3. Accordingly, we propose to require NERC to submit a report two
years after the effective date of Reliability Standard PRC-005-3,
comparing the set of reclosing relays identified as having an impact on
reliability using the contingency analyses generated under TPL-001-4,
versus the set of relays covered by PRC-005-3.
27. We request that NERC and other commenters address whether the
information expected to be generated pursuant to the contingency
analyses required by Requirement R4 of TPL-001-4 could provide a
meaningful metric or benchmark in analyzing the scope of PRC-005-3,
i.e., whether PRC-005-3's thresholds include an appropriate set of
autoreclosing relays that could affect the reliable operation of the
Bulk-Power System. We seek comment on this proposal, including whether
there are refinements that could improve this benchmark. Likewise, we
seek comment whether NERC or other interested entities believe there is
a more appropriate or more accurate benchmark or metric to achieve the
purpose discussed above. We further seek comment on the potential
burden associated with collecting and evaluating the information
expected to be generated under TPL-001-4. While transmission planners
will, in any case, be responsible for conducting the studies required
under Requirement R4 of TPL-001-4, we seek to understand the
incremental burden of collecting and analyzing this data for purposes
of the proposed benchmarking and reporting. Likewise, commenters
suggesting an alternative analysis that could serve as an appropriate
benchmark or metric should include a discussion on the potential burden
of the suggested alternative.
B. Supervisory Devices
28. Proposed Reliability Standard PRC-005-3 defines the components
of an ``Automatic Reclosing'' device to include both the reclosing
relay and its associated control circuitry. The proposed Reliability
Standard does not include supervisory devices such as sync-check and/or
voltage relays that may be critical to the operation of an
autoreclosing scheme.\37\ In general, supervisory devices, like sync-
check relays, are applied to monitor voltages on both sides of a
circuit breaker to allow autoreclosing for desirable conditions (e.g.,
proper phase angle and voltage) or block autoreclosing for undesirable
conditions.
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\37\ While NERC does not directly address this issue in its
petition, in response to one commenter's requests for clarification
during development of the standard, the standard drafting team noted
that ``supervisory capability such as sync-check and line switch
status are not included.'' NERC Petition, Exh. H (Summary of
Development History and Complete Development Record) at 507.
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29. The Joint Committee Report states that the NERC subcommittees
dismissed the need to consider supervision failures because the
committee believed supervisory device failure to be a small subset of
autoreclosing failures.\38\ While, according to NERC, premature or
undesired autoreclosing due to the failure of a supervisory element may
in fact be a relatively small subset of autoreclosing failures, we are
not persuaded to exclude such devices from the maintenance and testing
requirements of proposed PRC-005-3. Notably, the Commission rejected
almost identical arguments in Order No. 733, when it directed NERC to
include supervisory relays as part of its Transmission Relay
Loadability (TRL) standard:
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\38\ See, e.g., NERC Petition, Exh. D (Joint Committee Report)
at 6 (noting that premature autoreclosing has the potential to cause
generating unit loss of life due to shaft fatigue, but concluding
that supervisory failures need not be considered because
``[p]remature autoreclosing due to a supervision failure is a small
subset of autoreclosing failures'').
Exelon asserts that the TRL Reliability Standard's goal is to
address protective relays that have a history of contributing to
cascades, and that relays enabled only when other relays or
associated systems fail are extremely unlikely to be a factor in a
disturbance because they are enabled so infrequently.
. . .
[W]e disagree with those commenters that suggest that the
Commission should approve section 3.1 because it excludes from the
Reliability Standard's scope relays and protection systems that
rarely operate. These commenters appear to suggest that protection
systems that rarely operate do not pose a risk to the reliability of
the Bulk-Power System. We disagree. A protective relay, as an
integral part of the Bulk-Power System, must be dependable and
secure; it must operate correctly when required to clear a fault and
refrain from operating unnecessarily, i.e., during non-fault
conditions or for faults outside of its zone of protection,
regardless of how many times the relay must actually operate.\39\
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\39\ Transmission Relay Loadability Reliability Standard, Order
No. 733, 130 FERC ] 61,221, at PP 257, 269 (2010).
