Innovations and Efficiencies in Generator Interconnection; Second Supplemental Notice of Staff-Led Workshop, 67437-67440 [2024-18648]

Download as PDF Federal Register / Vol. 89, No. 161 / Tuesday, August 20, 2024 / Notices The Commission’s Office of Public Participation (OPP) supports meaningful public engagement and participation in Commission proceedings. OPP can help members of the public, including landowners, environmental justice communities, Tribal members and others, access publicly available information and navigate Commission processes. For public inquiries and assistance with making filings such as interventions, comments, or requests for rehearing, the public is encouraged to contact OPP at (202) 502–6595 or OPP@ ferc.gov. Dated: August 14, 2024. Debbie-Anne A. Reese, Acting Secretary. [FR Doc. 2024–18646 Filed 8–19–24; 8:45 am] BILLING CODE 6717–01–P DEPARTMENT OF ENERGY Federal Energy Regulatory Commission [Docket No. AD24–9–000] khammond on DSKJM1Z7X2PROD with NOTICES Innovations and Efficiencies in Generator Interconnection; Second Supplemental Notice of Staff-Led Workshop As first announced in the Notice of Staff-Led Workshop issued in this proceeding on May 13, 2024, as supplemented on June 27, 2024, pursuant to 18 CFR 2.1(a), the Federal Energy Regulatory Commission (Commission) will convene a staff-led workshop in the above-referenced proceeding at Commission headquarters, 888 First Street NE, Washington, DC 20426 on Tuesday, September 10, 2024 and Wednesday, September 11, 2024 from approximately 9:00 a.m. to 5:00 p.m. Eastern time. The conference will be webcast. Attached to this Second Supplemental Notice is an agenda for the workshop, which includes a final workshop program and expected speakers. The Commissioners may attend and participate in the workshop. Panelists are asked to submit advance materials to provide written answers to the questions presented for their respective panel and any further information (e.g., summary statements, reports, whitepapers, studies, or testimonies) that panelists believe should be included in the record of this proceeding. Panelists should file all advance materials in the AD24–9–000 docket by August 26, 2024. Discussions at the workshop will not address compliance with Commission VerDate Sep<11>2014 17:24 Aug 19, 2024 Jkt 262001 Order No. 2023 1 or any pending Order No. 2023 compliance filings. While the intent of the workshop is not to focus on any specific matters before the Commission, in the event that panelist materials or discussions focus on topics at issue in proceedings currently pending before the Commission, a further notice will be issued to identify those proceedings. An additional supplemental notice will be issued following the workshop with the opportunity for interested parties to submit post-workshop comments. The workshop will be open to the public to attend virtually or in person and there is no fee for attendance. Information will also be posted on the Calendar of Events on the Commission’s website,2 prior to the event. Attendees are requested to register through the Commission’s website on or before August 26, 2024. Registration will help ensure that Commission staff can provide sufficient physical and virtual facilities and to communicate with attendees in the case of unanticipated emergencies or other changes to the conference schedule or location. Access to the conference (virtual or in-person) may not be available to those who do not register by August 26. The workshop will be transcribed, and transcripts will be available for a fee from Ace Reporting (202–347–3700). A link to the webcast of this event and its recording will be available in the Commission Calendar of Events at www.ferc.gov. The Commission provides technical support for the free webcasts. Please call 202–502–8680 or email customer@ferc.gov if you have any questions. Commission conferences are accessible under section 508 of the Rehabilitation Act of 1973. For accessibility accommodations please send an email to accessibility@ferc.gov or call toll free (866) 208–3372 (voice) or (202) 502–8659 (TTY), or send a fax to (202) 208–2106 with the required accommodations. For further information about this workshop, please contact: Sarah McKinley (Logistical Information), Office of External Affairs, 202–502–8368, Sarah.McKinley@ferc.gov Michael G. Henry (Technical Information), Office of Energy Policy 1 Improvements to Generator Interconnection Procs. & Agreements, Order No. 2023, 184 FERC ¶ 61,054, order on reh’g, 185 FERC ¶ 61,063 (2023), order on reh’g, Order No. 2023–A, 186 FERC ¶ 61,199 (2024). 2 https://www.ferc.gov/news-events/events/ innovations-and-efficiencies-generatorinterconnection-workshop-docket-no-ad24-9. PO 00000 Frm 00031 Fmt 4703 Sfmt 4703 67437 and Innovation, 202–502–8583, Michael.Henry@ferc.gov Lewis Taylor (Legal Information), Office of General Counsel, 202–502–8624, Lewis.Taylor@ferc.gov. Dated: August 14, 2024. Debbie-Anne A. Reese, Acting Secretary. Staff-Led Workshop on Innovations and Efficiencies in Generator Interconnection Docket No. AD24–9–000 September 10 and 11, 2024 September 10 Agenda: Innovations 9:00 a.m.–9:15 a.m.: Welcome and Opening Remarks 9:15 a.m.–11:45 a.m.: Innovations Panel 1: Integrated Transmission Planning and Generator Interconnection This panel will discuss the extent to which transmission planning and generator interconnection processes may be further integrated beyond the reforms adopted in Order No. 1920.3 This panel will explore ideas to more efficiently and proactively plan for and interconnect new generation with increased cost certainty. Questions 1. Can efficiencies be gained through closer integration of generator interconnection processes with transmission planning processes? If so, how? What considerations need to be taken into account? What are the advantages/disadvantages, including impacts on consumers, to closer integration of these processes? 2. How might transmission providers more proactively, rather than reactively, identify zones where new transmission capacity could most efficiently accommodate proposed generating facilities? 3. What mechanisms may be appropriate for transmission providers to use to determine the cost responsibility for such proactively planned network upgrades? Is it appropriate for any such costs to be allocated to load and if so, why? If it is appropriate, how should such costs be allocated between load and interconnection customers both: (a) in regions that use participant funding, i.e., where interconnection customers are directly assigned network upgrade costs and (b) in regions that do not use participant funding, i.e., where load is assigned network upgrade costs? What are the advantages/disadvantages, 3 Building for the Future Through Electric Regional Transmission Planning and Cost Allocation, Order No. 1920, 187 FERC ¶ 61,068 (2024). E:\FR\FM\20AUN1.SGM 20AUN1 67438 Federal Register / Vol. 89, No. 161 / Tuesday, August 20, 2024 / Notices including impacts on consumers, of varying approaches to cost responsibility? 