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Title: A presentation to IBEC conference


1
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2
Implications of the SEM for Customers
  • A presentation to IBEC conference
  • Stephen Woodhouse
  • 26 September 2007

3
Agenda
  • Objectives
  • About Pöyry
  • SEM and key influences on customers
  • Overview
  • Capacity payments
  • Pool Price Pass through
  • Directed Contracts
  • SRMC bidding
  • Demand side participation under SEM
  • Conclusions

4
Objectives
  • What drives prices in the SEM?
  • What are the new charges faced by suppliers
  • How may contracting change?
  • To outline opportunities for SEM for demand side
    participation

5
Agenda
  • Objectives
  • About Pöyry
  • SEM and key influences on customers
  • Overview
  • Capacity payments
  • Pool Price Pass through
  • Directed Contracts
  • SRMC bidding
  • Demand side participation under SEM
  • Conclusions

6
Pöyry Energy Consulting
  • The leading advisor to the European energy sector
  • A pan-European energy consultancy formed from the
    merger of five highly respected consultancies
  • Over 250 energy market experts in 14 offices
    across Europe
  • Copenhagen Düsseldorf Helsinki
  • Madrid Milan Moscow
  • Oslo Oxford Paris
  • Stockholm Stavanger Vienna
  • Villach Zurich

Pöyry offices
(c) grafikdienst.com
Pöyry Energy Consulting offices
7
We support our clients throughout the energy
business
  • Strategy
  • We help our clients to build stronger, more
    competitive, long-term positions throughout the
    energy value-chain, by focussing on the goals and
    activities that generate value
  • Business Operation
  • We improve the performance and competitive
    position of our clients by developing innovative
    energy markets solutions
  • Valuation Financing
  • We have a wealth of experience in applying our
    expertise, projections and models to the
    valuation of businesses, projects and contracts
    to assist in the financing of our clients energy
    market activities
  • Sustainability
  • Delivering long term success increasingly
    requires companies to demonstrate environmental
    competence and social responsibility in their
    actions. Our experience helps us to find
    sustainable solutions for business and the wider
    environment
  • Utilities
  • Generators
  • Traders
  • Distribution companies
  • Shippers
  • Suppliers
  • Market Operators
  • Independent System Operators
  • Transmission companies
  • Governments
  • Large Consumer
  • Regulators
  • Non-Governmental Organisations
  • Financial Institutions
  • Trade Associations
  • Manufacturing companies
  • Wholesalers

8
Pöyry Plc global consulting and engineering
company
  • Client- and technology-oriented globally
    operating consulting and engineering firm
  • Core operations based on three know-how clusters
  • Energy
  • Forest Industry
  • Infrastructure and Environment
  • Global market leader in forest industry
  • Strong international position in energy, and
    infrastructure environment
  • Office network in 45 countries

9
Pöyry in Ireland (formerly known as ILEX)
  • Draft the SEM Trading and Settlement Code for
    Regulators
  • Training courses on the Code
  • Support for restructuring and market opening for
    Bord Gáis Networks
  • SEM business processes / systems specification
    support to Energia
  • Assistance with ESB PES price control for CER
  • Design of WPDRS demand side management scheme
    with EirGrid
  • Market price projections, market modelling and
    market reports
  • Advice on project finance and due diligence to
    IPPs and banks
  • Interconnection studies

10
Agenda
  • Objectives
  • About Pöyry
  • SEM and key influences on customers
  • Overview
  • Capacity payments
  • Pool Price Pass through
  • Directed Contracts
  • SRMC bidding
  • Demand side participation under SEM
  • Conclusions

11
Wholesale trading rules will reflect market
fundamentals
  • Any set of market-based rules should deliver
    similar outcomes
  • Market arrangements should reflect market forces,
    not market rules
  • Real differences are due to market power and
    regulatory influence
  • In a competitive market, issues affecting
    suppliers will be passed on to their contracts
    with customers

12
The context SEM doesnt cover the whole market
Based on 'Proposed Direction to ESB PES on
Electricity Charges (to apply from January 2007)
- September 2006. CER/06/166
13
Elements of SEM High Level Design
  • Mandatory gross pool
  • Day-ahead complex bidding
  • Separate capacity mechanism
  • Pricing algorithm excludes reserves
  • Transmission constraints separated from pricing
  • Ex-post pricing (capacity prices at month-end)
  • Licence requirements of short-run marginal cost
    bidding principles

