80_FR_74193 80 FR 73965 - Third-Party Provision of Primary Frequency Response Service

80 FR 73965 - Third-Party Provision of Primary Frequency Response Service

DEPARTMENT OF ENERGY
Federal Energy Regulatory Commission

Federal Register Volume 80, Issue 228 (November 27, 2015)

Page Range73965-73977
FR Document2015-30140

The Federal Energy Regulatory Commission (Commission) is revising its regulations to foster competition in the sale of primary frequency response service. Specifically, the Commission amends its regulations governing market-based rates for public utilities pursuant to the Federal Power Act (FPA) to permit the sale of primary frequency response service at market-based rates by sellers with market-based rate authority for sales of energy and capacity.

Federal Register, Volume 80 Issue 228 (Friday, November 27, 2015)
[Federal Register Volume 80, Number 228 (Friday, November 27, 2015)]
[Rules and Regulations]
[Pages 73965-73977]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2015-30140]


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DEPARTMENT OF ENERGY

Federal Energy Regulatory Commission

18 CFR Part 35

[Docket No. RM15-2-000; Order No. 819]


Third-Party Provision of Primary Frequency Response Service

AGENCY: Federal Energy Regulatory Commission, Department of Energy.

ACTION: Final rule.

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SUMMARY: The Federal Energy Regulatory Commission (Commission) is 
revising its regulations to foster competition in the sale of primary 
frequency response service. Specifically, the Commission amends its 
regulations governing market-based rates for public utilities pursuant 
to the Federal Power Act (FPA) to permit the sale of primary frequency 
response service at market-based rates by sellers with market-based 
rate authority for sales of energy and capacity.

DATES: This Final Rule will become effective February 25, 2016.

FOR FURTHER INFORMATION CONTACT: 
Rahim Amerkhail (General Information), Office of Energy Policy and 
Innovation, Federal Energy Regulatory Commission, 888 First Street NE., 
Washington, DC 20426, (202) 502-8266.
Gregory Basheda (Market Power Screening Information), Office of Energy 
Market Regulation, Federal Energy Regulatory Commission, 888 First 
Street NE., Washington, DC 20426, (202) 502-6479.
Lina Naik (Legal Information), Office of the General Counsel, Federal 
Energy Regulatory Commission, 888 First Street NE., Washington, DC 
20426, (202) 502-8882.

SUPPLEMENTARY INFORMATION: 

Order No. 819

Final Rule

(Issued November 20, 2015)
    1. The Federal Energy Regulatory Commission (Commission) is 
revising

[[Page 73966]]

its regulations to foster competition in the sale of primary frequency 
response service.\1\ Specifically, the Commission amends its 
regulations to revise Subpart H to Part 35 of Title 18 of the Code of 
Federal Regulations governing market-based rates for public utilities 
pursuant to sections 205 and 206 of the Federal Power Act (FPA) \2\ to 
permit the sale of primary frequency response service at market-based 
rates by sellers with market-based rate authority for sales of energy 
and capacity.
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    \1\ As described in more detail below, this Final Rule defines 
primary frequency response service as a resource standing by to 
provide autonomous, pre-programmed changes in output to rapidly 
arrest large changes in frequency until dispatched resources can 
take over.
    \2\ 16 U.S.C. 824d, 824e (2012).
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    2. This proceeding derives from Order No. 784,\3\ in which the 
Commission revised Part 35 of its regulations to reflect reforms to its 
Avista policy \4\ governing the sale of certain ancillary services at 
market-based rates to public utility transmission providers. 
Specifically, Order No. 784 found that when appropriate intra-hour 
transmission scheduling practices are in place, the Avista restrictions 
need not apply to the sale of Energy Imbalance, Generator Imbalance, 
Operating Reserve-Spinning and Operating Reserve-Supplemental services, 
because with those scheduling practices in place the existing market 
power screens for sales of energy and capacity can also be applied to 
sales of those ancillary services.\5\
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    \3\ Third-Party Provision of Ancillary Services; Accounting and 
Financial Reporting for New Electric Storage Technologies, Order No. 
784, 78 FR 46,178 (July 30, 2013), FERC Stats. & Regs. ] 31,349 
(2013).
    \4\ Avista Corp., 87 FERC ] 61,223, order on reh'g, 89 FERC ] 
61,136 (1999) (Avista). Outside the markets operated by regional 
transmission organizations and independent system operators, Avista 
authorizes suppliers who cannot show a lack of market power with 
respect to certain ancillary services to nevertheless sell such 
services, subject to certain restrictions. As relevant to this Final 
Rule, these restrictions prohibit sales to a public utility that is 
purchasing ancillary services to satisfy its own Open Access 
Transmission Tariff (OATT) requirements to offer ancillary services 
to its own customers, or sales to a traditional, franchised public 
utility affiliated with the third-party seller, or where the 
underlying transmission service is on the transmission system of the 
affiliated public utility.
    \5\ Order No. 784, FERC Stats. & Regs. ] 31,349 at P 4, PP 57-
58.
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    3. However, because of the unique technical and geographic 
requirements associated with Reactive Supply and Voltage Control (under 
OATT Schedule 2) and Regulation and Frequency Response (under OATT 
Schedule 3),\6\ the Commission only allowed market-based rate sales of 
Schedule 2 and Schedule 3 services to a public utility that is 
purchasing ancillary services to satisfy its OATT requirements if 
either: (a) The sale is made pursuant to a competitive solicitation 
that meets certain specified requirements; or (b) the sale is made at 
or below the buying public utility transmission provider's own Schedule 
2 or 3 rate, as applicable. The Commission further stated its intention 
to gather more information regarding the technical, economic and market 
issues concerning the provision of these services in a separate 
proceeding.
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    \6\ Id. PP 59-61. Although the title of Schedule 3 addresses 
both frequency response and regulation, the two services are 
distinct from each other. Frequency response is a resource standing 
by to provide autonomous, pre-programmed changes in output to 
rapidly arrest large changes in frequency until dispatched resources 
can take over while regulation service is centrally dispatched 
through automatic generation control (AGC) and is not focused 
exclusively on frequency control.
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    4. Commission staff held a workshop on April 22, 2014 in this 
proceeding and then issued a notice of proposed rulemaking that 
distinguished between regulation service and primary frequency response 
service, and proposed to allow sales of primary frequency response 
service at market-based rates by entities granted market-based rate 
authority for sales of energy and capacity.\7\ In response to the NOPR, 
19 sets of comments were submitted.
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    \7\ Third-Party Provision of Primary Frequency Response Service, 
Notice of Proposed Rulemaking (NOPR), 80 FR 10,426 (Feb. 26, 2015), 
FERC Stats. & Regs. ] 32,705 (2015).
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I. Background

    5. The Commission in Order No. 888 \8\ delineated two categories of 
ancillary services: Those that the transmission provider is required to 
provide to all of its basic transmission customers \9\ and those that 
the transmission provider is only required to offer to provide to 
transmission customers serving load in the transmission provider's 
control area.\10\ With respect to the second category, the Commission 
reasoned that the transmission provider is not always uniquely 
qualified to provide the services, and customers may be able to more 
cost-effectively self-supply them or procure them from other entities. 
The Commission contemplated that third parties (i.e., parties other 
than a transmission provider supplying ancillary services pursuant to 
its OATT obligation) could provide these ancillary services on other 
than a cost-of-service basis if such pricing was supported, on a case-
by-case basis, by analyses that demonstrated that the seller lacks 
market power in the relevant product market.\11\
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    \8\ See Promoting Wholesale Competition Through Open Access Non-
Discriminatory Transmission Services by Public Utilities; Recovery 
of Stranded Costs by Public Utilities and Transmitting Utilities, 
Order No. 888, FERC Stats. & Regs. ] 31,036 (1996), order on reh'g, 
Order No. 888-A, FERC Stats. & Regs. ] 31,048, order on reh'g, Order 
No. 888-B, 81 FERC ] 61,248 (1997), order on reh'g, Order No. 888-C, 
82 FERC ] 61,046 (1998), aff'd in relevant part sub nom. 
Transmission Access Policy Study Group v. FERC, 225 F.3d 667 (D.C. 
Cir. 2000), aff'd sub nom. New York v. FERC, 535 U.S. 1 (2002).
    \9\ The first category consists of Scheduling, System Control 
and Dispatch service and Reactive Supply and Voltage Control from 
Generation Sources service.
    \10\ The second category consists of Regulation and Frequency 
Response service, Energy Imbalance service, Operating Reserve-
Spinning service, and Operating Reserve-Supplemental service. Order 
No. 890 later added an additional ancillary service to this 
category: Generator Imbalance service. See Preventing Undue 
Discrimination and Preference in Transmission Service, Order No. 
890, FERC Stats. & Regs. ] 31,241, at P 85, order on reh'g, Order 
No. 890-A, FERC Stats. & Regs. ] 31,261 (2007), order on reh'g, 
Order No. 890-B, 123 FERC ] 61,299 (2008), order on reh'g, Order No. 
890-C, 126 FERC ] 61,228 (2009), order on clarification, Order No. 
890-D, 129 FERC ] 61,126 (2009).
    \11\ Order No. 888, FERC Stats. & Regs. ] 31,036 at 31,720-21.
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    6. Subsequently, in Avista,\12\ the Commission adopted a policy 
allowing third-party ancillary service providers that could not perform 
a market power study to sell certain ancillary services at market-based 
rates with certain restrictions.\13\
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    \12\ See supra n.4.
    \13\ These ancillary services included: Regulation and Frequency 
Response, Energy Imbalance, Operating Reserve-Spinning, and 
Operating Reserve-Supplemental. The Commission did not extend this 
Avista policy to Reactive Supply and Voltage Control from Generation 
Sources service, which means that third parties wishing to sell this 
ancillary service at market-based rates would be required to present 
specific evidence of a lack of market power in the provision of this 
specific product before the Commission would authorize sales of this 
service at market-based rates. The Commission also did not extend 
the Avista policy to Scheduling, System Control and Dispatch 
service. Because only balancing area operators can provide this 
ancillary service, it does not lend itself to competitive supply. 
Order No. 784, FERC Stats. & Regs. ] 31,349 at n.17.
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    7. As noted earlier, the instant proceeding derives from Order No. 
784 in which the Commission found that when appropriate intra-hour 
transmission scheduling practices are in place, the Avista restrictions 
need not apply to the sale of Energy Imbalance, Generator Imbalance, 
Operating Reserve-Spinning and Operating Reserve-Supplemental services, 
because with those practices in place, the results of the existing 
market power screens for sales of energy and capacity can also be 
applied to sales of these ancillary services.\14\
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    \14\ Because energy and generator imbalance services merely 
require the ability to respond to dispatch within the hour, the 
Commission found that any sub-hourly transmission scheduling 
interval would be sufficient. Order No. 784-A, 146 FERC ] 61,114 at 
P 12 (2012). As the operating reserve services require more rapid 
response within the hour (spinning reserves must be available 
immediately and supplemental reserves must be available within a 
short period of time), the Commission required potential sellers of 
operating reserve services to satisfactorily explain, in their 
market-based rate applications, how the particular intra-hour 
transmission scheduling practices or other protocols in their 
regions permit resources in one balancing authority area to respond 
to contingencies in a neighboring balancing authority area within 
these tight time frames. Order No. 784-A, 146 FERC ] 61,114 at PP 
13-15.