4. Where the costs exceed estimates for such proactively planned network upgrades, what are some approaches transmission providers could use to address concerns regarding ensuring adequate funding? For any given approaches proposed to ensure adequate funding, would these mechanisms increase or decrease the time and/or costs required to interconnect new resources, and how would this impact interconnection customers? Panelists • Beth Garza—Senior Fellow, R Street Institute • Arash Ghodsian—Vice President, Transmission & Policy, Invenergy • John Michael Haggerty—Principal, The Brattle Group • Natasha Henderson—Senior Director of Grid Asset Utilization, Southwest Power Pool • Aubrey Johnson—Vice President of System Planning, Midcontinent Independent System Operator, Inc. • David Mindham—Director of Regulatory and Market Affairs, EDP Renewables North America • Zach Smith—Senior Vice President, System Resource Planning, New York Independent System Operator 11:45 p.m.–12:45 p.m.: Lunch 12:45 p.m.–2:30 p.m.: Innovations Panel 2: Exploring Different Approaches to Processing and Studying Generator Interconnection Requests This panel will focus on the viability and utility of different approaches to organizing, processing, and studying generator interconnection requests. Examples include a ‘‘connect and manage’’ process where interconnection requests for Energy Resource Interconnection Service (ERIS) may be interconnected more quickly and at lower cost than interconnection requests for Network Resource Interconnection Service (NRIS), the use of competitive mechanisms (such as an auction process) to allocate scarce capacity or to resolve competition for the same point of interconnection, as well as other potential approaches. khammond on DSKJM1Z7X2PROD with NOTICES Questions 1. Please discuss the advantages and disadvantages of making ERIS, which requires the proposed generating facility to mitigate overloads through network upgrades to allow the generating facility to operate at full output (albeit without the deliverability analysis that NRIS entails), more like the approach used in the region managed by the Electricity VerDate Sep<11>2014 17:24 Aug 19, 2024 Jkt 262001 Reliability Council of Texas (ERCOT), sometimes referred to as a ‘‘connect and manage’’ approach, which curtails the generating facility in the study model when needed to minimize network upgrades at the cost of risking real-time curtailments and subsequently identifies necessary network upgrades through the transmission planning process. 2. How could elements of the ERCOT ‘‘connect and manage’’ approach be incorporated into the current structure of Commission-jurisdictional markets and pro forma generator interconnection procedures and agreements? a. Could customers interconnecting under this type of approach eventually increase their deliverability or reduce curtailments, such as by later converting to NRIS? How would this conversion be accomplished? b. In the context of RTO/ISO markets, how would an RTO/ISO account for resources’ differing levels of interconnection service (e.g., ‘‘connect and manage’’ versus NRIS or its equivalent) and any associated capacity rights when dispatching resources pursuant to security-constrained economic dispatch? 3. What other approaches could build on the pro forma generator interconnection procedures and agreements adopted in Order No. 2023 to more efficiently organize interconnection queues and process interconnection requests? a. Should transmission providers proactively identify zones where there is currently available transmission capacity or new transmission capacity due to planned transmission facilities and provide information on these zones to interconnection customers? If so, how should transmission providers identify these zones and how should they communicate that information to interconnection customers? b. If transmission providers identify zones, as described in (a) above, should auctions be used to assign queue positions or allocate excess transmission capacity in those zones? What other approaches could be considered? c. How could such procedures ensure that generator interconnection service is consistent with open access principles and is provided in a manner that is not unduly discriminatory or preferential? Panelists • Liz Delaney—Vice President of Utility-Scale Policy and Business Development, New Leaf Energy, Inc. • Jennifer Galaway—Senior Manager of Regional Transmission Development & Interconnection Services, Portland General Electric PO 00000 Frm 00032 Fmt 4703 Sfmt 4703 • Dr. Warren Lasher—President, Lasher Energy Consulting LLC • Tyler H. Norris—James B. Duke Fellow & Ph.D. Student, Duke University • Matt Picardi—Vice President of Regulatory Affairs, Shell Energy North America • Aaron Vander Vorst—Head of Growth Strategy and Transmission, Enel North America • Andy Witmeier—Director of Resource Utilization, Midcontinent Independent System Operator, Inc. 2:30 p.m.–2:45 p.m.: Break 2:45 p.m.–4:30 p.m.: Innovations Panel 3: Prioritizing Certain Generator Interconnection Requests This panel will examine whether certain proposed generator interconnection requests may be prioritized in the interconnection queue without undue discrimination, building on the use of first-ready, first-served cluster window deadlines and readiness milestones as adopted by Order No. 2023. Questions 1. Are there any viable, not unduly discriminatory methods for further prioritization of interconnection requests to increase queue efficiency and ensure just and reasonable rates? 2. Would prioritization of interconnection requests selected in open competitive resource solicitations over other interconnection requests that are not similarly selected add efficiency to the generator interconnection process? How would this type of prioritization affect the alignment of transmission planning, resource solicitation, and generator interconnection processes? Under such a prioritization, must an open competitive solicitation process meet certain requirements to avoid infringing on the Commission’s open access transmission requirements? 