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30. As we explained previously, supervisory devices essentially
``supervise'' the actions of an autoreclosing scheme; i.e., allow
autoreclosing for desirable conditions or block autoreclosing for
undesirable conditions.\40\ The Joint Committee Report explains that,
``failure of a synchronism check function may allow a close when static
system angles are greater than designed, or inhibit a close when static
system angles are less than designed.'' \41\ While we agree with the
Joint Committee Report that a failure of a sync-check relay would not
send a
[[Page 43992]]
signal to reclose into a fault, NERC has not explained in its petition
how a failure of a sync-check relay for undesirable conditions, such as
when static system angles are greater than designed, would not allow
autoreclosing and consequently, the reliability concern that we
discussed in Order No. 758.\42\
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\40\ See supra P 28.
\41\ NERC Petition, Exh. D (Joint Committee Report) at 4.
\42\ See Order No. 758, 138 FERC ] 61,094 at P 24.
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31. Moreover, the proposed exclusion of supervisory devices in PRC-
005-3 is inconsistent with other aspects of the Joint Committee Report
regarding the overall function of autoreclosing relays, which
explicitly recognized that ``there are a few main characteristics
shared by most autoreclosing relays,'' and identified these as
supervision functions, timing functions, and output functions.\43\ The
Joint Committee Report also concluded that ``when analyzing
autoreclosing relay failure modes, the functions described above are
one of the most likely to lead to failure.'' \44\
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\43\ NERC Petition, Exh. D (Joint Committee Report) at 3-4.
\44\ Id. at 4.
---------------------------------------------------------------------------
32. Accordingly, to address the concerns set forth here, we propose
to direct that NERC develop modifications to PRC-005-3 that address our
concerns regarding the appropriateness of including supervisory relays
under the mandatory maintenance and testing provisions of the
Reliability Standard.
III. Information Collection Statement
33. The proposed Version 3 Reliability Standard, PRC-005-3, retains
the same evidence retention requirements approved in the Version 2
standard, PRC-005-2, requiring entities to maintain documentation of
maintenance activities for the longer of (1) the two most recent
performances of each distinct maintenance activity for the component;
or (2) all performances of each distinct maintenance activity for the
component since the previous scheduled audit date. Because the largest
maintenance interval prescribed for certain kinds of components is
twelve years, an entity may be required to retain its maintenance
records up to 24 years (two maintenance cycles). Thus, the potential
data retention requirement exceeds the three-year period that is
routinely allowed for regulations requiring record retention, under the
Office of Management and Budget (OMB) regulations implementing the
Paperwork Reduction Act (PRA).\45\
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\45\ See 5 CFR 1320.5(d)(2)(iv).
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34. However, the PRA regulations allow the Commission to approve a
standard that requires record retention for more than three years if
necessary to satisfy statutory requirements (e.g. of FPA section 215)
or based on other ``substantial need:'' (d)(2) Unless the agency is
able to demonstrate, in its submission for OMB clearance, that such
characteristic of the collection of information is necessary to satisfy
statutory requirements or other substantial need, OMB will not approve
a collection of information-- . . . (iv) Requiring respondents to
retain records, other than health, medical, government contract, grant-
in-aid, or tax records, for more than three years).\46\
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\46\ Id.
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35. In its petition, NERC explains that the two maintenance cycle
evidence retention period ``assures that documentation is available to
show that the time between maintenance cycles correctly meets the
maintenance interval limits.'' \47\ In addition, NERC maintains that
the data that must be retained are ``the usual and customary documents
maintained by these entities today to document maintenance
internally.'' \48\ Moreover, NERC explains that ``shortening the time
period for retention would require that the maintenance intervals be
reduced as well, which would significantly increase capital maintenance
costs since entities would need to maintain Components under tighter
time constraints.'' \49\ Because of these factors, NERC concludes that
the burden of evidence retention under the proposed standard would be
``minimal compared to the increased capital costs that would result
from shortening the intervals to create a shorter maximum retention
time.'' \50\
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\47\ NERC Petition at 25, & n. 45 (citing to Exh. E
(Supplementary Reference and FAQ Document) at 39).