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[[Page 73967]]

    8. However, the Commission also found in Order No. 784 that the 
record developed to that point did not support expanding these market-
based rate authorizations to include sales of Reactive Supply and 
Voltage Control (under OATT Schedule 2) (Schedule 2 service) and 
Regulation and Frequency Response (under OATT Schedule 3) services 
(Schedule 3 service).\15\ Instead, the Commission allowed market-based 
rate sales of Schedule 2 and Schedule 3 services to a public utility 
that is purchasing ancillary services to satisfy its OATT requirements, 
provided the sale is made pursuant to a competitive solicitation that 
meets certain specified requirements \16\ or the sale is made at or 
below the buying public utility transmission provider's own Schedule 2 
or 3 rate, as applicable.\17\ The Commission further stated its 
intention to gather more information regarding the technical, economic 
and market issues concerning the provision of these services in a 
separate proceeding that considers, among other things, the ease and 
cost-effectiveness of relevant equipment upgrades, the need for and 
availability of appropriate special arrangements such as dynamic 
scheduling or pseudo-tie arrangements, and other technical requirements 
related to the provision of Schedule 2 and Schedule 3 services.\18\
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    \15\ Order No. 784, FERC Stats. & Regs. ] 31,349 at PP 59-61.
    \16\ Id. PP 99-101.
    \17\ Id. PP 82-85.
    \18\ Id. P 61.
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    9. Pursuant to that directive, Commission staff held a workshop on 
April 22, 2014 to obtain input from interested persons regarding the 
technical, economic and market issues concerning the provision of 
Schedule 2 and Schedule 3 services.\19\ Among other things, the 
workshop explored issues surrounding the sale of these services at 
market-based rates. Comments submitted in response to the workshop that 
discussed the characteristics associated with a primary frequency 
response product indicated that market-based rate sales of such a 
product are feasible.\20\
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    \19\ See Third-Party Provision of Reactive Supply and Voltage 
Control and Regulation and Frequency Response Services, Final 
Agenda, Docket No. AD14-7-000 (Apr. 22, 2014).
    \20\ For example, most commenters echo Edison Electric 
Institute's (EEI) arguments that virtually all generators can 
provide primary frequency response, and because it is provided at 
the interconnection level, balancing authority areas have more 
flexibility on the location of the resource than they would for 
other products. See, e.g., Edison Electric Institute Post-Workshop 
Comments, Docket No. AD14-7-000, at 7-8 (filed June 3, 2014).
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    10. Separately, the Commission on January 16, 2014 issued a Final 
Rule approving reliability standard BAL-003-1 \21\ under which a 
balancing authority \22\ must maintain a minimum frequency response 
obligation.\23\ While most balancing authorities should be able to meet 
the new reliability standard using their own resources,\24\ some may 
nevertheless be interested in purchasing primary frequency response 
service from others if doing so would be economically beneficial.
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    \21\ Reliability standards proposed by the North American 
Electric Reliability Corporation (NERC) are subject to the 
Commission's jurisdiction under section 215 of the Federal Power 
Act. 16 U.S.C. 824o(d). The Commission has authority to approve or 
reject such standards, and to enforce those that are approved.
    \22\ The NERC Glossary defines a balancing authority as ``(t)he 
responsible entity that integrates resource plans ahead of time, 
maintains load-interchange-generation balance within a Balancing 
Authority Area, and supports Interconnection frequency in real 
time.'' See http://www.nerc.com/pa/Stand/Glossary%20of%20Terms/Glossary_of_Terms.pdf.
    \23\ See Frequency Response and Frequency Bias Setting 
Reliability Standard, Order No. 794, 146 FERC ] 61,024 (2014).
    \24\ Id. PP 62-63.
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    11. Based upon information received at the workshop and in the 
subsequently-filed 11 written comments, the Commission issued a NOPR 
that differentiated between regulation service and primary frequency 
response service, analyzed the technical characteristics of primary 
frequency response service to show why the existing market power 
screens for sales of energy and capacity could be used to show lack of 
market power for sales of primary frequency response as well, and 
therefore proposed to allow sales of primary frequency response service 
at market-based rates by entities granted market-based rate authority 
for sales of energy and capacity.\25\ The NOPR sought comment on all 
aspects of this proposal.\26\
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    \25\ NOPR, FERC Stats. & Regs. ] 32,705 (2015). With respect to 
the remainder of the issues discussed in the workshop and associated 
written comments, the Commission did not see sufficient evidence to 
pursue generic reforms through this rulemaking proceeding. Id. P 10.
    \26\ Id. P 30.
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    12. Most of the 19 sets of comments submitted in response to the 
NOPR are supportive of the proposal, with some commenters seeking 
clarification of various issues. Meanwhile, the limited set of adverse 
comments fall into two broad categories: (1) Comments seeking to 
contest the technical arguments regarding market power relied upon by 
the NOPR; and (2) comments that do not relate to market power screening 
but rather relate to various aspects of the implementation of actual 
primary frequency response transactions.
    13. For the reasons described more fully below, the Commission 
finds that it is appropriate to finalize the NOPR proposal to permit 
voluntary sales of primary frequency response service at market-based 
rates for entities granted market-based rate authority for sales of 
energy and capacity. We also address various requests for 
clarification, as discussed more fully below. We emphasize that this 
Final Rule does not place any limits on the types of transactions 
available to procure primary frequency response service; they may be 
cost-based or market-based, bundled with other services or unbundled as 
discussed further below, and inside or outside of organized markets. 
This Final Rule focuses solely on how jurisdictional entities can 
qualify for market-based rates for primary frequency response service 
in the context of voluntary bilateral sales.

II. Discussion

    14. In the NOPR in this proceeding, the Commission proposed to 
define primary frequency response service as the ``autonomous, 
automatic, and rapid action of a generator, or other resource, to 
change its output (within seconds) to rapidly dampen large changes in 
frequency.'' \27\ Elsewhere in the NOPR, the Commission discussed the 
idea that individual autonomous responses to large changes in frequency 
will be of short duration, sustained only until dispatched regulation 
or operating reserve resources begin responding.\28\ As there are 
aspects of both statements that are important to properly defining this 
product, in this Final Rule the Commission will refine and clarify the 
NOPR's definition to state that primary frequency response service is 
defined as a resource standing by to provide autonomous, pre-programmed 
changes in output to rapidly arrest large changes in frequency until 
dispatched resources can take over.
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    \27\ Id. P 12.
    \28\ Id. P 24.

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[[Page 73968]]

A. Technical Issues Related to the Application of Existing Market Power 
Screens to Primary Frequency Response Service

1. Geographic Market and the Impact of Resource Distance
    15. The Commission analyzes horizontal market power for market-
based sales of energy and capacity \29\ using two indicative screens, 
the wholesale market share screen and the pivotal supplier screen, to 
identify sellers that raise no horizontal market power concerns and can 
otherwise be considered for market-based rate authority.\30\ The 
wholesale market share screen measures whether a seller has a dominant 
position in the relevant geographic market in terms of the number of 
megawatts of uncommitted capacity owned or controlled by the seller, as 
compared to the uncommitted capacity of the entire market.\31\ A seller 
whose share of the relevant market is less than 20 percent during all 
seasons passes the wholesale market share screen.\32\ The pivotal 
supplier screen evaluates the seller's potential to exercise horizontal 
market power based on the seller's uncommitted capacity at the time of 
annual peak demand in the relevant market.\33\ A seller satisfies the 
pivotal supplier screen if its uncommitted capacity is less than the 
net uncommitted supply in the relevant market.\34\
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    \29\ See 18 CFR 35.37(b) (2015).
    \30\ See Market-Based Rates for Wholesale Sales of Electric 
Energy, Capacity and Ancillary Services by Public Utilities, Order 
No. 697, FERC Stats. & Regs. ] 31,252 at PP 13, 62, clarified, 121 
FERC ] 61,260 (2007), order on reh'g, Order No. 697-A, FERC Stats. & 
Regs. ] 31,268, clarified, 124 FERC ] 61,055, order on reh'g, Order 
No. 697-B, FERC Stats. & Regs. ] 31,285 (2008), order on reh'g, 
Order No. 697-C, FERC Stats. & Regs. ] 31,291 (2009), order on 
reh'g, Order No. 697-D, FERC Stats. & Regs. ] 31,305 (2010), aff'd 
sub nom. Mont. Consumer Counsel v. FERC, 659 F.3d 910 (9th Cir. 
2011), cert. denied, 133 S. Ct. 26 (2012). See also 18 CFR 35.37(b), 
(c)(1) (2015).
    \31\ Order No. 697, FERC Stats. & Regs. ] 31,252 at P 43.
    \32\ Id. PP 43-44, 80, 89.
    \33\ 18 CFR 35.37(c)(1) (2015).
    \34\ Order No. 697, FERC Stats. & Regs. ] 31,252 at P 42.
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    16. Passing both the wholesale market share screen and the pivotal 
supplier screen creates a rebuttable presumption that the seller does 
not possess horizontal market power; failing either screen creates a 
rebuttable presumption that the seller possesses horizontal market 
power.\35\ A seller that fails one of the screens may present evidence, 
such as a delivered price test, to rebut the presumption of horizontal 
market power.\36\ In the alternative, a seller may accept the 
presumption of horizontal market power and adopt some form of cost-
based mitigation.\37\
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    \35\ 18 CFR 35.37(c)(1) (2015).
    \36\ 18 CFR 35.37(c)(2) (2015). For purposes of rebutting the 
presumption of horizontal market power, sellers may use the results 
of the delivered price test to perform pivotal supplier and market 
share analyses and market concentration analyses using the 
Herfindahl-Hirschman Index (HHI). The HHI is a widely accepted 
measure of market concentration, calculated by squaring the market 
share of each firm competing in the market and summing the results. 
The Commission has stated that a showing of an HHI less than 2,500 
in the relevant market for all season/load periods for sellers that 
have also shown that they are not pivotal and do not possess a 
market share of 20 percent or greater in any of the season/load 
periods would constitute a showing of a lack of horizontal market 
power, absent compelling contrary evidence from intervenors. Order 
No. 697, FERC Stats. & Regs. ] 31,252 at P 111.
    \37\ 18 CFR 35.37(c)(3) (2015).
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    17. Three of the key components of the analysis of horizontal 
market power are the definition of products, the determination of 
appropriate geographic scope of the relevant market for each product, 
and the identification of the uncommitted generation supply within the 
relevant geographic market. In Order No. 697, the Commission adopted a 
default relevant geographic market for sales of energy and 
capacity.\38\ Specifically, the Commission generally uses a seller's 
balancing authority area plus directly interconnected (first-tier) 
balancing authority areas, or uses the Regional Transmission 
Organization (RTO) or Independent System Operator (ISO) market if 
applicable, as the default relevant geographic market. However, where 
the Commission has made a specific finding that there is a submarket 
within an RTO/ISO, that submarket becomes the default relevant 
geographic market for sellers located within the submarket for purposes 
of the market-based rate analysis. The Commission also provided 
guidance as to the factors the Commission will consider in evaluating 
whether, in a particular case, to adopt an alternative larger or 
smaller geographic market instead of relying on the default geographic 
market.\39\
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    \38\ Order No. 697, FERC Stats. & Regs. ] 31,252 at P 15.
    \39\ A necessary condition that must be satisfied to justify an 
alternative market is a demonstration regarding whether there are 
frequently binding transmission constraints during historical peak 
seasons examined in the screens and at other competitively 
significant times that prevent competing supply from reaching 
customers within the proposed alternative geographic market. Id. P 
268.
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    18. The Commission stated in the NOPR that, because primary 
frequency response service can be effectively supplied by any resource 
throughout an interconnection and have the same ability to dampen 
harmful changes in interconnection-wide frequency, the geographic 
market for market power analysis of a primary frequency response 
product could be the entire interconnection within which the buyer 
resides, and in any event would be no smaller than the geographic 
market represented in the existing market power screens; \40\ i.e., the 
home balancing authority area of the seller plus first-tier balancing 
authority areas or the RTO/ISO market if applicable. The Commission 
therefore proposed to apply the existing market power screens used for 
energy and capacity sales, without modification as to geographic 
market, to sales of primary frequency response service.
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    \40\ NOPR, FERC Stats. & Regs. ] 32,705 at P 23.
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    19. Most commenters either express specific support for this 
finding,\41\ or are silent on the issue.\42\ However, American Public 
Power Association, the National Rural Electric Cooperative Association, 
and the Transmission Access Policy Study Group (together, TAPS), PJM 
Interconnection, L.L.C. (PJM), and Midcontinent Independent System 
Operator, Inc. (MISO) raise limited, technical concerns regarding this 
finding.
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    \41\ See, e.g., American Wind Energy Association (AWEA) at 6; 
Calpine Corporation (Calpine) at 5; EEI at 2; Electricity Consumers 
Resources Council (ELCON) at 3.
    \42\ See Dominion Resources Services, Inc. (Dominion) at 2; Duke 
Energy Corporation (Duke) at 3; Electric Power Supply Association 
(EPSA) at 3; Energy Storage Association (ESA) at 1; Idaho Power 
Company (Idaho Power) at 2; Public Interest Organizations at 2.
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    20. TAPS argues that while remote generators may be capable of 
responding, there is reason to be concerned that frequency response 
from a distant generator would be less effective than frequency 
response from a nearby generator, and that this alleged impact of 
distance would upset the Commission's proposal to rely on the existing 
market-based rate screens used for energy and capacity sales to ensure 
that sellers of primary frequency response service lack market power 
when making sales to public utility transmission providers.\43\
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    \43\ TAPS at 5-6.
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    21. PJM similarly asserts, without elaboration, that questions 
remain as to whether there is sufficient substitutability of units 
across the Eastern Interconnection so as to support the conclusion that 
market power issues are of limited concern in the provision of primary 
frequency response. PJM also asserts that the kind of communications 
infrastructure, protocols, and compensation policies necessary to 
permit PJM to obtain primary frequency

