Title: Should utilities own distributed generation
1Should utilities own distributed generation?
- Restructuring Roundtable
- December 8, 2006
- Presented by
- John Nimmons, J.D.
- Lead Consultant, DER Incentives Project
- EPRI DER Public/Private Partnership
- 415.381.7310
- jna_at_speakeasy.org
2Creating Demonstrating Utility DER Incentives
Collaborative Sponsors Participants
- Government Research
- Mass. Div. of Energy Resources
- Mass. Technology Collaborative
- Mass. Dept. of Telecomm Energy
- California Energy Commission
- Electric Power Research Institute
- New Jersey Board of Public Utilities
- New York State Energy Research Development
Authority - Natl Assn. of State Energy Offices
- U.S. Dept. of Energy
- U.S. Environmental Protection Agency
- Utilities
- Edison Electric Institute
- National Grid
- Northeast Utilities
- NStar
- Pacific Gas Electric
- San Diego Gas Electric
- Southern California Edison
- Tennessee Valley Authority
- DG Vendors/Developers
- Cummins Power Generation
- EnerNOC
- Northern Power Systems
- RealEnergy
- Solar Turbines
- TurboSteam
- UTC Power
- Customer Representatives
- Democracy and Regulation
- Energy Consortium
- Los Angeles County Sanitation Dist.
- General Services Administration
- Public Interest Other
- Conservation Law Foundation
- Conservation Services Group
- EPRI Team
- Ellen Petrill, Director
- David Thimsen, Proj. Mgr.
- John Nimmons Assoc.
- Madison Energy Consultants
- Energy Environmental Econs.
- Regulatory Assistance Project
3Whats distributed generation?
- Distinct from central or merchant generation
- produces electrons, but similarity ends there
- very different scale, markets, technologies,
functions, etc.
- Typical State definitions
- small-scalegeneration (e.g., 3kW 10MW
Connecticut 65 MW) - near the load that it serves
- within, or connected to, the distribution
system - using preferred technologies or resources
- PV, CHP, fuel cells, small wind turbines, etc
- solar, biogas, biomass, wave or tidal energy,
etc.
- Mass. restructuring statute defines DG narrowly
- a generation facility or renewable energy
facility connected directly to distribution
facilities or to retail customer facilities which
alleviate or avoid transmission or distribution
constraints or the installation of new
transmission facilities or distribution
facilities. - (G.L.Chap.164, 1, 1997)
4TD impacts are one value among many,as New
England stakeholders and others now recognize
Also see http//masstech.org/dg/benefits.htm,
http//www.epri.com/OrderableitemDesc.asp?product_
id000000000001011026
targetnid267828value04T101.0marketnid267715o
itype1searchdate8/19/2004
5Recasting the question
- Ask not whether utilities should own DG
ask whether a diverse sustainable energy
portfolio should include DG
- If so, how can we structure the energy business
to best achieve that?
- Not by ruling out options at the outset, but by
- Exploring models that offer some promise
- Deciding where utilities can add value, and
what roles they're best situated to play
6Rethinking the answer
- 1998-2000 California PUC DG Proceedings
- utility ownership of DG was highly contentious
- some DG providers adamantly opposed it
- 2003-04 EPRI / SoCal Edison Collaborative
- DG providers wanted utilities to play a more
central role - provide system customer information,
facilitate siting, offer integration services
maybe even own DG !
- 2006 Mass. DG Collaborative recommended that
DTE - open a docket to investigate if utilities can
install and own DG as a distribution resource
- 2006 MADRI major barriers to DG still
include - uncertainty about viable business models
- regulatory disincentives to electricity
providersto promote or implement distributed
solutions
7Mass. DOER / MTC / EPRI Project Creating
Demonstrating Utility DER Incentives
- Are there viable business models for IOU
participation in DG markets? i.e., approaches
that benefit - participating customers
- non-participating customers
- utility shareholders
- society at large
- Can we quantify their stakeholder impacts who
benefits, who pays, and what drives this?
- What regulatory changes might be needed to
support promising business models?
- Can we test these business regulatory
approaches in pilot projects?
Also see http//masstech.org/dg/winwin.htm,
http//masstech.org/dg/EPRI-STAC.htm,
8Business cases under consideration
- Customer-owned, utility-facilitated
- CCHP
- PV, with energy efficiency
- Utility-owned, on customer premises
- CCHP, on either side of the meter
- PV, with energy efficiency
- Biogas, from dairy or other customer operations
9Quantifying stakeholder impacts
- Single installation calculator model shows
- who benefits and who pays for various types of DG
- which costs and benefits drive the outcome
- Aggregate impact calculator model shows
impacts of DG penetration levels on - utility revenues or customer bills
- utility rates
- utility net income
- utility return on equity
- net societal savings
10Stakeholder impacts single installationUtility-o
wned, customer-sited CCHP
11Stakeholder impacts single installationUtility-o
wned, customer-sited PV with EE
12Stakeholder impacts single installationUtility-o
wned, customer-sited biogas generation
13Stakeholder impacts in the aggregate
- Output from single installation calculator
feeds into aggregate impacts calculator - Aggregate impacts will be shown this way
See E3s Energy Efficiency Benefits Calculator at
http//www.epa.gov/cleanenergy/actionplan/outreach
.htm, now being adapted for distributed
generation through the Mass. DOER / MTC / EPRI
Project.
14What regulatory changes are needed?
- Depends on which business cases appear most
likely to yield win/wins - Customer-owned DG, especially baseload, presents
different questions (lost revenue recovery,
etc.) - Utility-owned DG may require rethinking
21st-century utility roles, reinventing U.S.
utilities as - energy (not electricity or gas) suppliers
and stewards - facilitators and integrators of more diverse
resource choices - venture partners with other energy industry
players, leveraging each others strengths to
benefit shared customers - Anticompetitive issues are important in this
arearegulators need to ensure a level playing
field - Once promising business cases are identified,
theCollaborative's efforts will focus on
regulatory needs
15Conclusions
- Where multiple stakeholders can benefit from DG
and none are harmed, regulation should encourage
it - Where investor-owned utilities can add value and
increase societally beneficial DG deployment,
regulation should accommodate that - Non-utility stakeholders increasingly value this
approach - Massachusetts stakeholders, led by DOER, MTC,
DTE, and EPRI, aim to identify viable business
models and regulatory approaches, and build tools
that others can use to test them - The collaboration continues, and everyone can
play - Pilot projects are to follow, and everyone can
learn