\48\ Id. at 25-26.
\49\ Id. at 26.
\50\ Id. NERC notes that it has requested that the standard
drafting team currently working on another revision to the PRC-005
standard consider possible alternatives to the evidence retention
period of at least two maintenance cycles.
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36. We agree with NERC that the data retention obligations appear
to be negligible as compared to the benefit and reduced cost of a
longer maintenance interval for the highly reliable components that are
subject to such lengthy data retention requirements, and note that the
data retention provisions were developed by industry experts and
subject to approval by stakeholder vote. However, we seek comment
regarding the reasonableness of the proposed data retention
obligations. Specifically, for relays with a 12-year maintenance cycle,
the Commission seeks comment from NERC and other interested entities
whether: (a) there is substantial need to keep the maintenance records
for two cycles, and (b) retaining these types of records for 24 years
is overly burdensome or costly. In addition, we seek comment as to
whether entities would keep maintenance records for a similar time
frame even if it were not required under PRC-005-3. Finally, we seek
comment on any alternatives to the two maintenance cycle/24 year record
retention approach which could prove to be less costly and burdensome,
or more effective. To the extent such alternatives are identified, we
seek information on the associated costs and benefits of the
alternative approach.
37. The following collection of information contained in this
Notice of Proposed Rulemaking is subject to review by the Office of
Management and Budget (OMB) under section 3507(d) of the Paperwork
Reduction Act of 1995.\51\ OMB's regulations require approval of
certain information collection requirements imposed by agency
rules.\52\ 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 a 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.
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\51\ 44 U.S.C. 3507(d) (2006).
\52\ 5 CFR 1320.11 (2012).
---------------------------------------------------------------------------
38. We solicit comments on the Commission's need for this
information, whether the information will have practical utility, the
accuracy of the burden estimates, ways to enhance the quality, utility,
and clarity of the information to be collected or retained, and any
suggested methods for minimizing respondents' burden, including the use
of automated information techniques. Specifically, the Commission asks
that any revised burden or cost estimates submitted by commenters be
supported by sufficient detail to understand how the estimates are
generated.
39. The Commission proposes to approve Reliability Standard PRC-
005-3, which will replace PRC-005-2 (Protection System Maintenance).
The proposed Reliability Standard expands the existing standard to
cover reclosing schemes that meet certain criteria, imposing mandatory
minimum maintenance activities and maximum maintenance intervals for
the various reclosing scheme components. Because the specific
requirements were designed to reflect common industry practice,
entities are not expected to experience a meaningful change in actual
[[Page 43993]]
maintenance and documentation practices. However, applicable entities
will have to perform a one-time review of their reclosing schemes to
determine which ones fall under PRC-005-3, and, if they have applicable
reclosing schemes, review current reclosing scheme maintenance programs
to ensure that they meet the requirements of the proposed standard PRC-
005-3. Accordingly, all information collection costs are expected to be
limited to the first year of implementation of the revised standard.
40. Public Reporting Burden: Our estimate below regarding the
number of respondents is based on an analysis of the generating plants
within the footprint of the PJM Interconnection, LLC (PJM) that meet
the inclusion criteria of the proposed standard. There are an estimated
23 generating plants in PJM that meet these criteria. These generating
plants represent approximately 47,000 MW's of the approximately 184,000
MWs within PJM. Based on 2012 data, total installed capacity in the
continental United States is 1,153,000 MWs.\53\ Applying the PJM ratio
to this total results in 144 plant sites nationwide to which PRC-005-3
would be applicable. We also assume that a substation will be located
within 10 miles of each plant site, resulting in an estimated total
number of entities that meet the inclusion criteria of 288.\54\
Finally, we assume that all generator owners (GOs) and transmission
owners (TOs) must review their existing plant and substation sites to
determine applicability under the proposed standard.
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\53\ See https://search.usa.gov/search?utf8=%E2%9C%93&affiliate=eia.doe.gov&query=generation+capacity+all+states&search=Submit and https://www.eia.gov/electricity/annual/html/epa_08_07_a.html.