3. Should interconnection requests for new generating facilities submitted to replace existing generating facilities at existing points of interconnection (replacement generation) have priority in the transmission provider’s processing of its interconnection queue over the interconnection of new generating facilities at new points of interconnection? If so, are there conditions that should be required for such prioritization of replacement generation, for example, a finding by the transmission provider that the replacement generation allows for a faster or lower-cost interconnection as compared to the interconnection of new generating facilities at new points of interconnection? E:\FR\FM\20AUN1.SGM 20AUN1 Federal Register / Vol. 89, No. 161 / Tuesday, August 20, 2024 / Notices 4. Should interconnection requests from proposed new generating facilities that meet certain resource adequacy or reliability needs have priority over other interconnection requests for new generating facilities? Panelists • Eric Blank—Chairman, Colorado Public Utilities Commission • Joshua Burkholder—Managing Director of Integrated Resource Planning, American Electric Power Company, Inc. • Jason Burwen—Vice President of Policy and Strategy, GridStor • Mike Calviou—Senior Vice President of US Policy & Regulation, National Grid • Adrien Ford—Wholesale Market Development Director, Constellation Energy Generation, LLC • Danielle Osborn Mills—Principal of Infrastructure Policy Development, California ISO 4:30 p.m.–4:45 p.m.: Closing Remarks khammond on DSKJM1Z7X2PROD with NOTICES September 11 Agenda 9:00 a.m.–9:15 a.m.: Welcome and Opening Remarks 9:15 a.m.–11:45 a.m.: Efficiencies Panel 1: Further Efficiencies in the Generator Interconnection Process This panel will evaluate the potential for increased efficiency throughout the generator interconnection process as revised in the Commission’s Order No. 2023 4 (excluding topics covered in Efficiencies Panels 2 and 3), such as providing additional pre-application data to interconnection customers to allow for more efficient decision-making or establishing fast-track processes for interconnection requests at points of interconnection with fewer transmission system constraints. study process, which work well? What about them could be improved or emulated to achieve greater efficiencies? b. For interconnection requests that have little or minimal impact on existing transmission capacity, should there be a fast-track process or other prioritization method? 3. What types of remedial or mitigation mechanisms could address instances where inadvertent oversights or technical difficulties result in milestone failures, and interconnection customers do not learn of these issues in time to file a waiver request? In such instances, where good faith and a significant consequence to not meeting the particular milestone are also present, how may transmission providers modify their tariffs to reach a balanced resolution that enhances the stability of the interconnection process while also ensuring that only viable generating facilities remain in the queue? 4. What other opportunities exist to increase the efficiency of the existing generator interconnection procedures and agreements? Panelists Questions 1. What specific types of additional pre-application data provided to interconnection customers would facilitate greater efficiencies in the application phase and the rest of the generator interconnection process? a. How would these types of data be helpful to interconnection customers? b. Are there inefficiencies or complications associated with providing these types of additional pre-application data? 2. Regarding potential fast-track processes: a. Of the existing fast-track processes, such as California ISO’s independent • Chris Barker—Managing Director, Transmission & Grid Integration, Clearway Energy Group • Donnie Bielak—Director, Interconnection Planning, PJM Interconnection, LLC • Jonathan E. Canis—General Counsel, Oceti Sakowin Power Authority • Brian Fitzsimons—CEO, GridUnity, Inc. • Caitlin Marquis—Managing Director, Advanced Energy United • Joe Rand—Energy Policy Researcher, Lawrence Berkeley National Laboratory • Martin Wyspianski—Vice President of Electric Engineering, Electric Asset Management, Pacific Gas and Electric Company 11:45 p.m.–1:00 p.m.: Lunch 12:45 p.m.–2:30 p.m.: Efficiencies Panel 2: Automation and Advanced Computing Technologies This panel will assess opportunities for greater efficiency in the processing and study of interconnection requests by automating different steps in the process and using advanced computing technologies, such as artificial intelligence, to shorten the timeline from interconnection request to generator interconnection agreement.5 4 Improvements to Generator Interconnection Procs. & Agreements, Order No. 2023, 184 FERC ¶ 61,054, order on reh’g, 185 FERC ¶ 61,063 (2023), order on reh’g, Order No. 2023–A, 186 FERC ¶ 61,199 (2024). 5 Artificial intelligence (AI) is a broad term for a spectrum of tools ranging from simple data validation to more sophisticated machine learning and statistical modeling, to advanced deep learning and generative AI. VerDate Sep<11>2014 17:24 Aug 19, 2024 Jkt 262001 PO 00000 Frm 00033 Fmt 4703 Sfmt 4703 67439 Questions 1. Please describe the different steps in the generator interconnection process that may be automated and your experience automating these steps, including data entry, base case model building, running power flow studies, and identifying solutions. How can automation reduce errors, improve study repeatability and transparency, or address workforce needs? 2. Are you using AI tools in your generator interconnection processes? Are these AI tools part of or separate from your work on automation? What have been the advantages and disadvantages of adopting these AI tools? Looking across the electric power industry, how common is the use of AI tools? 3. Looking across the electric power industry, how common is automation in the different steps of the generator interconnection process (e.g., model building) today? What do you think are the main challenges to broader adoption of automation? Do the Commission’s existing regulatory frameworks and/or utility processes present any impediments in these areas? If so, what are the impediments? What role can the Commission play in supporting the adoption of automation in the generator interconnection process? What reforms, if any, would you recommend that the Commission consider pursuing to facilitate greater automation in the processing and study of interconnection requests? 4. Recognizing that a lack of standardized data inputs and outputs can create challenges, how can automation reduce variability between studies done by a given transmission provider or reduce variability of studies between transmission providers? 