[[Page 73969]]

response from resources outside of its market do not yet exist.\44\
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    \44\ PJM at 4.
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    22. MISO argues that, while the NOPR is correct that any resource 
anywhere in an interconnection can help stabilize the frequency of that 
interconnection following a load or resource loss, there may be 
negative reliability impacts caused by flows to very remote locations, 
particularly if there are weak or transmission-limited interfaces.\45\
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    \45\ MISO at 5.
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Commission Determination
    23. We adopt the NOPR proposal to apply the existing market power 
screens used for energy and capacity sales, without modification as to 
geographic market, to sales of primary frequency response service. With 
respect to TAPS's arguments, the Commission finds that the delay in 
sensing a change in frequency associated with resource distance does 
not undermine the NOPR's proposal to rely upon the default geographic 
market reflected in the existing market power screens for sales of 
energy and capacity; i.e., the home balancing authority area of the 
seller plus first-tier balancing authority areas or the RTO/ISO market 
if applicable. While TAPS is correct that a resource located far across 
an interconnection from the site of a contingency event should sense 
the resulting change in frequency later than would a closer resource, 
studies of this issue \46\ indicate that this delay would be within the 
NOPR's product definition that requires primary frequency response 
resources to change their output within seconds in response to a large 
change in frequency.\47\
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    \46\ See, e.g., http://fnetpublic.utk.edu/eventsamples/20110823175058_E.jpg. See also, John Undrill, Power and Frequency 
Control as it Relates to Wind-Powered Generation (2010), available 
at http://www.ferc.gov/CalendarFiles/20110120114503-Power-and-Frequency-Control.pdf.
    \47\ NOPR, FERC Stats. & Regs. ] 32,705 at P 12.
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    24. With respect to PJM's assertion that questions remain as to the 
substitutability of units across the Eastern Interconnection, PJM has 
not explained what those questions may be, and in any event the NOPR 
does not propose to test market power based on an interconnection-wide 
geographic market.
    25. With respect to PJM's argument that the kind of communications 
infrastructure, protocols, and compensation policies necessary to 
permit PJM to obtain primary frequency response from resources outside 
of its market do not yet exist, the Commission partially agrees and 
partially disagrees as described below, but even where we partially 
agree, this would not impact the NOPR proposal regarding market power 
screening.
    26. With respect to communications protocols, the Commission agrees 
that in order to effectuate actual voluntary primary frequency response 
transactions, it may be necessary to further develop or refine existing 
communications protocols, as more detailed data may be needed for 
purposes of verifying primary frequency response activity than for 
other activities. However, this refinement should not pose such a 
fundamental barrier to sales of primary frequency response service from 
one balancing authority area to another that it calls into question the 
default geographic market of the existing market power screens. This is 
because, as will be discussed further below, there are existing 
information sharing systems and protocols that should be able to 
accommodate the more detailed information associated with primary 
frequency response transactions without requiring an unreasonable 
amount of effort from affected parties. Hence, for market power 
screening purposes, resources in first-tier balancing authority areas 
should remain viable competitors to supply primary frequency response 
to the home balancing authority area.
    27. With respect to compensation policies, the Commission disagrees 
with PJM that compensation policies necessary to support this Final 
Rule do not yet exist. As will be further discussed below, this Final 
Rule does not require development of organized markets for primary 
frequency response service, but rather is focused on voluntary 
bilateral sales of primary frequency response at market-based rates. In 
bilateral markets, compensation would be negotiated between the buyer 
and the seller pursuant to the seller's market-based rate authority. As 
such, bilateral transactions will be strictly voluntary and the buyer 
will presumably only agree to them if it sees an economic reason to do 
so. Therefore, no further compensation policies are necessary in 
connection with this Final Rule.
    28. Finally, MISO argues that there may be negative reliability 
impacts caused by flows to very remote locations, particularly if there 
are weak or transmission-limited interfaces. The Commission agrees but 
sees this as a practical consideration relevant to particular bilateral 
transactions rather than a universal issue that invalidates the use of 
existing market power screens to show lack of market power for sales of 
primary frequency response service. Accordingly, this argument does not 
invalidate the NOPR proposal regarding market power screening for 
sellers of primary frequency response service.
2. Need for Transmission Reservation and Scheduling
    29. With respect to potential barriers related to transmission 
scheduling or reservation, the Commission stated in the NOPR that 
primary frequency response service should not require any transmission 
reservation or scheduling, because by definition individual frequency 
responses would not be sustained for long enough periods to trigger a 
need for transmission service or schedule changes. Rather, such 
individual primary frequency responses should be rapidly replaced by 
resources centrally dispatched by the relevant balancing authority.\48\
---------------------------------------------------------------------------

    \48\ NOPR, FERC Stats. & Regs. ] 32,705 at P 24.
---------------------------------------------------------------------------

    30. Most commenters either specifically agree that transmission 
scheduling and reservation should not be necessary in connection with 
the temporary, autonomous changes in output associated with primary 
frequency response service,\49\ or remain silent on the issue. However, 
EEI asserts that transmission reservation or scheduling may be needed 
in some cases. According to EEI, the duration of primary frequency 
response products could range from a minute or two to supplement a 
response for only large events, to an unbounded number of minutes for 
as long as frequency remains beyond a given frequency deadband. In the 
case of longer durations, according to EEI, transmission providers may 
have to assess the potential transmission impact of third-party 
resources providing primary frequency response through their service 
territory for extended periods of time.\50\ Duke makes similar 
arguments.\51\
---------------------------------------------------------------------------

    \49\ See, e.g., AWEA at 6; ELCON at 3; MISO at 1.
    \50\ EEI at 8.
    \51\ Duke at 7-8.
---------------------------------------------------------------------------

    31. Similarly, TAPS argues that the Commission did not adequately 
examine in the NOPR the implications of remote provision of primary 
frequency response on transmission availability and co-optimization of 
energy and ancillary services. TAPS argues the Commission should 
provide additional analysis of how remote supply of frequency response 
service will affect transmission reserve margin and available transfer 
capability, how the associated costs are borne, and whether this will 
have adverse

[[Page 73970]]

consequences for market efficiency, particularly in RTOs.\52\
---------------------------------------------------------------------------

    \52\ TAPS at 9-11.
---------------------------------------------------------------------------

Commission Determination
    32. The Commission continues to believe that transmission 
reservation and scheduling will not create a barrier to sales of 
frequency response within an interconnection. While the Commission 
concedes that in some cases transmission capacity may need to be 
reserved to support a sale of primary frequency,\53\ we continue to 
believe that in the vast majority of cases the sale of primary 
frequency response service should not require any transmission 
reservation or scheduling because, by definition, individual frequency 
responses would not be sustained for long enough periods to trigger a 
need for transmission service or schedule changes. With respect to 
EEI's arguments, the Commission disagrees that primary frequency 
response, as defined in this Final Rule, could last for an unbounded 
number of minutes. By the definition of primary frequency response 
provided in this Final Rule, individual primary frequency responses 
shall be short, lasting only until dispatched resources can take over. 
Thus, even if a deviation from target frequency lasts longer than the 
typical short responses envisioned by our primary frequency response 
product definition, this does not necessarily mean that a particular 
resource that continues to respond to that deviation is doing so 
through extended periods of primary frequency response service as EEI 
suggests.
---------------------------------------------------------------------------

    \53\ The Commission expects that sales of primary frequency 
response from resources in transmission constrained areas would 
constitute the most likely scenario where a reservation of 
transmission capacity might be needed to support the sale. 
Naturally, the added cost of such transmission purchases would 
likely be considered by the potential purchaser in deciding whether 
or not to enter into such purchase.
---------------------------------------------------------------------------