\54\ This estimate conservatively assumes that the proximate
substation would be owned by a different entity than the generating
plant.
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41. Affected entities must perform a one-time review of their
existing reclosing scheme maintenance program to ensure that it
contains at a minimum the activities listed in Table 4 in Reliability
Standard PRC-005-3, and that the activities are performed within the
applicable maximum interval listed in Table 4. If the existing
reclosing scheme maintenance program does not meet the criteria in
Reliability Standard PRC-005-3, the entity will have to make certain
adjustments to the program.
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\55\ This figure is the average of the salary plus benefits for
a manager and an engineer (rounded to the nearest dollar). The
figures are taken from the Bureau of Labor Statistics at (https://bls.gov/oes/current/naics3_221000.htm).
\56\ Based on the NERC Compliance Registry as of May 28, 2014.
----------------------------------------------------------------------------------------------------------------
Average number
Requirement Number of affected of hours per Total burden Total cost
entities review hours
(1)..................... (2) (3) (5)
(1)*(2) (3)*$73 \55\
----------------------------------------------------------------------------------------------------------------
One-time review of existing plant and 937 (GOs and TOs) \56\.. 2 1,874 $136,802
substation sites to determine which
ones fall under PRC-005-3.
One-time review and adjustment of 288 (subset of GOs and 8 2,304 168,192
existing program. TOs).
----------------------------------------------------------------------------------------------------------------
Title: FERC-725P, Mandatory Reliability Standards: Reliability
Standard PRC-005-3.
Action: Proposed Collection of Information.
OMB Control No: 1902-0269.
Respondents: Business or other for-profit and not-for-profit
institutions.
Frequency of Responses: One time.
Necessity of the Information: The proposed Reliability Standard
PRC-005-3, if adopted, would implement the Congressional mandate of the
Energy Policy Act of 2005 to develop mandatory and enforceable
Reliability Standards to better ensure the reliability of the nation's
Bulk-Power System. Specifically, the proposal would ensure that
transmission and generation protection systems affecting the
reliability of the bulk electric system are maintained and tested.
42. Internal review: The Commission has reviewed revised
Reliability Standard PRC-005-3 and made a determination that approval
of this standard is necessary to implement section 215 of the FPA. The
Commission has assured itself, by means of its internal review, that
there is specific, objective support for the burden estimates
associated with the information requirements.
43. Interested persons may obtain information on the reporting
requirements by contacting the Federal Energy Regulatory Commission,
Office of the Executive Director, 888 First Street, NE., Washington, DC
20426 [Attention: Ellen Brown, email: DataClearance@ferc.gov, phone:
(202) 502-8663, fax: (202) 273-0873].
44. Comments concerning the information collections proposed in
this NOPR and the associated burden estimates, should be sent to the
Commission in this docket and may also be sent to the Office of
Management and Budget, Office of Information and Regulatory Affairs
[Attention: Desk Officer for the Federal Energy Regulatory Commission].
For security reasons, comments should be sent by email to OMB at the
following email address: oira_submission@omb.eop.gov. Please reference
the docket number of this Notice of Proposed Rulemaking (Docket No.
RM14-8-000) in your submission.
IV. Regulatory Flexibility Act Analysis
45. The Regulatory Flexibility Act of 1980 (RFA) \57\ generally
requires a description and analysis of Proposed Rules that will have
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 business.\58\ The SBA
recently revised its size standard for electric utilities (effective
January 22, 2014) to a standard based on the number of employees,
including affiliates (from a standard based on megawatt hours).\59\
Under SBA's new size standards, generator owners and transmission
owners are likely included in one of the following categories (with the
associated size thresholds noted for each):\60\
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\57\ 5 U.S.C. 601-12.
\58\ 13 CFR 121.101 (2013).
\59\ SBA Final Rule on ``Small Business Size Standards:
Utilities,'' 78 FR 77343 (Dec. 23, 2013).
\60\ 13 CFR 121.201, Sector 22, Utilities.