5. In developing the base case model, what role can automation play to address rapidly changing load forecasts or to improve the coordination of generator interconnection and transmission planning? Panelists • David Bromberg—Co-Founder and CEO, Pearl Street Technologies • Cody Doll—Sr. Manager of Transmission Business Management, at NextEra Energy Resources • Andrew Martin—Co-Founder and Transmission Lead, Nira Energy • Anton Ptak—Director of Transmission and Interconnection, EDF Renewables • Jennifer Swierczek—Manager Generator Interconnection, Southwest Power Pool 2:30 p.m.–2:45 p.m.: Break E:\FR\FM\20AUN1.SGM 20AUN1 67440 Federal Register / Vol. 89, No. 161 / Tuesday, August 20, 2024 / Notices khammond on DSKJM1Z7X2PROD with NOTICES 2:45 p.m.–4:30 p.m.: Efficiencies Panel 3: Post-Generator Interconnection Agreement Construction Phase This panel will focus on the time period after execution of a generator interconnection agreement (GIA), or its filing unexecuted, through the commercial operation date (COD). Topics include opportunities for greater efficiency, transparency, and accountability in cost and time estimates for interconnection facilities and network upgrades, as well as identifying other problems that contribute to delays, such as supply chain issues, which may benefit from organized cooperation among stakeholders. Questions 1. What are the primary cost and timing concerns arising during the period between execution, or unexecuted filing, of a GIA and the COD? To the extent that cost increases and delays for interconnection facilities and network upgrades are becoming more frequent, what are the primary drivers of those issues? 2. Are there productive ways to increase transparency around construction plans and progress of interconnection facilities and network upgrades, such as CAISO’s quarterly forum to track the status of network upgrades, SPP’s quarterly transmission project tracking report, or California’s newly instated metrics for tracking distribution-level interconnection timeframes? What construction metrics for interconnection facilities and network upgrades would be most informative? How much documentation is reasonable and not unduly burdensome? 3. Are there new approaches to sourcing equipment for interconnection facilities and network upgrades that could be more efficient? What safeguards would need to be in place for engineering, procurement, and construction work for such facilities to begin earlier? Is there a way to pool equipment purchasing or risk? Are there efficiencies that may be achieved by standardizing engineering, procurement, or construction of interconnection facilities and network upgrades? Would pooling procurement of equipment provide manufacturers with the certainty needed to increase their manufacturing capacity thereby reducing lead times? 4. Are there efficiencies that may be gained by enhancing internal transmission owner or RTO/ISO procedure, increasing staffing, or by opening up interconnection facility studies and/or interconnection facility VerDate Sep<11>2014 17:24 Aug 19, 2024 Jkt 262001 construction work to contractors? How can the interconnection study process be better aligned with interconnection customer-initiated processes, such as permitting for the generating facility and generator equipment procurement? Panelists • Lionel Chailleux—Senior VP, Market Development North America, Hitachi Energy. • Matthew Crosby—Senior Director, Grid Integration, Cypress Creek Renewables • Neil Millar—Vice President of Infrastructure and Operations Planning Organization, California ISO • Jing Shi—Managing Director of Renewable Integration, Duke Energy • Carrie Zalewski—Vice President of Transmission and Electricity Markets, American Clean Power Association 4:30 p.m.–4:45 p.m.: Closing Remarks [FR Doc. 2024–18648 Filed 8–19–24; 8:45 am] BILLING CODE 6717–01–P DEPARTMENT OF ENERGY Federal Energy Regulatory Commission [Docket No. ER24–2754–000] Western Maine Renewables, LLC; Supplemental Notice That Initial Market-Based Rate Filing Includes Request for Blanket Section 204 Authorization This is a supplemental notice in the above-referenced proceeding of Western Maine Renewables, LLC’s application for market-based rate authority, with an accompanying rate tariff, noting that such application includes a request for blanket authorization, under 18 CFR part 34, of future issuances of securities and assumptions of liability. Any person desiring to intervene or to protest should file with the Federal Energy Regulatory Commission, 888 First Street NE, Washington, DC 20426, in accordance with Rules 211 and 214 of the Commission’s Rules of Practice and Procedure (18 CFR 385.211 and 385.214). Anyone filing a motion to intervene or protest must serve a copy of that document on the Applicant. Notice is hereby given that the deadline for filing protests with regard to the applicant’s request for blanket authorization, under 18 CFR part 34, of future issuances of securities and assumptions of liability, is September 3, 2024. The Commission encourages electronic submission of protests and interventions in lieu of paper, using the FERC Online links at https:// PO 00000 Frm 00034 Fmt 4703 Sfmt 4703 www.ferc.gov. To facilitate electronic service, persons with internet access who will eFile a document and/or be listed as a contact for an intervenor must create and validate an eRegistration account using the eRegistration link. Select the eFiling link to log on and submit the intervention or protests. Persons unable to file electronically may mail similar pleadings to the Federal Energy Regulatory Commission, 888 First Street NE, Washington, DC 20426. Hand delivered submissions in docketed proceedings should be delivered to Health and Human Services, 12225 Wilkins Avenue, Rockville, Maryland 20852. 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). 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. User assistance is available for eLibrary and the Commission’s website during normal business hours from FERC 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. The Commission’s Office of Public Participation (OPP) supports meaningful public engagement and participation in Commission proceedings. OPP can help members of the public, including landowners, environmental justice communities, Tribal members and others, access publicly available information and navigate Commission processes. For public inquiries and assistance with making filings such as interventions, comments, or requests for rehearing, the public is encouraged to contact OPP at (202) 502–6595 or OPP@ ferc.gov. Dated: August 13, 2024. Debbie-Anne A. Reese, Acting Secretary. [FR Doc. 2024–18530 Filed 8–19–24; 8:45 am] BILLING CODE 6717–01–P E:\FR\FM\20AUN1.SGM 20AUN1

