Delaware Administrative Code
Title 7 - Natural Resources and Environmental Control
2000 - Division of Climate, Coastal and Energy
2105 - Regulations Governing Evaluation, Measurement, and Verification Procedures and Standards
Section 2105-6.0 - Evaluation Requirements
Universal Citation: 7 DE Admin Code 2105-6.0
Current through Register Vol. 28, No. 3, September 1, 2024
6.1 Reporting
6.1.1 EM&V reports shall
provide an assessment of EM&V activities completed in a manner that is
consistent with these regulations.
6.1.2 Each PA shall provide the EEAC with a
final report for each completed evaluation study.
6.1.2.1 Evaluation study final reports shall
present the results of the study in a clear, concise manner. They should
include, at a minimum, the following components:
6.1.2.1.1 Cover;
6.1.2.1.2 Title Page;
6.1.2.1.3 Abstract;
6.1.2.1.4 Table of Contents;
6.1.2.1.5 Executive Summary (including impact
findings and process recommendations as specified further in subsection 6.1.2.3
of the EM&V Regulation);
6.1.2.1.6 Introduction and purpose of the
study;
6.1.2.1.7 Description of
programs covered in study (markets, measures, and customers
included);
6.1.2.1.8 Study
methodology;
6.1.2.1.9 Assessment
of the reliability of study findings;
6.1.2.1.10 Detailed study findings (impact
and process evaluation);
6.1.2.1.11
Recommendations for program changes and future studies, and
6.1.2.1.12 For impact studies,
ex-post cost-effectiveness results.
6.1.2.2 The timeline for each study will be
unique, described in the Three-Year EM&V Plan, and be subject to change
consistent with the work plan of the IEC(s) engaged for each particular
activity. The timeline should, whenever possible, meet the needs of the PAs,
EEAC, and any relevant PJM market compliance cycles.
6.1.2.3 The following information, when
applicable, shall be included in a table format or bullet list within both the
Executive Summary of the evaluation report as well as in the sections of the
report in which those items are presented and discussed. The goal of this
requirement is to allow efficient and rapid extraction of key results to better
understand the study results.
6.1.2.3.1 Energy
Impact
6.1.2.3.1.1 Program and portfolio level
first year annualized gross and net energy impacts
6.1.2.3.1.2 Program and portfolio level gross
and net lifecycle energy impacts
6.1.2.3.1.3 For electric programs, program
and portfolio level gross and net coincident peak kW
6.1.2.3.1.4 Program NTG ratios and estimated
components
6.1.2.3.1.5 Program and
portfolio level first year annualized gross original PA-tracked ex-ante
savings
6.1.2.3.1.6 Program and
portfolio level first year annualized gross realization rates
6.1.2.3.1.7 Program and portfolio level
impact goals
6.1.2.3.1.8 Program
and portfolio level achievement as a percentage of goal, based on ex-post
evaluation results
6.1.2.3.1.9
Program and portfolio level calculated benefit-cost results based on ex-post
evaluation net savings
6.1.2.3.2 Process Evaluation
6.1.2.3.2.1 Key findings from the process
evaluation
6.1.2.3.2.2 Summary of
recommendations made by the evaluation team
6.1.2.3.3 Market Effects
6.1.2.3.3.1 Timeline describing years covered
by the reported effects
6.1.2.3.3.2
Key findings from the market effects evaluation aligning with priorities
identified by the EEAC.
6.1.2.3.3.3
Estimated annual and lifecycle net energy savings estimated from market effects
(per technology, technology class, or market sector as appropriate)
6.1.2.3.3.4 Listing of major technologies
and/or practices affected by market
effects
6.1.3 An annual summary of evaluation results
shall be prepared by DNREC to summarize the key findings of all studies
conducted in a program or calendar year, in order to provide the EEAC with a
consolidated list of findings and recommendations to facilitate discussions of
program refinements, evolution, and the next three-year program
cycle.
6.1.4 Each PA shall prepare
and submit to the EEAC a Biannual Program Snapshot that presents information
regarding the progress of the PA's efficiency programs.
6.1.4.1 The Biannual Snapshot should include
data tables presenting key information regarding the progress of efficiency
programs as compared to planned savings and budgeted expenditures. For each
program a clearly labeled table should present the following data points, both
the projected annual value or budget and the actual year-to-date value, on an
ex-ante basis:
6.1.4.1.1 Number of
projects
6.1.4.1.2 Electric energy
savings (kWh)
6.1.4.1.3 Electric
peak demand savings (kW)
6.1.4.1.4
Natural gas savings (therms)
6.1.4.1.5 Savings from equivalent energy
efficiency measures
6.1.4.1.6
Program expenditures
6.1.4.2 The Biannual Snapshots should be
prepared for presentation to the EEAC in August (for the first half of program
year) and February (for the second half of program year).