    33. Rather, after the initial autonomous response, any continuing 
response would be deemed to occur as a result of dispatch instructions 
from the relevant balancing authority, which would most likely 
constitute either use of regulation or operating reserves. Accordingly, 
while a transmission reservation may sometimes be needed to support a 
sale of primary frequency response, there should never be a need to 
actually schedule transmission or change a transmission schedule in 
connection with primary frequency response service. Hence, transmission 
scheduling should pose no barrier to sales of primary frequency 
response service, and in the open access transmission environment 
created by Order No. 888, reservation by itself does not present any 
undue barrier to participation. Indeed, all other ancillary service 
transactions, at least in bilateral markets, are expected to include 
needed transmission reservation.
    34. With respect to TAPS's argument, the Commission agrees that 
transmission providers may in some cases need to set aside additional 
transmission capacity to support particular sales of primary frequency 
response from remote resources. However, the possibility that 
particular transactions involving remote resources may require 
additional transmission capacity to be set aside does not undermine the 
NOPR proposal to grant market-based rate authority for voluntary sales 
of primary frequency response to entities that pass the existing market 
power screens for sales of energy and capacity. These screens already 
limit consideration of imports from first-tier balancing authority 
areas based on simultaneous transmission import limits as a way to test 
market power under realistic conditions based on a reasonable 
simulation of historical conditions.\54\ No further consideration of 
transmission impacts is necessary to test for seller market power. 
Analysis of (1) how remote supply of primary frequency response service 
in particular transactions might affect transmission reserve margin and 
available transfer capability; (2) how the associated costs would be 
borne; or (3) whether this might have adverse consequences for market 
efficiency are concerns that are not relevant to the Commission's 
market power assessment. Rather, these are concerns that may impact a 
balancing authority's decision as to whether to enter into any given 
primary frequency response transaction, or that may become relevant if 
any RTO or ISO voluntarily chooses to develop an organized market for 
primary frequency response--something that is not required by this 
Final Rule.
---------------------------------------------------------------------------

    \54\ Order No. 697, FERC Stats. & Regs. ] 31,252 at P 354.
---------------------------------------------------------------------------

    35. With respect to TAPS's arguments regarding potential distortion 
of co-optimized RTO/ISO energy and ancillary service markets, this 
Final Rule merely clarifies the appropriate method for ex ante market 
power screening for potential sellers of primary frequency response 
service. It does not require any entity, including RTOs and ISOs, to 
purchase primary frequency response. Nor does it require RTOs and ISOs 
to develop organized markets for primary frequency response. The 
Commission finds it reasonable to assume that if an RTO or ISO ever 
decides to purchase primary frequency response service, it will only do 
so if the RTO or ISO can address its and its stakeholders' concerns as 
to the impact on its co-optimized markets. Furthermore, if such 
purchases require any tariff modifications, the RTO or ISO would also 
need to submit a filing to the Commission for its review addressing 
such issues. Accordingly, in the context of this Final Rule focusing on 
market power screens, these concerns are premature and beyond the 
scope.

B. Requests for Clarification

1. Purchases Required or Optional
    36. A variety of entities request clarification that this Final 
Rule does not require purchases of primary frequency response or the 
development of organized markets for primary frequency response.\55\ At 
the other end of the spectrum, Calpine argues that RTOs and ISOs should 
be given a deadline to develop tariff changes that would enable them to 
implement primary frequency response compensation mechanisms.\56\
---------------------------------------------------------------------------

    \55\ EEI at 1-2; California Independent System Operator 
Corporation (CAISO) at 2; MISO at 1; PJM at 2, 5.
    \56\ Calpine at 9.
---------------------------------------------------------------------------

    37. The Commission grants the requests to clarify that this Final 
Rule does not require any entity to purchase primary frequency response 
from third parties or to develop an organized market for primary 
frequency response. This Final Rule is limited to issues associated 
with market power screening for voluntary bilateral sellers of primary 
frequency response service. In light of this clarification, we deny 
Calpine's request for RTOs and ISOs to be given a deadline to develop 
tariff changes that would enable them to implement primary frequency 
response compensation mechanisms.
2. Interaction With Regulation Service
    38. EEI and Duke both request that sellers be able to retain the 
reference to ``Regulation and Frequency Response Service'' in their 
current market-based rate tariffs, and that the Final Rule make clear 
that providing market-based rate authorization for primary frequency 
response service is not intended to limit the options that buyers have 
in procuring these ancillary services.\57\
---------------------------------------------------------------------------

    \57\ EEI at 4; Duke at 3-7.
---------------------------------------------------------------------------

    39. The Commission does not intend to limit the options that buyers 
have in procuring these ancillary services but will nevertheless affirm 
the NOPR proposal to require a separate listing of regulation service 
and primary frequency response service in market-

[[Page 73971]]

based rate tariffs. However, to address EEI's and Duke's concerns, the 
Commission clarifies that, even though we require that regulation 
service and primary frequency response service be separately listed in 
sellers' market-based rate tariffs, this does not mean that buyers and 
sellers cannot agree to combined transactions involving both regulation 
service and primary frequency response service with appropriate 
restrictions. Those restrictions involve the need for the market-based 
regulation service component to be limited to the buyer's OATT rate for 
regulation or the outcome of a competitive solicitation as described in 
Order No. 784.\58\ No such restrictions would apply to the primary 
frequency response service component of such combined transactions.
---------------------------------------------------------------------------

    \58\ Order No. 784, FERC Stats. & Regs. ] 31,349 at PP 82 and 
99-101.
---------------------------------------------------------------------------

    40. Duke also expresses concern as to what impact splitting the 
services in the ``Third Party Provider'' section of the market-based 
rate tariff would have on transmission providers and any transmission 
customers self-providing service under Schedule 3 of the OATT.\59\
---------------------------------------------------------------------------

    \59\ Duke at 6, 8.
---------------------------------------------------------------------------

    41. The Commission clarifies that OATT Schedule 3 serves a 
different purpose from the market-based rate tariff (cost-based sales 
from the OATT provider versus market-based sales from third parties), 
and so OATT Schedule 3 does not need modification as a result of this 
Final Rule. However, to the extent that a particular OATT provider 
purchases primary frequency response from a third party in order to 
help serve its OATT customers, it may propose in a section 205 filing 
to include such costs in its OATT Schedule 3 rates.
3. Information Sharing and Measurement and Verification
    42. A variety of entities emphasize the importance of adequate 
information sharing and measurement and verification if primary 
frequency response service is to be traded.\60\ In this regard, 
SmartSenseCom, Inc. (SmartSenseCom) also argues that in order to 
support the broadest base of available resources to provide primary 
frequency response services, potential providers should have 
flexibility in their ability to select any monitoring device that meets 
or exceeds applicable industry standards for accuracy as a means to 
measure frequency and trigger the primary frequency response at a given 
set point.\61\
---------------------------------------------------------------------------

    \60\ CAISO at 2-3; EEI at 5; MISO at 1-4; Duke at 7-8; Dominion 
at 3; Idaho Power at 2.
    \61\ SmartSenseCom at 9-10.
---------------------------------------------------------------------------

    43. The Commission agrees that these matters are important, and 
expects that potential buyers will ensure that the resources from which 
they purchase are capable of providing the service in a useful manner, 
consistent with relevant NERC requirements and guidelines as discussed 
earlier. This would require that, among other things, the parties agree 
to appropriate information sharing and measurement and verification. At 
this stage, and given the voluntary nature of any primary frequency 
response transactions that may result from this Final Rule, the 
Commission sees no need to be more prescriptive regarding specific 
methods of information sharing and measurement and verification.
    44. In a related matter, TAPS asserts that the NOPR's statement 
that telemetry sharing should not pose any significant barrier to the 
use of remote resources for the purposes of market-based rates requires 
further evaluation. TAPS argues that transmitting the telemetry data 
from one balancing authority area to just one other balancing authority 
area effectively doubles (or more) the number of points at which the 
data can be intercepted or attacked. Thus, TAPS argues that the 
Commission should provide additional analysis to evaluate whether these 
potential technical barriers will impede the ability of remote 
generators to compete to make market-based rate sales of primary 
frequency response across balancing authorities and to multiple 
balancing authorities.\62\
---------------------------------------------------------------------------

    \62\ TAPS at 6-9.
---------------------------------------------------------------------------

    45. As mentioned earlier, the Commission finds that balancing 
authorities already share with their neighbors the same type of 
operational information contemplated here, both on a day-to-day basis, 
and occasionally through special arrangements like pseudo-ties or 
dynamic schedules, though they may not do so with as much detail as 
would be required for primary frequency response. In sharing such 
information, they use secure protocols such as Inter-Control Center 
Communications Protocol.\63\ There appears to be nothing unique about 
information related to primary frequency response transactions, which 
would largely involve the real-time operational state of the resources 
in question as a way of verifying both their readiness to respond and 
actual responses to relevant frequency deviations, that could not be 
accommodated by this existing secure protocol widely used by the 
electric utility industry. As a result, the Commission continues to 
believe that the information sharing required to facilitate sales of 
primary frequency response service will not create a barrier to such 
sales and thus we find in this Final Rule that the market power screens 
used for energy and capacity are valid for primary frequency response 
service.
---------------------------------------------------------------------------

    \63\ See International Electroctechnical Commission, Telecontrol 
equipment and systems--Part 6-802: Telecontrol protocols compatible 
with ISO standards and ITU-T recommendations--TASE.2 Object models 
(Sept. 2005), available at https://webstore.iec.ch/publication/18156.
---------------------------------------------------------------------------

4. Definition of Primary Frequency Response Service
    46. Parties request various clarifications regarding the definition 
of primary frequency response service. Calpine and EPSA assert that the 
product definition for primary frequency response service should 
include both inertial response from conventional ``spinning mass'' 
generators and primary frequency response from discretionary turbine-
governor settings.\64\ Similarly, Union of Concerned Scientists argues 
for the inclusion of synchronous and/or synthetic inertia as a market 
product that can be used to provide primary frequency response, and 
requests that the Commission clarify whether the creation of markets 
for inertia is within the scope of changes that were envisioned by the 
Commission when it issued this NOPR.\65\
---------------------------------------------------------------------------

    \64\ Calpine at 7, n.16; EPSA at 5.
    \65\ Union of Concerned Scientists at 8.
---------------------------------------------------------------------------

    47. The Commission emphasizes that this Final Rule addresses 
market-based rate authority for sales of services that fit the 
definition of primary frequency response services, i.e., resources 
standing by to provide autonomous, pre-programmed changes in output to 
rapidly arrest large changes in frequency until dispatched resources 
can take over. True inertia, while also serving an important function, 
does not fit this definition because it does not arrest large changes 
in frequency, but rather acts to oppose all changes in frequency. The 
term ``synthetic inertia'' is more complicated to address because it is 
not clear from the record whether there is actual industry consensus on 
what the term means. However, if it is assumed to mean a resource 
standing by to provide autonomous, pre-programmed changes in output to 
rapidly arrest large changes in frequency until dispatched resources 
can take over, then the Commission would simply consider it a form of 
primary frequency response subject to this Final Rule. In contrast, if 
the ``synthetic inertia'' response either cannot be sustained until 
dispatched

[[Page 73972]]

resources take over, or is merely aimed at slowing all changes in 
frequency instead of arresting large changes, then ``synthetic 
inertia'' would not be a form of primary frequency response, and sales 
of it would not be encompassed by this Final Rule.
    48. Several commenters assert that the product definition must 
differentiate based on response time in addition to magnitude of 
response.\66\ Consistent with this idea, SmartSenseCom asks the 
Commission to amend section 35.28 of its regulations by adding a new 
paragraph that states the following:
---------------------------------------------------------------------------

    \66\ Calpine at 7; AWEA at 4; Grid Storage Consulting at 2-4; 
Public Interest Organizations at 4; SmartSenseCom at 8.