Agencies

[Federal Register Volume 89, Number 161 (Tuesday, August 20, 2024)]
[Notices]
[Pages 67437-67440]
From the Federal Register Online via the Government Publishing Office [www.gpo.gov]
[FR Doc No: 2024-18648]


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DEPARTMENT OF ENERGY

Federal Energy Regulatory Commission

[Docket No. AD24-9-000]


Innovations and Efficiencies in Generator Interconnection; Second 
Supplemental Notice of Staff-Led Workshop

    As first announced in the Notice of Staff-Led Workshop issued in 
this proceeding on May 13, 2024, as supplemented on June 27, 2024, 
pursuant to 18 CFR 2.1(a), the Federal Energy Regulatory Commission 
(Commission) will convene a staff-led workshop in the above-referenced 
proceeding at Commission headquarters, 888 First Street NE, Washington, 
DC 20426 on Tuesday, September 10, 2024 and Wednesday, September 11, 
2024 from approximately 9:00 a.m. to 5:00 p.m. Eastern time. The 
conference will be webcast.
    Attached to this Second Supplemental Notice is an agenda for the 
workshop, which includes a final workshop program and expected 
speakers. The Commissioners may attend and participate in the workshop.
    Panelists are asked to submit advance materials to provide written 
answers to the questions presented for their respective panel and any 
further information (e.g., summary statements, reports, whitepapers, 
studies, or testimonies) that panelists believe should be included in 
the record of this proceeding. Panelists should file all advance 
materials in the AD24-9-000 docket by August 26, 2024.
    Discussions at the workshop will not address compliance with 
Commission Order No. 2023 \1\ or any pending Order No. 2023 compliance 
filings. While the intent of the workshop is not to focus on any 
specific matters before the Commission, in the event that panelist 
materials or discussions focus on topics at issue in proceedings 
currently pending before the Commission, a further notice will be 
issued to identify those proceedings.
---------------------------------------------------------------------------

    \1\ Improvements to Generator Interconnection Procs. & 
Agreements, Order No. 2023, 184 FERC ] 61,054, order on reh'g, 185 
FERC ] 61,063 (2023), order on reh'g, Order No. 2023-A, 186 FERC ] 
61,199 (2024).
---------------------------------------------------------------------------

    An additional supplemental notice will be issued following the 
workshop with the opportunity for interested parties to submit post-
workshop comments.
    The workshop will be open to the public to attend virtually or in 
person and there is no fee for attendance. Information will also be 
posted on the Calendar of Events on the Commission's website,\2\ prior 
to the event. Attendees are requested to register through the 
Commission's website on or before August 26, 2024. Registration will 
help ensure that Commission staff can provide sufficient physical and 
virtual facilities and to communicate with attendees in the case of 
unanticipated emergencies or other changes to the conference schedule 
or location. Access to the conference (virtual or in-person) may not be 
available to those who do not register by August 26.
---------------------------------------------------------------------------

    \2\ https://www.ferc.gov/news-events/events/innovations-and-efficiencies-generator-interconnection-workshop-docket-no-ad24-9.
---------------------------------------------------------------------------

    The workshop will be transcribed, and transcripts will be available 
for a fee from Ace Reporting (202-347-3700). A link to the webcast of 
this event and its recording will be available in the Commission 
Calendar of Events at www.ferc.gov. The Commission provides technical 
support for the free webcasts. Please call 202-502-8680 or email 
[email protected] if you have any questions.
    Commission conferences are accessible under section 508 of the 
Rehabilitation Act of 1973. For accessibility accommodations please 
send an email to [email protected] or call toll free (866) 208-
3372 (voice) or (202) 502-8659 (TTY), or send a fax to (202) 208-2106 
with the required accommodations.
    For further information about this workshop, please contact:

Sarah McKinley (Logistical Information), Office of External Affairs, 
202-502-8368, [email protected]
Michael G. Henry (Technical Information), Office of Energy Policy and 
Innovation, 202-502-8583, [email protected]
Lewis Taylor (Legal Information), Office of General Counsel, 202-502-
8624, [email protected].

    Dated: August 14, 2024.
Debbie-Anne A. Reese,
Acting Secretary.