[[Page 43994]]
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Hydroelectric power generation, at 500 employees
Fossil fuel electric power generation, at 750 employees
Nuclear electric power generation, at 750 employees
Other electric power generation (e.g., solar, wind,
geothermal, biomass, and other), at 250 employees
Electric bulk power transmission and control, at 500 employees
46. Based on U.S. economic census data,\61\ the approximate
percentages of small firms in these categories vary from 24 percent to
84 percent. However, currently FERC does not have information on how
the economic census data compare with the specific entities affected by
this proposed rule using the new SBA definitions.\62\ Regardless, FERC
recognizes that the rule will likely impact some small entities and
estimates the economic impact below.
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\61\ Data and further information are available from SBA at
https://www.sba.gov/advocacy/849/12162.
\62\ For utilities in the SBA's subsector 221, the previous SBA
definition stated that ``[a] firm is small if, including its
affiliates, it is primarily engaged in the generation, transmission,
and/or distribution of electric energy for sale and its total
electric output for the preceding fiscal year did not exceed 4
million megawatt hours.''
---------------------------------------------------------------------------
47. As discussed above, proposed Reliability Standard PRC-005-3
would apply to 144 generating plant sites and 144 sub-stations that are
located within 10 miles of the plant site. In addition, we estimate
that all GOs and TOs will initially review plant and substation sites
to determine applicability with the proposed standard.
48. On average, each small entity affected may have a one-time cost
of $730 per site, representing a one-time review of the program for
each entity, consisting of 10 man-hours at $73/hour as explained above
in the information collection statement. We do not consider this cost
to be a significant economic impact for small entities. Accordingly,
the Commission certifies that proposed Reliability Standard PRC-005-3
will not have a significant economic impact on a substantial number of
small entities. The Commission seeks comment on this certification.
V. Environmental Analysis
49. 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 proposed
herein fall within this categorical exclusion in the Commission's
regulations.
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\63\ Regulations Implementing the National Environmental Policy
Act of 1969, Order No. 486, FERC Stats. & Regs. ] 30,783 (1987).
\64\ 18 CFR 380.4(a)(2)(ii).
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VI. Comment Procedures
50. The Commission invites interested persons to submit comments on
the matters and issues proposed in this notice to be adopted, including
any related matters or alternative proposals that commenters may wish
to discuss. Comments are due September 29, 2014. Comments must refer to
Docket No. RM14-8-000, and must include the commenter's name, the
organization they represent, if applicable, and address.
51. The Commission encourages comments to be filed electronically
via the eFiling link on the Commission's Web site at https://www.ferc.gov. The Commission accepts most standard word processing
formats. Documents created electronically using word processing
software should be filed in native applications or print-to-PDF format
and not in a scanned format. Commenters filing electronically do not
need to make a paper filing.
52. Commenters that are not able to file comments electronically
must send an original of their comments to: Federal Energy Regulatory
Commission, Secretary of the Commission, 888 First Street NE.,
Washington, DC 20426.
53. All comments will be placed in the Commission's public files
and may be viewed, printed, or downloaded remotely as described in the
Document Availability section below. Commenters on this proposal are
not required to serve copies of their comments on other commenters.
VII. Document Availability
54. 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 the Commission's Home Page (https://www.ferc.gov) and
in the Commission's Public Reference Room during normal business hours
(8:30 a.m. to 5:00 p.m. Eastern time) at 888 First Street NE., Room 2A,
Washington, DC 20426.
55. From the Commission'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.
56. User assistance is available for eLibrary and the Commission's
Web site during normal business hours from the Commission's Online
Support at 202-502-6652 (toll free at 1-866-208-3676) or email at
ferconlinesupport@ferc.gov, or the Public Reference Room at (202) 502-
8371, TTY (202) 502-8659. Email the Public Reference Room at
public.referenceroom@ferc.gov.
By direction of the Commission.
Issued: July 17, 2014.
Nathaniel J. Davis, Sr.,
Deputy Secretary.
[FR Doc. 2014-17230 Filed 7-28-14; 8:45 am]
BILLING CODE 6717-01-P