Primary frequency response in ancillary service markets. Each 
Commission approved independent system operator or regional 
transmission organization that has a tariff that provides for the 
compensation for primary frequency response service must provide 
such compensation based upon the actual service provided, include a 
capacity payment that takes into account the speed of primary 
frequency response-providing resources and a payment for performance 
that reflects the quantity of primary frequency response provided by 
a resource in response to a frequency deviation.\67\
---------------------------------------------------------------------------

    \67\ SmartSenseCom at Ex. A.

    49. The Commission finds that the Final Rule's product definition, 
summarized at the beginning of the discussion section above, already 
sufficiently incorporates the importance of speed. The Commission finds 
that no further differentiation based on response time or magnitude is 
necessary in connection with this Final Rule, which deals only in the 
appropriate ex ante market power screening of potential sellers of 
primary frequency response service. For this reason, and because this 
Final Rule does not require development of organized markets for 
primary frequency response, the Commission also denies as unnecessary 
the requested addition to the Commission's regulations related to 
organized RTO and ISO markets for primary frequency response.
    50. Grid Storage Consulting, LLC (Grid Storage Consulting) and 
Public Interest Organizations argue that the product definition for 
this service should require response that is immediate, bi-directional, 
proportional to the frequency deviation, continuous in the sense of not 
being prematurely interrupted by competing controls or physical 
limitations, and certain.\68\ The Commission clarifies that potential 
voluntary buyers and sellers of primary frequency response service are 
free to negotiate any refinements to the basic product definition in 
this Final Rule that they see fit, so long as such refinements remain 
consistent with the basic definition. Obviously, any market-based rate 
authority granted as a result of this Final Rule would only apply to 
products that are consistent with the definition of primary frequency 
response service described at the beginning of the discussion section 
above.
---------------------------------------------------------------------------

    \68\ Grid Storage Consulting at 4-7; Public Interest 
Organizations at 4.
---------------------------------------------------------------------------

    51. SmartSenseCom urges the Commission to define primary frequency 
response directly within the Commission's regulations.\69\ The 
Commission denies this request as unnecessary. The Commission's 
regulations do not include definitions of every particular product 
subject to its jurisdiction; it is sufficient for such product 
definitions to be described in relevant Commission orders such as this 
one.
---------------------------------------------------------------------------

    \69\ SmartSenseCom at 3.
---------------------------------------------------------------------------

5. Miscellaneous Requests for Clarification
    52. EEI encourages the Commission to make clear in the Final Rule 
that a potential third-party provider would not be disqualified from 
competing on the basis that it is interconnected to an affiliated 
transmission provider. According to EEI, not addressing the affiliate 
restriction provisions of the Avista policy could unnecessarily limit 
the pool of third-party generators that would be eligible to compete to 
provide market-based primary frequency response service.\70\
---------------------------------------------------------------------------

    \70\ EEI at 7.
---------------------------------------------------------------------------

    53. EEI's concern relates to the component of the Avista 
restrictions highlighted below:

(2) to address affiliate abuse concerns, the approach [permitting 
market-based rate sales of ancillary services without a 
corresponding market power analysis] will not apply to sales to a 
traditional, franchised public utility affiliated with the third-
party supplier, or to sales where the underlying transmission 
service is on the system of the public utility affiliated with the 
third-party supplier.\71\
---------------------------------------------------------------------------

    \71\ Avista Corp., 87 FERC ] 61,223 at n.12 (1999) (emphasis 
added).

    54. As the Commission noted in the Avista passage quoted above, 
this second Avista restriction was meant to address affiliate abuse. 
However, EEI's concern that potential third-party providers should not 
be disqualified from competing on the basis that they are 
interconnected to an affiliated transmission provider appears to be 
based on an overly broad interpretation of the language highlighted 
above; i.e., one that would prevent sales that only tangentially 
involve the affiliated public utility transmission provider's system. 
While the Commission understands this concern, we do not believe it is 
justified because the highlighted language targets a much narrower set 
of circumstances.
    55. In particular, in Ameren Marketing,\72\ the Commission approved 
a case-by-case request for market-based rates for ancillary services 
sales by a third-party seller to transmission customers located on the 
transmission system of the seller's public utility transmission 
provider affiliate where the seller offered several safeguards to 
protect against the potential for affiliate abuse.\73\ Ameren Marketing 
demonstrates the narrow scope of the Commission's concern related to 
this Avista restriction; namely, third-party sales to customers located 
on the transmission systems of affiliates. Only in these situations 
does the second Avista restriction apply, and in these situations, we 
remain willing to consider requests for market-based rate authority for 
sales of primary frequency response service on a case-by-case basis. In 
response to EEI's concern, the Commission clarifies that where the 
customer is not located on the transmission system of the third-party 
seller's affiliate, this aspect of the Avista restrictions does not 
apply.
---------------------------------------------------------------------------

    \72\ Ameren Energy Marketing Co., 95 FERC ] 61,448, at 62,626 
(2001) (Ameren Marketing).
    \73\ With respect to all three Avista restrictions, the 
Commission expressed its willingness to consider requests for 
market-based rate authority under the conditions associated with the 
restrictions on a case-by-case basis. Avista Corp., 87 FERC ] 61,223 
at n.12.
---------------------------------------------------------------------------

    56. EEI also recommends that the Commission clarify in the Final 
Rule that the location of primary frequency response purchases be 
deemed to be where the customer is located within an interconnection, 
rather than where the underlying generation resides. According to EEI, 
this would address a potential ambiguity in how the NOPR proposal is 
described in paragraph 28 of the NOPR, where the Commission stated that 
``. . . sellers passing existing market-based rate screens in a given 
geographic market should be granted a rebuttable presumption that they 
lack market power for sales of primary frequency response in that 
market.'' \74\ EEI states that if a generator has passed the 
Commission's existing market power screens (or if the screens are not 
required to be submitted based on the location of the generation) for 
the geographic market in which the buyer is located, then the generator 
should benefit from the rebuttable presumption

[[Page 73973]]

that it lacks market power with respect to sales of primary frequency 
response service throughout the entire interconnection.\75\
---------------------------------------------------------------------------

    \74\ EEI at 7 (citing NOPR, FERC Stats. & Regs. ] 32,705 at P 
28).
    \75\ Id. at 7-8.
---------------------------------------------------------------------------

    57. EEI appears to be concerned that the language in paragraph 28 
might be interpreted to mean that market-based rate sales of primary 
frequency response are only authorized in specific geographic markets. 
As will be explained next, this would be similar to how market-based 
rate sales of operating reserves are handled pursuant to Order No. 784, 
but different from how authority for market-based rate sales of energy 
and capacity is granted. With respect to energy and capacity, the 
Commission's normal practice is to test for market power in the 
seller's home balancing authority area, and, if the seller is 
vertically-integrated, first-tier balancing authority areas, because 
this is where the seller's market power likely would be greatest. 
However, the market-based rate authority granted based on passage of 
these market power screens permits sales anywhere that the seller is 
capable of transacting. In Order No. 784, the Commission had to depart 
from this standard practice with respect to market-based rate sales of 
operating reserves because of the special transmission scheduling 
practices associated with those services. Order No. 784 required 
sellers of operating reserves to first demonstrate that the scheduling 
practices in the regions within which they wish to sell could support 
sales of operating reserves from one balancing authority area to 
another, and market-based rate authority for sales of operating 
reserves would only be granted for regions where such showing was made 
successfully by the seller.\76\ Because primary frequency response is 
autonomous and individual responses are of short duration, no special 
scheduling practices would be required. Hence, the Commission finds 
that market-based rate authority for sales of primary frequency 
response should be granted on the same basis as sales of energy and 
capacity; i.e., while market power is tested at the resource's 
location, authority is granted for sales anywhere the seller is capable 
of transacting. The Commission, therefore, clarifies the description in 
paragraph 28 of the NOPR accordingly.
---------------------------------------------------------------------------

    \76\ Order No. 784, FERC Stats. & Regs. ] 31,349 at P 58.
---------------------------------------------------------------------------

    58. AWEA, ESA, Union of Concerned Scientists, and Grid Storage 
Consulting argue that there may be some resources that have been 
authorized to sell ancillary services at market-based rates but not 
energy and capacity, or that are otherwise eligible to participate in 
Commission-authorized and supervised markets. They recommend that any 
such resources be permitted to sell primary frequency response service 
at market-based rates as well.\77\ In a similar vein, Public Interest 
Organizations ask the Commission to consider whether there is any class 
or potential class of emerging resources that sell only ancillary 
services and not energy or capacity, and if so, whether such resources 
should be exempted from existing market power screens in exchange for 
some more appropriate market power analysis.\78\
---------------------------------------------------------------------------

    \77\ AWEA at 4; ESA at 4-5; Union of Concerned Scientists at 3; 
Grid Storage Consulting at 10.
    \78\ Public Interest Organizations at 5-6.
---------------------------------------------------------------------------

    59. In response to these comments, the Commission clarifies that 
for resources capable of injecting electric energy onto the interstate 
transmission grid,\79\ authority to sell at market-based rates, even 
exclusively in organized RTO or ISO markets, is only granted to 
entities that either pass the existing market power screens for sales 
of energy and capacity or where any market power concerns have been 
adequately mitigated. Thus, even if such sellers only sell ancillary 
services today, their authorization to do so was granted based in part 
upon either passage of the existing market power screens for sales of 
energy and capacity or where there was a demonstration that any market 
power concerns have been adequately mitigated.\80\ The only current 
exception to this rule involves demand response resources. If a third-
party seller exclusively uses demand response resources to participate 
in RTO/ISO markets, it does not need to seek market-based rate 
authority or place any tariff on file with the Commission, because 
demand response resources do not inject electric energy onto the 
interstate transmission grid. However, if it ever markets services from 
other types of resources that result in it injecting electric energy 
onto the grid, then it would need market-based rate authority and a 
tariff on file.\81\ Accordingly, all sellers with market-based rate 
authority using resources that can inject electric energy onto the 
interstate transmission grid, even if they only sell ancillary services 
today, are already eligible to make use of the rebuttable presumption 
related to primary frequency response in this Final Rule. Similarly, 
sellers exclusively using demand response resources are already 
exempted from the need to submit market power analyses to gain 
authorization for their sales, and Public Interest Organizations have 
provided no reason why any new class of resources should be exempted.
---------------------------------------------------------------------------

    \79\ Pursuant to section 201(a) of the FPA, the Commission is 
charged with regulating the transmission of electric energy in 
interstate commerce and the sale of electric energy at wholesale in 
interstate commerce. 16 U.S.C. 824(a) (2012). Section 201(b) 
provides that the Commission shall have jurisdiction over facilities 
for wholesale sales of electric energy in interstate commerce or for 
transmission of electric energy in interstate commerce. Id. 824(b). 
In section 201(e), a public utility is defined as a person who owns 
or operates facilities subject to the jurisdiction of the 
Commission. Id. 824(e).
    \80\ In the event that sellers fail the existing market power 
screens for the RTO/ISO markets, the Commission allows such sellers 
to seek to obtain or retain market-based rate authority by relying 
on Commission-approved RTO/ISO monitoring and mitigation. See 
Refinements to Policies and Procedures for Market-Based Rates for 
Wholesale Sales of Electric Energy, Capacity and Ancillary Services 
by Public Utilities, Order No. 816, 80 FR 67056, (Oct. 30, 2015), 
153 FERC ] 61,065, at P 28 (2015).
    \81\ EnergyConnect, Inc., 130 FERC ] 61,031, at PP 26-33 (2010).
---------------------------------------------------------------------------