6.1.5 Each PA shall submit an Annual Program
Reconciliation Report to the EEAC highlighting findings from the past program
year.
6.1.5.1 The Annual Reconciliation Report
is a critical output of the EM&V process. It links together all information
and accounting for each efficiency program, demonstrates that savings are
accurately reported, and presents the results of cost-effectiveness
analysis
6.1.5.2 The report shall
be submitted by the end of the 1st quarter after the close of the program year,
and should include all completed reports and results that were not included in
any previous annual report. It should include the following information.
6.1.5.2.1 A summary of EM&V activities
completed in a manner that is consistent with these regulations and with
EM&V Plans approved by the EEAC.
6.1.5.2.2 A summary of process evaluation
findings, as appropriate by program.
6.1.5.2.3 A summary of impact evaluation
findings, as appropriate by program and for the portfolio as a whole, showing
original PA tracked savings, actual evaluated gross and net savings
performance, original program goals, evaluated NTG ratios, and evaluation
realization rates. For programs not undergoing impact evaluations for that
year, the summary should provide the tracked and claimed gross and net savings
consistent with prior agreements, deemed savings and the Mid-Atlantic TRM, and
indicate these are unevaluated results.
6.1.5.2.4 Estimates of ex-post evaluation
estimated savings and cost-effectiveness results by program and for the
portfolio as a whole, performed and calculated in a manner consistent with the
EM&V regulations.
6.2 Benefit-Cost Analysis
6.2.1 Energy Efficiency programs and
portfolios in Delaware must meet the benefit-cost requirements outlined in
these regulations. PAs shall develop program and portfolio plans to achieve
positive net benefits based on the cost-effectiveness test described below. PAs
are responsible for providing prospective planned cost-effectiveness test
results to EEAC for review at the program and portfolio level. In addition, the
IECs and PAs must provide the EEAC with retrospective cost-effectiveness test
results at the program and portfolio level. Portfolios shall be developed to
maximize long term cost-effectiveness and consider investing in the activities
and resources needed to establish the groundwork for programs in the
future.
6.2.2 Cost-Effectiveness
Test
6.2.2.1 Programs are considered
cost-effective when the benefit-cost ratio as determined by the Total Resource
Cost (TRC) test is greater than one. The TRC test compares the costs and
benefits of energy efficiency programs as a resource option from the
perspective of the entire economy. The formula for the TRC test is:
Benefit-Cost Ratio = Benefits / Costs, where:
Benefits = Net Present Value of (Avoided Supply Costs + Other Benefits)
Costs = Net Present Value of (Participant Costs + Utility Costs - Federal Tax Credits)
6.2.2.2 The costs are the total costs of the
program, whether incurred by participants or Program Administrators. Costs
include:
6.2.2.2.1 equipment and installation
costs (but only those that are incremental to baseline costs);
6.2.2.2.2 increases (or decreases) in
operation and maintenance costs;
6.2.2.2.3 cost of removal (less salvage
value);
6.2.2.2.4 administrative
costs directly attributable to the programs, and
6.2.2.2.5 costs for EM&V activities,
utility performance incentives, and Federal tax credits (as a reduction in
cost).
6.2.2.3 Benefits
include all benefits to the utility, its ratepayers, and other Delaware
constituents that result from changes in energy consumption resulting from
energy efficiency programs. The benefits calculated in the TRC shall include,
when determined by the EEAC to be reasonably quantifiable:
6.2.2.3.1 avoided electric supply costs,
based on energy costs in the respective zone of the PJM Regional Transmission
Organization;
6.2.2.3.2 avoided
electric transmission, distribution, and generation capacity costs, valued at
marginal cost for the periods when there is a load reduction, based on relevant
costs in the respective zone of the PJM Regional Transmission
Organization;
6.2.2.3.3 reduced
SREC and RECs requirements;
6.2.2.3.4 avoided gas supply and delivery
costs;
6.2.2.3.5 the effect of
lower prices for electric and gas energy and capacity in wholesale markets
resulting from reductions in the quantity of energy and capacity sold in those
markets, sometimes referred to as Demand-Reduction-Induced Price Effect
(DRIPE);
6.2.2.3.6 Avoided costs of
energy savings in fuels other than electricity and natural gas, or from
equivalent energy efficiency measures, such as reduction in delivered heating
fuel resulting from improvements in the building envelope or other systems;
and
6.2.2.3.7 avoided environmental
compliance costs, where such costs can be directly tied to changes in energy
use.