Staff-Led Workshop on Innovations and Efficiencies in Generator 
Interconnection

Docket No. AD24-9-000

September 10 and 11, 2024

September 10 Agenda: Innovations

9:00 a.m.-9:15 a.m.: Welcome and Opening Remarks
9:15 a.m.-11:45 a.m.: Innovations Panel 1: Integrated Transmission 
Planning and Generator Interconnection

    This panel will discuss the extent to which transmission planning 
and generator interconnection processes may be further integrated 
beyond the reforms adopted in Order No. 1920.\3\ This panel will 
explore ideas to more efficiently and proactively plan for and 
interconnect new generation with increased cost certainty.
---------------------------------------------------------------------------

    \3\ Building for the Future Through Electric Regional 
Transmission Planning and Cost Allocation, Order No. 1920, 187 FERC 
] 61,068 (2024).
---------------------------------------------------------------------------

Questions

    1. Can efficiencies be gained through closer integration of 
generator interconnection processes with transmission planning 
processes? If so, how? What considerations need to be taken into 
account? What are the advantages/disadvantages, including impacts on 
consumers, to closer integration of these processes?
    2. How might transmission providers more proactively, rather than 
reactively, identify zones where new transmission capacity could most 
efficiently accommodate proposed generating facilities?
    3. What mechanisms may be appropriate for transmission providers to 
use to determine the cost responsibility for such proactively planned 
network upgrades? Is it appropriate for any such costs to be allocated 
to load and if so, why? If it is appropriate, how should such costs be 
allocated between load and interconnection customers both: (a) in 
regions that use participant funding, i.e., where interconnection 
customers are directly assigned network upgrade costs and (b) in 
regions that do not use participant funding, i.e., where load is 
assigned network upgrade costs? What are the advantages/disadvantages,

[[Page 67438]]

including impacts on consumers, of varying approaches to cost 
responsibility?
    4. Where the costs exceed estimates for such proactively planned 
network upgrades, what are some approaches transmission providers could 
use to address concerns regarding ensuring adequate funding? For any 
given approaches proposed to ensure adequate funding, would these 
mechanisms increase or decrease the time and/or costs required to 
interconnect new resources, and how would this impact interconnection 
customers?

Panelists

 Beth Garza--Senior Fellow, R Street Institute
 Arash Ghodsian--Vice President, Transmission & Policy, 
Invenergy
 John Michael Haggerty--Principal, The Brattle Group
 Natasha Henderson--Senior Director of Grid Asset Utilization, 
Southwest Power Pool
 Aubrey Johnson--Vice President of System Planning, 
Midcontinent Independent System Operator, Inc.
 David Mindham--Director of Regulatory and Market Affairs, EDP 
Renewables North America
 Zach Smith--Senior Vice President, System Resource Planning, 
New York Independent System Operator

11:45 p.m.-12:45 p.m.: Lunch
12:45 p.m.-2:30 p.m.: Innovations Panel 2: Exploring Different 
Approaches to Processing and Studying Generator Interconnection 
Requests

    This panel will focus on the viability and utility of different 
approaches to organizing, processing, and studying generator 
interconnection requests. Examples include a ``connect and manage'' 
process where interconnection requests for Energy Resource 
Interconnection Service (ERIS) may be interconnected more quickly and 
at lower cost than interconnection requests for Network Resource 
Interconnection Service (NRIS), the use of competitive mechanisms (such 
as an auction process) to allocate scarce capacity or to resolve 
competition for the same point of interconnection, as well as other 
potential approaches.

Questions

    1. Please discuss the advantages and disadvantages of making ERIS, 
which requires the proposed generating facility to mitigate overloads 
through network upgrades to allow the generating facility to operate at 
full output (albeit without the deliverability analysis that NRIS 
entails), more like the approach used in the region managed by the 
Electricity Reliability Council of Texas (ERCOT), sometimes referred to 
as a ``connect and manage'' approach, which curtails the generating 
facility in the study model when needed to minimize network upgrades at 
the cost of risking real-time curtailments and subsequently identifies 
necessary network upgrades through the transmission planning process.
    2. How could elements of the ERCOT ``connect and manage'' approach 
be incorporated into the current structure of Commission-jurisdictional 
markets and pro forma generator interconnection procedures and 
agreements?
    a. Could customers interconnecting under this type of approach 
eventually increase their deliverability or reduce curtailments, such 
as by later converting to NRIS? How would this conversion be 
accomplished?
    b. In the context of RTO/ISO markets, how would an RTO/ISO account 
for resources' differing levels of interconnection service (e.g., 
``connect and manage'' versus NRIS or its equivalent) and any 
associated capacity rights when dispatching resources pursuant to 
security-constrained economic dispatch?
    3. What other approaches could build on the pro forma generator 
interconnection procedures and agreements adopted in Order No. 2023 to 
more efficiently organize interconnection queues and process 
interconnection requests?
    a. Should transmission providers proactively identify zones where 
there is currently available transmission capacity or new transmission 
capacity due to planned transmission facilities and provide information 
on these zones to interconnection customers? If so, how should 
transmission providers identify these zones and how should they 
communicate that information to interconnection customers?
    b. If transmission providers identify zones, as described in (a) 
above, should auctions be used to assign queue positions or allocate 
excess transmission capacity in those zones? What other approaches 
could be considered?
    c. How could such procedures ensure that generator interconnection 
service is consistent with open access principles and is provided in a 
manner that is not unduly discriminatory or preferential?