    60. Union of Concerned Scientists, ESA, and Public Interest 
Organizations all ask that the Commission clarify that the current 
Final Rule applies for all resources that can provide primary frequency 
response.\82\ Steel Producers Alliance makes similar arguments, 
emphasizing that resources other than generators are able to provide 
primary frequency response service and should be permitted to compete 
to provide the service.\83\ The Commission clarifies that this Final 
Rule applies to jurisdictional market-based rate sellers of primary 
frequency response service, irrespective of what specific equipment 
they may choose to use to make such sales.
---------------------------------------------------------------------------

    \82\ Union of Concerned Scientists at 5; ESA at 2-4; Public 
Interest Organizations at 2-3.
    \83\ Steel Producers Alliance at 2-3.
---------------------------------------------------------------------------

    61. MISO asserts that certain technical statements within the NOPR 
require limited clarification. First, while MISO agrees with the NOPR 
that 60 Hertz (Hz) is the target frequency in North America, MISO notes 
that scheduled frequency may be offset at times to correct time 
error.\84\ Second, in response to the NOPR's description of how each 
balancing authority's automatic generation control system will issue 
dispatch instructions to regulation resources to try to return the 
systems frequency to 60 Hz, MISO argues that typically the contingent 
balancing authority uses a combination of automatic generation control 
and contingency reserves for this purpose.\85\ The Commission agrees 
with these clarifications, but finds that they do not alter any 
fundamental underpinning of the NOPR proposal.
---------------------------------------------------------------------------

    \84\ MISO at 5.
    \85\ Id. at 6.
---------------------------------------------------------------------------

    62. Union of Concerned Scientists seeks clarification that 
procurement of, and payment for, primary frequency

[[Page 73974]]

response service would be allowed if the sale of primary frequency 
response service under market-based rates were allowed. It suggests 
that the Commission state that markets for primary frequency response 
service are allowed, subject to petition by appropriate utilities and 
approval by the Commission.\86\ Union of Concerned Scientists also asks 
that market eligibility and participation as a seller should not be 
constrained by disproportionate administrative burdens.\87\ The 
Commission agrees that market-based rate sales by entities that have 
been granted authorization for such sales are allowed; that is, of 
course, the object of a market-based rate application. With respect to 
the authority for potential buyers to purchase primary frequency 
response service, this Final Rule only involves market power screening 
of potential sellers. As with most products in voluntary bilateral 
markets, potential buyers do not need the Commission's permission. 
Similarly, the Commission clarifies that RTOs and ISOs remain free to 
develop organized markets for primary frequency response if they so 
choose, though nothing in this Final Rule requires them to do so, and 
if they choose to do so, only then will the Commission review such 
issues as eligibility requirements for participation.
---------------------------------------------------------------------------

    \86\ Union of Concerned Scientists at 4.
    \87\ Id. at 3.
---------------------------------------------------------------------------

6. Requests Outside the Scope of This Proceeding
    63. AWEA and Public Interest Organizations both request that the 
Commission permit sales of regulation service at market-based rates by 
entities with authority for market-based rate sales of energy and 
capacity.\88\ AWEA further requests that the Commission: (a) Explore 
the role that dynamic transfer capability, or lack thereof, plays in 
protecting against exertion of market power; \89\ (b) consider relaxing 
interconnection standards for resources that only sell ancillary 
services; \90\ and (c) consider whether entities in bilateral market 
areas should be required to develop platforms for the sale of primary 
frequency response, even if on a limited basis such as through open 
seasons.\91\
---------------------------------------------------------------------------

    \88\ AWEA at 1, 7-9; Public Interest Organizations at 5.
    \89\ AWEA at 3.
    \90\ Id. at 4.
    \91\ Id. at 5.
---------------------------------------------------------------------------

    64. Monitoring Analytics, LLC (Monitoring Analytics) notes that, 
while the NOPR is mainly concerned with the market power screens 
typically used in connection with authorizations to charge market-based 
rates, in organized markets like PJM's, such rates are granted in 
significant part based on the market power mitigation rules of the RTO 
or ISO. Accordingly, Monitoring Analytics recommends that if PJM 
develops a market for primary frequency response service, the rules for 
such market should incorporate the three pivotal supplier test that is 
already used for market power mitigation in PJM's other markets.\92\
---------------------------------------------------------------------------

    \92\ Monitoring Analytics at 7.
---------------------------------------------------------------------------

    65. ESA argues that fast responding energy storage resources should 
be allowed to supply both primary frequency response and regulation 
services simultaneously. In this regard, ESA asserts that the 
Commission should not inadvertently create a system where all providers 
of primary frequency response must provide such service for at least 5-
10 minutes until the slowest regulation resources can be brought 
online.\93\ ESA requests that the Commission ensure that ancillary 
service market designs and procurement mechanisms are reasonably 
consistent across regions and reflect non-market compensated benefits 
in the determination of operational needs for particular capabilities, 
such as fast response.\94\
---------------------------------------------------------------------------

    \93\ ESA at 5.
    \94\ Id. at 6.
---------------------------------------------------------------------------

    66. Grid Storage Consulting argues that balancing authorities 
should not be able to mandate that primary frequency response be 
provided as part of other market products,\95\ and that in some 
circumstances it may be appropriate to permit the costs of dedicated 
primary frequency response resources to be recovered in transmission 
rate base.\96\
---------------------------------------------------------------------------

    \95\ Grid Storage Consulting at 8-9.
    \96\ Id. at 10-11.
---------------------------------------------------------------------------

    67. If an RTO seeks to create an organized market for primary 
frequency response, then Dominion recommends that the Commission 
require a market design similar to those used currently to procure 
other ancillary services such as regulation and operating reserves. 
Alternatively, Dominion also supports allowing RTOs to procure primary 
frequency response at cost-based rates, in a manner similar to how 
reactive power is procured. Dominion also argues that generators should 
either be exempt from charges such as operating reserve and balancing 
energy when deviating from their schedules in order to provide primary 
frequency response service or their compensation should include credits 
to offset such charges.\97\
---------------------------------------------------------------------------

    \97\ Dominion at 3.
---------------------------------------------------------------------------

    68. SmartSenseCom asserts that there is a difference in value 
between resources capable of delivering a rapid response to changing 
frequency and slower-responding units. Accordingly, SmartSenseCom asks 
the Commission to require public utility transmission providers to take 
into account the speed and accuracy of primary frequency response 
resources when determining reserve requirements for primary frequency 
response, as the Commission did for regulation service in Order No. 
784. SmartSenseCom claims this ``is particularly necessary in this 
instance in light of the language set forth in Order No. 784 and in the 
instant NOPR that distinguishes [primary frequency response] from 
regulation and the different requirements that will now exist for each 
service.'' \98\
---------------------------------------------------------------------------

    \98\ SmartSenseCom at 8.
---------------------------------------------------------------------------

    69. The Commission finds all of these issues to be beyond the scope 
of this Final Rule. This Final Rule deals only with market-based 
pricing for voluntary bilateral primary frequency response sellers. 
While some of the issues raised above might be relevant in other 
proceedings,\99\ none of the issues raised above is relevant to the 
topic of market-based rates in voluntary bilateral markets. 
Accordingly, there is no need to address these issues here.
---------------------------------------------------------------------------

    \99\ For example, if an RTO or ISO eventually proposes to 
develop an organized market for primary frequency response service, 
or if the Commission at some point in the future decides to require 
such development, then several of the issues raised above might 
become relevant at that stage.
---------------------------------------------------------------------------

III. Compliance and Implementation

    70. In Order No. 697, the Commission provided standard tariff 
provisions that sellers must include in their market-based rate tariffs 
to the extent they are applicable based on the services provided by the 
seller,\100\ including a provision for sales of ancillary services as a 
third-party provider.\101\ The Commission hereby revises the ``Third 
Party Provider'' ancillary services provision to change the reference 
to ``Regulation and Frequency Response Service'' to ``Regulation 
Service'' and to add a reference to ``Primary Frequency Response 
Service.'' The new language is as follows:
---------------------------------------------------------------------------

    \100\ Order No. 697, FERC Stats. & Regs. ] 31,252 at Appendix C.
    \101\ In Order No. 784, the Commission revised the standard 
third party provider provision to reflect the changes adopted in 
Order No. 784. Order No. 784, FERC Stats. & Regs. ] 31,349 at P 200.

Third-party ancillary services: Seller offers [include all of the 
following that the seller is offering: Regulation Service, Reactive 
Supply and Voltage Control Service, Energy and Generator Imbalance 
Service, Operating

[[Page 73975]]

Reserve-Spinning, Operating Reserve-Supplemental, and Primary 
Frequency Response Service]. Sales will not include the following: 
(1) sales to an RTO or an ISO, i.e., where that entity has no 
ability to self-supply ancillary services but instead depends on 
third parties; and (2) sales to a traditional, franchised public 
utility affiliated with the third-party supplier, or sales where the 
underlying transmission service is on the system of the public 
utility affiliated with the third-party supplier. Sales of Operating 
Reserve-Spinning and Operating Reserve-Supplemental will not include 
sales to a public utility that is purchasing ancillary services to 
satisfy its own open access transmission tariff requirements to 
offer ancillary services to its own customers, except where the 
Commission has granted authorization. Sales of Regulation Service 
and Reactive Supply and Voltage Control Service will not include 
sales to a public utility that is purchasing ancillary services to 
satisfy its own open access transmission tariff requirements to 
offer ancillary services to its own customers, except at rates not 
to exceed the buying public utility transmission provider's OATT 
rate for the same service or where the Commission has granted 
---------------------------------------------------------------------------
authorization.