6.2.2.4 The benefits
shall be calculated using net savings.
6.2.3 To set a standard that allows TRC tests
conducted on Delaware's energy efficiency programs and portfolio to be
comparable, the following guidance shall be followed.
6.2.3.1 Net present value -
Cost-effectiveness of an energy efficiency measure, program, or portfolio will
be calculated based on the net present value of the costs and benefits valued
in the TRC test, discounted over the effective useful life of the measures
installed.
6.2.3.2 Discount Rates -
The discount rate used in energy efficiency and demand reduction
cost-effectiveness tests shall be 4.0% on a real basis.
6.2.3.3 EUL - Measures installed via
Delaware's energy efficiency programs shall have their energy savings counted
and valued over the full EUL of the installed measures.
6.2.3.4 With the exception of
program-specific data, inputs to cost-effectiveness tests shall not be
different for different programs.
6.2.4 Although the TRC test will serve as the
primary criterion for determining program cost-effectiveness, customer rate and
bill impacts shall be provided in portfolio plans to help inform the planning
process. The results of additional cost-effectiveness tests may also be
reported.
6.2.4.1 Portfolio plans shall
include projected customer rate and bill impacts over the three-year program
for each customer class.
6.2.5 EEAC Responsibilities for Benefit-Cost
Analysis
6.2.5.1 Develop or approve energy
savings forecasts, avoided costs, line losses, and/or other major inputs to the
benefit-cost analysis.
6.2.5.2
Monitor that Program Administrators are following the benefit-cost approaches
as outlined in these regulations.
6.2.5.3 Review and approve program and
portfolio level benefit-cost analysis completed by Program Administrators
and/or IECs on energy efficiency portfolios and programs.
6.2.5.4 Coordinate with the PSC and the
Public Advocate to provide advice on benefit-cost metrics, metric values, and
calculation approaches.
6.2.6 Program Administrator Responsibility
for Benefit-Cost Analysis
6.2.6.1 Develop
estimates of avoided costs and line losses, for review, discussion and approval
by the EEAC.
6.2.6.2 Perform
benefit-cost analysis for energy efficiency measures, programs and portfolios
for planning purposes using Mid-Atlantic TRM values and best available
information as appropriate.
6.2.6.3
For programs evaluated by an IEC, provide IECs with appropriate input data and
ensure that the IECs perform required benefit-cost analyses based on ex-post
evaluation results and submit timely reports to the EEAC.
6.2.6.4 Report planned and ex-post
benefit-cost calculation results to EEAC.
6.2.6.5 Provide data and benefit-cost
analyses models to the EEAC for review, if
requested
6.3 Energy Impact Baseline
6.3.1 Prescriptive
Measures
6.3.1.1 The baseline used for
prescriptive measures shall be established in the Mid-Atlantic TRM. Baselines
for prescriptive measures shall follow the approaches outlined below.
6.3.1.2 For program models that are market
driven, including replace on failure or end of life, new construction,
renovation, remodel, or any other reason the customer is already planning to
install equipment, the Mid-Atlantic TRM shall use one of the following
approaches to establish deemed baselines, unless specified in the Mid-Atlantic
TRM to be site or customer-type specific:
* | Code or standard: Energy impact baseline is set at the minimum building code or the minimum appliance standard without compliance adjustments |
* | Typical Code or Standard with Compliance Adjustment: Energy impact baseline is set at the typically applied building code or appliance standard adjusted for estimated compliance |
* | Market Mean or Mode: Energy impact baseline is set at the mean or mode market practice for that equipment, depending on the distribution |
6.3.1.3 For programs models that result in
equipment replaced earlier than what would have occurred without the program
(early replacement or "retrofit"), or where additional or optional equipment is
added to existing equipment of systems, the baseline condition is the energy
use condition prior to the program-induced change for the remaining useful life
of the replaced measure. Once the remaining useful life has expired, the
baseline should be established using one of the three methods outlined in
subsection 6.3.1.2 and applied to the remaining useful
life.
6.3.2 Custom
Measures
6.3.2.1 Baseline conditions for
custom measures will be set for each project being evaluated so that it
reflects the typical conditions associated with that custom application,
consistent with the above guidelines for prescriptive measures. The IEC will
review baseline assumptions established by project engineers, and if
appropriate, suggest modifications.