Panelists

 Liz Delaney--Vice President of Utility-Scale Policy and 
Business Development, New Leaf Energy, Inc.
 Jennifer Galaway--Senior Manager of Regional Transmission 
Development & Interconnection Services, Portland General Electric
 Dr. Warren Lasher--President, Lasher Energy Consulting LLC
 Tyler H. Norris--James B. Duke Fellow & Ph.D. Student, Duke 
University
 Matt Picardi--Vice President of Regulatory Affairs, Shell 
Energy North America
 Aaron Vander Vorst--Head of Growth Strategy and Transmission, 
Enel North America
 Andy Witmeier--Director of Resource Utilization, Midcontinent 
Independent System Operator, Inc.

2:30 p.m.-2:45 p.m.: Break
2:45 p.m.-4:30 p.m.: Innovations Panel 3: Prioritizing Certain 
Generator Interconnection Requests

    This panel will examine whether certain proposed generator 
interconnection requests may be prioritized in the interconnection 
queue without undue discrimination, building on the use of first-ready, 
first-served cluster window deadlines and readiness milestones as 
adopted by Order No. 2023.

Questions

    1. Are there any viable, not unduly discriminatory methods for 
further prioritization of interconnection requests to increase queue 
efficiency and ensure just and reasonable rates?
    2. Would prioritization of interconnection requests selected in 
open competitive resource solicitations over other interconnection 
requests that are not similarly selected add efficiency to the 
generator interconnection process? How would this type of 
prioritization affect the alignment of transmission planning, resource 
solicitation, and generator interconnection processes? Under such a 
prioritization, must an open competitive solicitation process meet 
certain requirements to avoid infringing on the Commission's open 
access transmission requirements?
    3. Should interconnection requests for new generating facilities 
submitted to replace existing generating facilities at existing points 
of interconnection (replacement generation) have priority in the 
transmission provider's processing of its interconnection queue over 
the interconnection of new generating facilities at new points of 
interconnection? If so, are there conditions that should be required 
for such prioritization of replacement generation, for example, a 
finding by the transmission provider that the replacement generation 
allows for a faster or lower-cost interconnection as compared to the 
interconnection of new generating facilities at new points of 
interconnection?

[[Page 67439]]

    4. Should interconnection requests from proposed new generating 
facilities that meet certain resource adequacy or reliability needs 
have priority over other interconnection requests for new generating 
facilities?

Panelists

 Eric Blank--Chairman, Colorado Public Utilities Commission
 Joshua Burkholder--Managing Director of Integrated Resource 
Planning, American Electric Power Company, Inc.
 Jason Burwen--Vice President of Policy and Strategy, GridStor
 Mike Calviou--Senior Vice President of US Policy & Regulation, 
National Grid
 Adrien Ford--Wholesale Market Development Director, 
Constellation Energy Generation, LLC
 Danielle Osborn Mills--Principal of Infrastructure Policy 
Development, California ISO

4:30 p.m.-4:45 p.m.: Closing Remarks

September 11 Agenda

9:00 a.m.-9:15 a.m.: Welcome and Opening Remarks
9:15 a.m.-11:45 a.m.: Efficiencies Panel 1: Further Efficiencies in the 
Generator Interconnection Process

    This panel will evaluate the potential for increased efficiency 
throughout the generator interconnection process as revised in the 
Commission's Order No. 2023 \4\ (excluding topics covered in 
Efficiencies Panels 2 and 3), such as providing additional pre-
application data to interconnection customers to allow for more 
efficient decision-making or establishing fast-track processes for 
interconnection requests at points of interconnection with fewer 
transmission system constraints.
---------------------------------------------------------------------------

    \4\ Improvements to Generator Interconnection Procs. & 
Agreements, Order No. 2023, 184 FERC ] 61,054, order on reh'g, 185 
FERC ] 61,063 (2023), order on reh'g, Order No. 2023-A, 186 FERC ] 
61,199 (2024).
---------------------------------------------------------------------------

Questions

    1. What specific types of additional pre-application data provided 
to interconnection customers would facilitate greater efficiencies in 
the application phase and the rest of the generator interconnection 
process?
    a. How would these types of data be helpful to interconnection 
customers?
    b. Are there inefficiencies or complications associated with 
providing these types of additional pre-application data?
    2. Regarding potential fast-track processes:
    a. Of the existing fast-track processes, such as California ISO's 
independent study process, which work well? What about them could be 
improved or emulated to achieve greater efficiencies?
    b. For interconnection requests that have little or minimal impact 
on existing transmission capacity, should there be a fast-track process 
or other prioritization method?
    3. What types of remedial or mitigation mechanisms could address 
instances where inadvertent oversights or technical difficulties result 
in milestone failures, and interconnection customers do not learn of 
these issues in time to file a waiver request? In such instances, where 
good faith and a significant consequence to not meeting the particular 
milestone are also present, how may transmission providers modify their 
tariffs to reach a balanced resolution that enhances the stability of 
the interconnection process while also ensuring that only viable 
generating facilities remain in the queue?
    4. What other opportunities exist to increase the efficiency of the 
existing generator interconnection procedures and agreements?