    71. The Commission finds that a seller that already has market-
based rate authority as of the effective date of this Final Rule is 
authorized as of that date to make sales of primary frequency response 
service at market-based rates. Such a seller will be required to revise 
the third-party provider ancillary services provision of its market-
based rate tariff to reflect that it wishes to make sales of primary 
frequency response service at market-based rates. However, while this 
authorization is effective for sellers with existing market-based rate 
authority as of the effective date of this Final Rule, in order to 
reduce their administrative burden, the Commission permits such sellers 
to wait to file this tariff revision until the next time they make a 
market-based rate filing with the Commission, such as a notice of 
change in status filing or a triennial update.
    72. As noted in the NOPR, consistent with the existing requirements 
of Order No. 2001, any entity selling primary frequency response 
service will need to report such sales in the Electric Quarterly 
Report,\102\ and the Commission will update its Electric Quarterly 
Report system to include a specific product name option for primary 
frequency response service.\103\
---------------------------------------------------------------------------

    \102\ See Revised Public Utility Filing Requirements, Order No. 
2001, FERC Stats. & Regs. ] 31,127, reh'g denied, Order No. 2001-A, 
100 FERC ] 61,074, reh'g denied, Order No. 2001-B, 100 FERC ] 
61,342, order directing filing, Order No. 2001-C, 101 FERC ] 61,314 
(2002), order directing filing, Order No. 2001-D, 102 FERC ] 61,334, 
order refining filing requirements, Order No. 2001-E, 105 FERC ] 
61,352 (2003), order on clarification, Order No. 2001-F, 106 FERC ] 
61,060 (2004), order revising filing requirements, Order No. 2001-G, 
120 FERC ] 61,270, order on reh'g and clarification, Order No. 2001-
H, 121 FERC ] 61,289 (2007), order revising filing requirements, 
Order No. 2001-I, FERC Stats. & Regs. ] 31,282 (2008).
    \103\ NOPR, FERC Stats. & Regs. ] 32,705 at P 29.
---------------------------------------------------------------------------

IV. Information Collection Statement

    73. The Paperwork Reduction Act (PRA) \104\ requires each federal 
agency to seek and obtain Office of Management and Budget (OMB) 
approval before undertaking a collection of information directed to ten 
or more persons or contained in a rule of general applicability. OMB 
regulations require approval of certain information collection 
requirements imposed by agency rules.\105\ Upon approval of a 
collection(s) of information, OMB will assign an OMB control number and 
an expiration date. Respondents subject to the filing requirements of 
an agency rule will not be penalized for failing to respond to the 
collection of information unless the collection of information displays 
a valid OMB control number.
---------------------------------------------------------------------------

    \104\ 44 U.S.C. 3501-3520 (2012).
    \105\ See 5 CFR 1320 (2015).
---------------------------------------------------------------------------

    74. The Commission will submit the revised information collection 
requirements to OMB for its review and approval. The Commission 
solicits public comments on its need for this information, whether the 
information will have practical utility, the accuracy of burden and 
cost estimates, ways to enhance the quality, utility, and clarity of 
the information to be collected or retained, and any suggested methods 
for minimizing respondents' burden, including the use of automated 
information techniques.
    75. Burden Estimate and Information Collection Costs: While, to the 
Commission's knowledge, no entity currently sells primary frequency 
response service on an unbundled basis,\106\ there is no reason why 
primary frequency response service could not be sold today under cost-
based rates. Such cost-based sales, if they occurred, would face all of 
the burdens associated with cost-of-service regulation, including a 
variety of requirements from which market-based rate sellers frequently 
seek and are granted waiver.\107\ Furthermore, just like market-based 
rate sellers, cost-based rate sellers must report all transactions in 
the Electric Quarterly Report. Accordingly, the Commission views this 
Final Rule as providing potential market-based rate sellers of primary 
frequency response service with the opportunity to avoid cost-of-
service regulation for such sales and the associated substantial 
reporting burdens.
---------------------------------------------------------------------------

    \106\ It is likely that some customers purchase primary 
frequency response service along with other services on a bundled 
basis, such as through full requirements contracts, but this Final 
Rule is focused on unbundled sales of primary frequency response 
service.
    \107\ Such burdens would include, for example, the need to 
maintain Open Access Transmission Tariffs and Open Access Same-Time 
Information Systems related to any jurisdictional transmission 
facilities owned by the entity, the need to adhere to the 
Commission's standards of conduct, the need to adhere to the 
detailed cost-of-service related requirements of subparts B and C of 
Part 35 of the Commission's regulations, the need to adhere to the 
accounting and reporting requirements of Parts 41, 101, and 141 of 
the Commission's regulations, and the need to seek separate 
authorizations for issuances of securities and assumptions of 
liabilities under FPA section 204 and Part 34 of the Commission's 
regulations.
---------------------------------------------------------------------------

    76. Below, we discuss the expected increases in burden as a result 
of this Final Rule. The Commission expects the additional burden to be 
greatly outweighed by the reduction in burden from avoiding cost-of-
service regulation. The additional estimated annual public reporting 
burdens and costs for the requirements in this Final Rule are as 
follows.

                                                          Changes in Final Rule in RM15-2 \108\
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                       Annual number of
        Number of respondents           responses per     Total number of     Average burden & cost per   Total annual burden hours &  Cost per response
                                          respondent         responses                response                 total annual cost
(a)                                                 (b)        (a)x(b)=(c)  (d).........................  (c)x(d)=(e)................            (e)/(c)
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                       FERC-516 (Electric Rate Schedules and Tariff Filings) (one time, phased in)
--------------------------------------------------------------------------------------------------------------------------------------------------------
1,585 \109\.........................        \110\ 0.163                259  6 hrs.; $432................  1,554 hrs.; $111,888.......               $432
--------------------------------------------------------------------------------------------------------------------------------------------------------

[[Page 73976]]

 
                                               FERC-920 (Electric Quarterly Report) (one-time, phased in)
--------------------------------------------------------------------------------------------------------------------------------------------------------
1,585...............................        \111\ 0.163                259  2 hrs.; $144................  518 hrs.; $37,296..........                144
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Titles: FERC-516 (Electric Rate Schedules and Tariff Filings) and 
FERC-920 (Electric Quarterly Report (EQR)).
---------------------------------------------------------------------------

    \108\ For purposes of burden estimation, the NOPR assumed that 
industry staff members are similarly situated to FERC, in terms of 
hourly cost per full time employee, and no commenter disputes this 
assumption. Therefore, the estimated average hourly cost (salary 
plus benefits) is $72.00.
    \109\ The 1,585 respondent universe includes existing sellers 
(1,999 total market-based rate sellers--697 Category 1 sellers + 70 
Category 1 sellers = 1,372 sellers estimated to sell primary 
frequency response services) plus 213 new market-based rate 
applicants (as estimated in Docket No. RM14-14). (We estimate that 
ten percent (or 70, as indicated above) of the Category 1 sellers 
may choose to sell primary frequency response services.)
    \110\ We expect respondents to enter the primary frequency 
response market gradually. For each of the next three years, we 
expect all 213 new market-based rate applicants per year (or 639 
total during Years 1-3), to include the primary frequency response 
language in their tariffs.
    Additionally, during the three-year period, we expect a total of 
ten percent of the existing 1,372 respondents (or 137 respondents), 
to decide to sell primary frequency response services and to make 
the corresponding FERC-516 rate filing. The corresponding annual 
estimate is 46 of the existing respondents (an average of 3.4% 
annually). Therefore, the annual estimate, including both new 
respondents and existing respondents, is an average of 259 (213 + 
46) respondents and responses per year.
    \111\ As respondents decide to sell primary frequency response 
services, they would report the new offering in their Electric 
Quarterly Report (FERC-920), and would continue to report in 
subsequent EQRs. When a filer adds the new service, we estimate the 
one-time burden to be two hours. We expect any additional burden 
associated with reporting the new service in the EQR to be 
negligible after the first implementation as it would become part of 
the respondent's normal reporting practice in the EQR and would only 
involve selecting the `primary frequency response' option from a 
list of product names. On average, we expect filers of the new 
primary frequency response service to phase in:
     Year 1, 259 respondents or 16.3 percent of EQR filers.
     Year 2, 259 respondents or 16.3 percent of EQR filers.
     Year 3, 259 respondents or 16.3 percent of EQR filers.
---------------------------------------------------------------------------

    Action: Revision of Currently Approved Collection of Information.
    OMB Control Nos.: 1902-0096 (FERC-516) and 1902-0255 (FERC-920).
    Respondents: Public utilities.
    Frequency of responses: One-time, phased in (for both FERC-516 and 
FERC-920).
    Necessity of the Information: Regarding FERC-516, section 205(c) of 
the Federal Power Act requires public utilities to file with the 
Commission schedules showing all rates and charges for any transmission 
or sale subject to the Commission's jurisdiction. Accordingly, entities 
wishing to sell primary frequency response service at market-based 
rates must amend their market-based rate tariffs to include the 
language included in this Final Rule. Regarding FERC-920, the 
Commission is revising the EQR to ensure that public utilities that may 
sell primary frequency response service at market-based rates report 
those sales in the EQR, consistent with their filing obligations under 
section 205(c).
    Internal Review: The Commission has reviewed the requirements 
associated with the proposed revisions to the information collections 
and determined they are necessary to ensure that rates remain just, 
reasonable, and not unduly discriminatory.
    77. These requirements conform to the Commission's need for 
efficient information collection, communication, and management within 
the energy industry. The Commission has assured itself, through 
internal review, that there is specific, objective support for the 
burden estimates associated with the information collection 
requirements.
    78. Interested persons may obtain information on the reporting 
requirements by contacting the following: Federal Energy Regulatory 
Commission, 888 First Street NE., Washington, DC 20426 [Attention: 
Ellen Brown, Office of the Executive Director], email: 
[email protected], Phone (202) 502-8663, fax: (202) 273-0873. 
Comments on the collections of information and associated burden 
estimates in the Final Rule should be sent to the Commission in this 
docket and may also be sent to the Office of Information and Regulatory 
Affairs, Office of Management and Budget, Washington, DC 20503 
[Attention: Desk Officer for the Federal Energy Regulatory Commission]. 
For security reasons, comments to OMB should be submitted by email to: 
[email protected]. Please refer to OMB Control No. 1902-0096 
(FERC-516) and OMB Control No. 1902-0255 (FERC-920).

V. Environmental Analysis

    79. The Commission is required to prepare an Environmental 
Assessment or an Environmental Impact Statement for any action that may 
have a significant adverse effect on the human environment.\112\ The 
Commission concludes that neither an Environmental Assessment nor an 
Environmental Impact Statement is required for this Final Rule under 
section 380.4(a)(15) of the Commission's regulations, which provides a 
categorical exemption for approval of actions under sections 205 and 
206 of the FPA relating to the filing of schedules containing all rates 
and charges for the transmission or sale subject to the Commission's 
jurisdiction, plus the classification, practices, contracts, and 
regulations that affect rates, charges, classifications, and 
services.\113\
---------------------------------------------------------------------------

    \112\ Regulations Implementing the National Environmental Policy 
Act of 1969, Order No. 486, 52 FR 47,897 (Dec. 17, 1987), FERC 
Stats. & Regs., Regulations Preambles 1986-1990 ] 30,783 (1987).
    \113\ 18 CFR 380.4(a)(15) (2015).
---------------------------------------------------------------------------

VI. Regulatory Flexibility Act

    80. The Regulatory Flexibility Act of 1980 (RFA) \114\ generally 
requires a description and analysis of proposed and final rules that 
will have significant economic impact on a substantial number of small 
entities.
---------------------------------------------------------------------------

    \114\ 5 U.S.C. 601-612 (2012).
---------------------------------------------------------------------------

    81. The Small Business Administration's (SBA) Office of Size 
Standards develops the numerical definition of a small business.\115\ 
The SBA revised its size standard for electric utilities (effective 
January 22, 2014) from a standard based on megawatt hours to a standard 
based on the number of employees, including affiliates.\116\ Under 
SBA's current size

[[Page 73977]]

standards, the entities with market-based rates which are affected by 
this Final Rule likely come under the following categories \117\ with 
the indicated thresholds (in terms of number of employees \118\):
---------------------------------------------------------------------------

    \115\ 13 CFR 121.101 (2015).
    \116\ SBA Final Rule on ``Small Business Size Standards: 
Utilities,'' 78 FR 77,343 (Dec. 23, 2013).
    \117\ 13 CFR 121.201, Sector 22, Utilities.
    \118\ SBA's regulations at 13 CFR 121.201 state that ``[t]he 
number of employees . . . indicates the maximum allowed for a 
concern and its affiliates to be considered small.''
---------------------------------------------------------------------------

     Hydroelectric Power Generation, 500 employees.
     Fossil Fuel Electric Power Generation, 750 employees.
     Nuclear Electric Power Generation, 750 employees.
     Solar Electric Power Generation, 250 employees.
     Wind Electric Power Generation, 250 employees.
     Geothermal Electric Power Generation, 250 employees.
     Biomass Electric Power Generation, 250 employees.
     Other Electric Power Generation, 250 employees.
    82. The categories for the applicable entities have a size 
threshold ranging from 250 employees to 750 employees. For the analysis 
in this Final Rule, we are using the threshold of 750 employees for all 
categories. We anticipate that a maximum of 82 percent of the entities 
potentially affected by this Final Rule are small. In addition, we 
expect that not all of those entities will be able to or will choose to 
offer primary frequency response service.
    83. Based on the estimates above in the Information Collection 
section, we expect a one-time cost of $576 (including the burden cost 
related to filing both the tariff and the EQR) for each entity that 
decides to offer primary frequency response service.
    84. The Commission does not consider the estimated cost per small 
entity to impose a significant economic impact on a substantial number 
of small entities. Accordingly, the Commission certifies that this 
Final Rule will not have a significant economic impact on a substantial 
number of small entities.