14
The Context SEM doesnt cover the whole market
15
Suppliers Price drivers Pool Charges
  • Energy Charges
  • common market-clearing price (SMP) for each
    half-hour
  • SMP will not be fixed until (at minimum) one day
    after delivery
  • Energy charge will also cover distribution
    losses, which do not vary by location
  • Capacity Charges
  • Paid by demand, charges are set by the RAs at
    575 million for 2008
  • Average price for year 1 equates to 14.3/MWh
    (demand weighted average)
  • Imperfections Charges
  • flat /MWh charge intended to cover the costs of
    constraints and imbalances
  • charge has been set at 3.20/MWh for year 1 (to
    September 2008).
  • year-on-year reconciliation based on actual spend
  • Market Operator Charges
  • combination of a fixed (per KW) and variable (per
    MWh) charges
  • these cover the Market Operators own costs,
    including central systems
  • variable charge to suppliers has been set at
    0.62/MWh for year 1

16
Agenda
  • Objectives
  • About Pöyry
  • SEM and key influences on customers
  • Overview
  • Capacity payments
  • Pool Price Pass through
  • Directed Contracts
  • SRMC bidding
  • Demand side participation under SEM
  • Conclusions

17
Capacity Payments
  • Benefits To provide certainty to potential
    investors, to reduce price volatility, and to
    value availability in short-term
  • Just as energy has a value to meet energy needs
    capacity has a value to meet capacity needs
  • Capacity prices apply to both generation and
    demand (but not equally)
  • Total figure and demand profile of payments are
    set in advance of the year
  • Intended to increasecertainty comparedwith the
    England and Wales Pool experience

18
Demand Capacity Prices (estimates)
19
Agenda
  • Objectives
  • About Pöyry
  • SEM and key influences on customers
  • Overview
  • Capacity payments
  • Pool Price Pass through
  • Directed Contracts
  • SRMC bidding
  • Demand side participation under SEM

20
Suppliers - Pool Price Pass through
  • In September 2006, the CER directed that ESB CS
    should no longer offer tariffs to non PES
    customers connected at MV, 38kV and 110kV (Large
    Customers), or offer tariffs to Large Customers
    returning to ESB CS.
  • A further direction on 10 October 2006 stated
    that those Large Customers unable to purchase
    electricity from other suppliers would be able to
    purchase electricity from ESB CS as the Public
    Electricity Supplier (PES).
  • CER later stated that these customers could only
    be supplied by ESB CS on the basis of a pool
    price pass through arrangement.
  • CER stated that customers must face all costs
    related to acquiring wholesale electricity,
    including
  • Pool purchase costs (inclusive of capacity
    payments)
  • Market operator and imperfections charges
  • Relevant transmission and distribution charges
  • Administration charge set by the PES (PSO Levy)
  • Credit risk charge set by the PES

21
Suppliers - Pool Price Pass Though (2)
  • In the CER consultation paper 07/120 ESB CS set
    out their proposal for determination of wholesale
    electricity costs, calculated by
  • Where CPP is determined as the aggregate of the
    SMP with the outturn Capacity Payment price and
    the MO and Imperfection charges (The MO and
    imperfections charge are determined ex-ante).
  • Wholesale electricity charges will be shown on
    the customer bill for each of the 7 seasonal and
    time of day periods and expressed as an average
    per unit charge for each period
  • 4 average prices in winter
  • 3 average prices in summer

Customers half hourly settlement period demand
Consolidated Pool Price (CPP)
x
22
Agenda
  • Objectives
  • About Pöyry
  • SEM and key influences on customers
  • Overview
  • Capacity payments
  • Pool Price Pass through
  • Directed Contracts
  • SRMC bidding
  • Demand side participation under SEM

23
Suppliers - Directed Contracts
  • The Regulatory Authorities (RAs) have mandated
    that certain generators contract forward with
    suppliers through Directed Contracts
  • The RAs used the Herfindahl-Hirschman Index
    target to determine what level of market power
    should be the trigger for mandated Directed
    Contracts.
  • The RAs have set this figure at HHI 1150 for the
    initial period of the SEM, which means that ESB
    PG will be the only seller of Directed Contracts
    in the market for this period. (Note Ofgem have
    previously used HHI of 900 in the GB market).
  • The following slide sets out the Directed
    Contract volumes and prices the initial period of
    the SEM between 1 November 2007 and 30 September
    2008.

24
Suppliers - Directed Contracts (2)
Volumes of ESB PG Directed Contracts (MW)
Percentage figures refer to these contract
volumes as a percentage of ESBs generation
capacity and total system generation capacity,
respectively (for dispatchable plant only).
ESB PG Indicative Directed Contract Prices (/MWh)
25
Agenda
  • Objectives
  • About Pöyry
  • SEM and key influences on customers
  • Overview
  • Capacity payments
  • Pool Price Pass through
  • Directed Contracts
  • SRMC bidding
  • Demand side participation under SEM
  • Conclusions

26
Suppliers - SRMC bidding
  • The Regulatory Authorities set out a licence
    requirement for all generators to bid in line
    with Short Run Marginal Cost principles
  • This is intended to ensure that those generators
    with market power are unable to exert it to
    influence SMP determination or to game constraint
    payments in cases of localised market power
  • Applying this requirement to all generators is
    also intended to prevent double payment for
    capacity at peak times
  • Backed up by SMP (and generator bid) price range
    of 1000/MWhto -100/MWh