Panelists

 Chris Barker--Managing Director, Transmission & Grid 
Integration, Clearway Energy Group
 Donnie Bielak--Director, Interconnection Planning, PJM 
Interconnection, LLC
 Jonathan E. Canis--General Counsel, Oceti Sakowin Power 
Authority
 Brian Fitzsimons--CEO, GridUnity, Inc.
 Caitlin Marquis--Managing Director, Advanced Energy United
 Joe Rand--Energy Policy Researcher, Lawrence Berkeley National 
Laboratory
 Martin Wyspianski--Vice President of Electric Engineering, 
Electric Asset Management, Pacific Gas and Electric Company

11:45 p.m.-1:00 p.m.: Lunch
12:45 p.m.-2:30 p.m.: Efficiencies Panel 2: Automation and Advanced 
Computing Technologies

    This panel will assess opportunities for greater efficiency in the 
processing and study of interconnection requests by automating 
different steps in the process and using advanced computing 
technologies, such as artificial intelligence, to shorten the timeline 
from interconnection request to generator interconnection agreement.\5\
---------------------------------------------------------------------------

    \5\ Artificial intelligence (AI) is a broad term for a spectrum 
of tools ranging from simple data validation to more sophisticated 
machine learning and statistical modeling, to advanced deep learning 
and generative AI.
---------------------------------------------------------------------------

Questions

    1. Please describe the different steps in the generator 
interconnection process that may be automated and your experience 
automating these steps, including data entry, base case model building, 
running power flow studies, and identifying solutions. How can 
automation reduce errors, improve study repeatability and transparency, 
or address workforce needs?
    2. Are you using AI tools in your generator interconnection 
processes? Are these AI tools part of or separate from your work on 
automation? What have been the advantages and disadvantages of adopting 
these AI tools? Looking across the electric power industry, how common 
is the use of AI tools?
    3. Looking across the electric power industry, how common is 
automation in the different steps of the generator interconnection 
process (e.g., model building) today? What do you think are the main 
challenges to broader adoption of automation? Do the Commission's 
existing regulatory frameworks and/or utility processes present any 
impediments in these areas? If so, what are the impediments? What role 
can the Commission play in supporting the adoption of automation in the 
generator interconnection process? What reforms, if any, would you 
recommend that the Commission consider pursuing to facilitate greater 
automation in the processing and study of interconnection requests?
    4. Recognizing that a lack of standardized data inputs and outputs 
can create challenges, how can automation reduce variability between 
studies done by a given transmission provider or reduce variability of 
studies between transmission providers?
    5. In developing the base case model, what role can automation play 
to address rapidly changing load forecasts or to improve the 
coordination of generator interconnection and transmission planning?

Panelists

 David Bromberg--Co-Founder and CEO, Pearl Street Technologies
 Cody Doll--Sr. Manager of Transmission Business Management, at 
NextEra Energy Resources
 Andrew Martin--Co-Founder and Transmission Lead, Nira Energy
 Anton Ptak--Director of Transmission and Interconnection, EDF 
Renewables
 Jennifer Swierczek--Manager Generator Interconnection, 
Southwest Power Pool

2:30 p.m.-2:45 p.m.: Break

[[Page 67440]]

2:45 p.m.-4:30 p.m.: Efficiencies Panel 3: Post-Generator 
Interconnection Agreement Construction Phase

    This panel will focus on the time period after execution of a 
generator interconnection agreement (GIA), or its filing unexecuted, 
through the commercial operation date (COD). Topics include 
opportunities for greater efficiency, transparency, and accountability 
in cost and time estimates for interconnection facilities and network 
upgrades, as well as identifying other problems that contribute to 
delays, such as supply chain issues, which may benefit from organized 
cooperation among stakeholders.

Questions

    1. What are the primary cost and timing concerns arising during the 
period between execution, or unexecuted filing, of a GIA and the COD? 
To the extent that cost increases and delays for interconnection 
facilities and network upgrades are becoming more frequent, what are 
the primary drivers of those issues?
    2. Are there productive ways to increase transparency around 
construction plans and progress of interconnection facilities and 
network upgrades, such as CAISO's quarterly forum to track the status 
of network upgrades, SPP's quarterly transmission project tracking 
report, or California's newly instated metrics for tracking 
distribution-level interconnection timeframes? What construction 
metrics for interconnection facilities and network upgrades would be 
most informative? How much documentation is reasonable and not unduly 
burdensome?
    3. Are there new approaches to sourcing equipment for 
interconnection facilities and network upgrades that could be more 
efficient? What safeguards would need to be in place for engineering, 
procurement, and construction work for such facilities to begin 
earlier? Is there a way to pool equipment purchasing or risk? Are there 
efficiencies that may be achieved by standardizing engineering, 
procurement, or construction of interconnection facilities and network 
upgrades? Would pooling procurement of equipment provide manufacturers 
with the certainty needed to increase their manufacturing capacity 
thereby reducing lead times?
    4. Are there efficiencies that may be gained by enhancing internal 
transmission owner or RTO/ISO procedure, increasing staffing, or by 
opening up interconnection facility studies and/or interconnection 
facility construction work to contractors? How can the interconnection 
study process be better aligned with interconnection customer-initiated 
processes, such as permitting for the generating facility and generator 
equipment procurement?

Panelists

 Lionel Chailleux--Senior VP, Market Development North America, 
Hitachi Energy.
 Matthew Crosby--Senior Director, Grid Integration, Cypress 
Creek Renewables
 Neil Millar--Vice President of Infrastructure and Operations 
Planning Organization, California ISO
 Jing Shi--Managing Director of Renewable Integration, Duke 
Energy
 Carrie Zalewski--Vice President of Transmission and 
Electricity Markets, American Clean Power Association

    4:30 p.m.-4:45 p.m.: Closing Remarks

[FR Doc. 2024-18648 Filed 8-19-24; 8:45 am]
BILLING CODE 6717-01-P


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