6.3.3 EEAC Responsibilities for Energy Impact
Baseline
6.3.3.1 Provide guidance to IECs and
PAs regarding appropriate baseline approaches, assumptions and
estimations.
6.3.3.2 Collaborate
with the IECs and PAs on the evaluation efforts and review baseline approaches
and savings assumptions to be used in the evaluation efforts ensuring they are
developed in a manner consistent with the baseline approach established in
these regulations.
6.3.3.3 Work to
resolve any disagreements between the IECs and PAs, or other stakeholders,
regarding baseline assumptions.
6.3.3.4 Approve any IEC suggested deviations
from the required approach for setting baseline conditions if properly
justified and explained.
6.3.4 Program Administrator Responsibilities
for Energy Impact Baseline
6.3.4.1 Provide
guidance to IECs on program baseline assumptions.
6.3.4.2 Develop, in coordination with the
IECs, custom baseline assumptions on a project-specific basis to support
calculations of custom project gross savings.
6.4 Application of Savings
6.4.1 Program results and goal achievement in
Delaware shall be reported as Ex-Post Verified Net savings. Gross program
savings that are verified by evaluation activities are then adjusted using
net-to-gross (NTG) ratios determined as described in subsection 6.4.3.1 to
yield an ex-post, verified net savings value.
6.4.2 Gross savings will be calculated using
the Mid-Atlantic TRM where applicable. For measures not included in the
Mid-Atlantic TRM, gross savings will be calculated by other appropriate
methods.
6.4.2.1 Gross savings do not account
for the effects of free riders, spill over or market effects on the total
program savings.
6.4.2.2 For deemed
savings, ex-post savings shall be verified by the IEC and may reflect
installation rate, quantity, and adjustments for errors in data
collection.
6.4.2.3 Custom projects
shall require engineering, metering, or other evaluation estimates that will be
applied retroactively.
6.4.3 Net savings, those savings that are
caused by the program's intervention in the market and that account for free
riders, participant spillover and market effects, shall be used for purposes of
assessing goal achievement and to provide program design and marketing guidance
that can support planning for upcoming program years. An assessment of
net-to-gross ratios may also be used by the EEAC, and other policy makers to
assess when a program should be redesigned or terminated as a part of the
Delaware portfolio.
6.4.3.1 The EEAC shall
develop or approve NTG ratios to be applied to each program prospectively each
year. These NTG ratios can be derived from specific research or from other best
available information. The EEAC, in consultation with the IEC, shall agree on
NTG values to use going forward, informed by evaluations and all other best
available information.
6.4.3.2
Estimated net-to-gross assumptions used in portfolio planning analyses shall be
included with the portfolio plan submitted to EEAC.
6.4.4 Retroactive vs. prospective savings
calculation
6.4.4.1 Changes in deemed energy
savings or other deemed assumptions that result from program evaluation shall
not be applied retrospectively, but shall be applied to the program and
portfolio prospectively in the next program cycle.
6.4.4.2 Changes to deemed savings assumptions
shall be coordinated through the annual process of updating the Mid-Atlantic
TRM.
6.4.5 Transmission
and Distribution Losses
6.4.5.1 All
transmission and distribution loss factors applied to customer or meter-level
savings in order to estimate generation-level savings shall be based on
estimates of marginal system line losses rather than average loss
factors.
6.4.6 EEAC
Responsibilities for Savings Calculations
6.4.6.1 The EEAC shall develop or approve
gross savings analyses completed by IECs on energy efficiency portfolios and
programs.
6.4.6.2 The EEAC shall
coordinate with the DNREC to provide updates to the Mid-Atlantic TRM so that
savings used in Delaware reflect the most recent information available,
including information gathered through program EM&V completed in
Delaware.
6.4.6.3 The EEAC shall
review and approve Program Administrator assumptions regarding savings
attributable to avoided transmission and distribution system losses.
6.4.6.4 The EEAC shall reach consensus on all
forward looking NTG ratios to apply to the following year.
6.4.7 PA Responsibilities for Savings
Calculations
6.4.7.1 The PAs shall coordinate
with the DNREC and the EEAC to provide advice on benefit-cost metrics, metric
values, and calculation approaches.
6.4.8 IEC Responsibilities for Savings
Calculation
6.4.8.1 The IEC shall provide to
the EEAC all EM&V reports. Reports shall include, as a minimum, evaluated
gross and net savings for each program.
6.4.8.2 The IEC shall advise the EEAC, as
requested, on issues related to reaching consensus on NTG ratios for each
program.
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