27
Suppliers SRMC bidding Carbon Price Pass
Through (1)
  • The RAs have set out guidance on the
    interpretation of these principles, which clearly
    stated that the full avoidable cost of CO2 should
    be included in generator bids.
  • However, the impact of carbon will increase from
    2008 (EUETS Phase II) as full opportunity cost of
    carbon will be passed through into wholesale
    market price (20-25/tCO2)
  • The RAs therefore has concerns over this pass
    through of the full opportunity cost of carbon,
    which could result in significant windfall gains
    for generators at the expense of end-customers.
  • A further consultation paper stated the RAs would
    apply flexibility in their interpretation of
    the pass through of the avoidable costs of CO2
  • Their desire is that the windfall gains
    associated with carbon allocations to generation
    would be competed away.

28
Suppliers - SRMC bidding Carbon Price Pass
Through (2)
  • This decision would allow generators the
    flexibility to compete away some or all of the
    benefits of the allocation of free carbon
    allowances.
  • the RAs clarified that to apply any such
    flexibility would require a change in the licence
    wording and any such change would follow due
    regulatory process and would not be effective
    prior to October 2008
  • It is anticipated any change will not occur until
    Oct 2008 at the earliest when the current
    Directed Contracts and Non-Directed Contracts
    with PPB and ESB PG are expected to expire.
  • Moves by generators to obtain market share into
    pool may see carbon applicability reduce is
    there sufficient competition to see this happen?

29
Agenda
  • Objectives
  • About Pöyry
  • SEM and key influences on customers
  • Overview
  • Capacity payments
  • Pool Price Pass through
  • Directed Contracts
  • SRMC bidding
  • Demand side participation under SEM
  • Conclusions

30
Participation De Minimis Levels
  • 10 MW participation threshold or de minimis
    level for Generators
  • Parties owning a Generator or contiguous
    Generators with a Maximum Export Capacity greater
    than or equal to 10MW must ensure the Unit or
    Units are registered.
  • Parties owning Generator or contiguous Generators
    with a Maximum Export Capacity lower than 10MW
    may choose whether or not to register the Unit or
    Units under the Code.
  • No threshold for mandatory participation by
    Demand Side Units
  • Can choose to participate whatever the size

31
Participation Demand Site Units
  • The aim to allow demand side participation
  • requires technical and operational capability to
    deliver Demand Reduction in response to Dispatch
    Instruction i.e. must be Dispatchable
  • Can submit Demand Reduction bid at a specified
    price
  • Receive (generator) capacity payments when
    available
  • Participation must be via your supplier

32
Participation Alternative options
  • Voluntary demand reduction (e.g. standby
    generation)
  • benefits to customer depend on contractual
    arrangements with supplier
  • Existing WPDRS
  • receive a rebate for reducing demand between
    1700-1900 on winter weekdays
  • could direct participation could deliver more
    revenue?
  • Interruptible Load/STAR
  • ancillary service revenue on offer
  • Powersave
  • could direct participation could deliver more
    revenue?
  • SEM participation not compulsory BUT
  • receive Capacity Payments based on submitted
    Availability Profile
  • get paid for energy provided via demand reduction
    at SMP, where SMP gt bid price certainty (though
    not paid twice)
  • direct opportunities for large consumers to offer
    demand reduction more dynamically

EirGrid/SONI recommend review of DSM arrangements
18 months after SEM implementation
33
Agenda
  • Objectives
  • About Pöyry
  • SEM and key influences on customers
  • Overview
  • Capacity payments
  • Pool Price Pass through
  • Directed Contracts
  • SRMC bidding
  • Demand side participation under SEM
  • Conclusions

34
Conclusions
  • SEM offers market transparency
  • Price
  • Schedules
  • Price derivation
  • SEM encourages development in generation
    competition
  • including opportunities for demand side bidding
  • SEM Facilitates new entrants in supply
  • Pool trading allows entry without a balanced
    portfolio
  • e.g. SSE as a new entrant
  • Increased competition gt
  • All other things being equal lower prices
  • Better response to customers needs
  • Customers need to be proactive to ensure that
    they receive the benefits

35
  • Pöyry Energy Consulting
  • King Charles House
  • Park End Street
  • Oxford, UK
  • OX1 1JD
  • 44 1865 722660
  • www.poyry.com
  • www.ilexenergy.com

Stephen Woodhouse 44 1865 812222,
stephen.woodhouse_at_poyry.com
Pöyry Energy (Oxford) Ltd. Registered in England
No. 2573801. King Charles House, Park End
Street, Oxford OX1 1JD.
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