VII. Document Availability

    85. 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 (http://www.ferc.gov) and 
in the Commission's Public Reference Room during normal business hours 
(8:30 a.m. to 5:00 p.m. Eastern time) at 888 First Street NE., Room 2A, 
Washington, DC 20426.
    86. 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.
    87. User assistance is available for eLibrary and the Commission's 
Web site during normal business hours from the Commission's Online 
Support at 202-502-6652 (toll free at 1-866-208-3676) or email at 
[email protected], or the Public Reference Room at (202) 502-
8371, TTY (202) 502-8659. Email the Public Reference Room at 
[email protected].

VIII. Effective Date and Congressional Notification

    88. The Final Rule is effective February 25, 2016. The Commission 
has determined, with the concurrence of the Administrator of the Office 
of Information and Regulatory Affairs of OMB, that this Final Rule is 
not a ``major rule'' as defined in section 351 of the Small Business 
Regulatory Enforcement Fairness Act of 1996. This Final Rule is being 
submitted to the Senate, House, Government Accountability Office, and 
Small Business Administration.

List of Subjects in 18 CFR Part 35

    Electric power rates; Electric utilities; Reporting and 
recordkeeping requirements.

    By the Commission.

    Issued: November 20, 2015.
Nathaniel J. Davis, Sr.,
Deputy Secretary.

    In consideration of the foregoing, the Commission amends Part 35, 
Chapter I, Title 18, Code of Federal Regulations, as follows.

PART 35--FILING OF RATE SCHEDULES AND TARIFFS

0
1. The authority citation for Part 35 continues to read as follows:

    Authority: 16 U.S.C. 791a-825r, 2601-2645; 31 U.S.C. 9701; 42 
U.S.C. 7101-7352.


0
2. In Sec.  35.37, revise paragraph (c)(1) to read as follows:


Sec.  35.37  Market power analysis required.

* * * * *
    (c)(1) There will be a rebuttable presumption that a Seller lacks 
horizontal market power with respect to sales of energy, capacity, 
energy imbalance service, generation imbalance service, and primary 
frequency response service if it passes two indicative market power 
screens: a pivotal supplier analysis based on annual peak demand of the 
relevant market, and a market share analysis applied on a seasonal 
basis. There will be a rebuttable presumption that a Seller lacks 
horizontal market power with respect to sales of operating reserve-
spinning and operating reserve-supplemental services if the Seller 
passes these two indicative market power screens and demonstrates in 
its market-based rate application how the scheduling practices in its 
region support the delivery of operating reserve resources from one 
balancing authority area to another. There will be a rebuttable 
presumption that a Seller possesses horizontal market power with 
respect to sales of energy, capacity, energy imbalance service, 
generation imbalance service, operating reserve-spinning service, 
operating reserve-supplemental service, and primary frequency response 
service if it fails either screen.
* * * * *
[FR Doc. 2015-30140 Filed 11-25-15; 8:45 am]
 BILLING CODE 6717-01-P



                                                                 Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations                                             73965

                                                § 39.13   [Amended]                                     Branch, ANM–116, Transport Airplane                   202–741–6030, or go to: http://
                                                                                                        Directorate, FAA, has the authority to                www.archives.gov/federal-register/cfr/ibr-
                                                ■ 2. The FAA amends § 39.13 by adding
                                                                                                        approve AMOCs for this AD, if requested               locations.html.
                                                the following new airworthiness                         using the procedures found in 14 CFR 39.19.
                                                directive (AD):                                                                                                 Issued in Renton, Washington, on
                                                                                                        In accordance with 14 CFR 39.19, send your
                                                                                                                                                              November 11, 2015.
                                                2015–23–14 Fokker Services B.V.:                        request to your principal inspector or local
                                                                                                        Flight Standards District Office, as                  Michael Kaszycki,
                                                    Amendment 39–18332. Docket No.
                                                    FAA–2014–1048; Directorate Identifier               appropriate. If sending information directly          Acting Manager, Transport Airplane
                                                    2014–NM–055–AD.                                     to the International Branch, send it to ATTN:         Directorate, Aircraft Certification Service.
                                                                                                        Tom Rodriguez, Aerospace Engineer,                    [FR Doc. 2015–29852 Filed 11–25–15; 8:45 am]
                                                (a) Effective Date                                      International Branch, ANM–116, Transport              BILLING CODE 4910–13–P
                                                  This AD becomes effective January 4, 2016.            Airplane Directorate, FAA, 1601 Lind
                                                                                                        Avenue SW., Renton, Washington WA
                                                (b) Affected ADs
                                                                                                        98057–3356; telephone (425) 227–1137; fax
                                                  None.                                                 (425) 227–1149. Information may be emailed            DEPARTMENT OF ENERGY
                                                (c) Applicability                                       to: 9-ANM-116-AMOC-REQUESTS@faa.gov.
                                                                                                        Before using any approved AMOC, notify                Federal Energy Regulatory
                                                   This AD applies to Fokker Services B.V.              your appropriate principal inspector, or              Commission
                                                Model F.28 Mark 0070 and 0100 airplanes,                lacking a principal inspector, the manager of
                                                certificated in any category, all serial                the local flight standards district office/           18 CFR Part 35
                                                numbers.                                                certificate holding district office. The AMOC
                                                                                                        approval letter must specifically reference           [Docket No. RM15–2–000; Order No. 819]
                                                (d) Subject
                                                                                                        this AD.
                                                  Air Transport Association (ATA) of                                                                          Third-Party Provision of Primary
                                                                                                          (2) Contacting the Manufacturer: For any
                                                America Code 53, Fuselage.                                                                                    Frequency Response Service
                                                                                                        requirement in this AD to obtain corrective
                                                (e) Reason                                              actions from a manufacturer, the action must
                                                                                                        be accomplished using a method approved               AGENCY:  Federal Energy Regulatory
                                                   This AD was prompted by reports that                                                                       Commission, Department of Energy.
                                                cracks can occur in the oblique frame 67–2              by the Manager, International Branch, ANM–
                                                in the tail section on certain airplanes. We            116, Transport Airplane Directorate, FAA; or          ACTION: Final rule.
                                                are issuing this AD to detect and correct such          the European Aviation Safety Agency
                                                cracking, which could lead to failure of the            (EASA); or Fokker B.V. Service’s EASA                 SUMMARY:   The Federal Energy
                                                oblique frame 67–2, and consequent loss of              Design Organization Approval (DOA). If                Regulatory Commission (Commission) is
                                                the structural integrity of the tail section.           approved by the DOA, the approval must                revising its regulations to foster
                                                                                                        include the DOA-authorized signature.                 competition in the sale of primary
                                                (f) Compliance
                                                                                                        (j) Related Information                               frequency response service. Specifically,
                                                   Comply with this AD within the                                                                             the Commission amends its regulations
                                                compliance times specified, unless already                 Refer to Mandatory Continuing
                                                                                                        Airworthiness Information (MCAI) EASA                 governing market-based rates for public
                                                done.
                                                                                                        Airworthiness Directive 2014–0039, dated              utilities pursuant to the Federal Power
                                                (g) Inspection and Repair                               February 20, 2014, for related information.           Act (FPA) to permit the sale of primary
                                                   For airplanes that have accumulated more             This MCAI may be found in the AD docket               frequency response service at market-
                                                than 29,000 total flight cycles since the               on the Internet at http://                            based rates by sellers with market-based
                                                airplane’s first flight as of the effective date        www.regulations.gov/                                  rate authority for sales of energy and
                                                of this AD: Within 500 flight cycles or 12              #!documentDetail;D=FAA-2014-1048-0002.                capacity.
                                                months after the effective date of this AD,
                                                                                                        (k) Material Incorporated by Reference                DATES:   This Final Rule will become
                                                whichever occurs first, do a one-time
                                                detailed inspection of the oblique frame 67–               (1) The Director of the Federal Register           effective February 25, 2016.
                                                2 for any cracking, in accordance with the              approved the incorporation by reference               FOR FURTHER INFORMATION CONTACT:
                                                Accomplishment Instructions of Fokker                   (IBR) of the service information listed in this       Rahim Amerkhail (General Information),
                                                Service Bulletin SBF100–53–124, dated                   paragraph under 5 U.S.C. 552(a) and 1 CFR
                                                                                                        part 51.
                                                                                                                                                                 Office of Energy Policy and
                                                January 23, 2014. For the purposes of this                                                                       Innovation, Federal Energy Regulatory
                                                AD, a detailed inspection is an intensive                  (2) You must use this service information
                                                examination of a specific item, installation,           as applicable to do the actions required by              Commission, 888 First Street NE.,
                                                or assembly to detect damage, failure, or               this AD, unless this AD specifies otherwise.             Washington, DC 20426, (202) 502–
                                                irregularity. Available lighting is normally               (i) Fokker Service Bulletin SBF100–53–                8266.
                                                supplemented with a direct source of good               124, dated January 23, 2014.                          Gregory Basheda (Market Power
                                                lighting at an intensity deemed appropriate.               (ii) Fokker Service Bulletin SBF100–53–               Screening Information), Office of
                                                Inspection aids such as mirror, magnifying              125, Revision 1, dated February 13, 2014.                Energy Market Regulation, Federal
                                                lenses, etc., may be necessary. Surface                    (3) For service information identified in             Energy Regulatory Commission, 888
                                                cleaning and elaborate procedures may be                this AD, contact Fokker Services B.V.,
                                                                                                        Technical Services Dept., P.O. Box 1357,
                                                                                                                                                                 First Street NE., Washington, DC
                                                required.                                                                                                        20426, (202) 502–6479.
                                                                                                        2130 EL Hoofddorp, the Netherlands;
                                                (h) Corrective Action                                   telephone +31 (0)88–6280–350; fax +31                 Lina Naik (Legal Information), Office of
                                                   If any cracking is found during the                  (0)88–6280–111; email technicalservices@                 the General Counsel, Federal Energy
                                                inspection required by paragraph (g) of this            fokker.com; Internet http://                             Regulatory Commission, 888 First
                                                AD, before further flight, repair the oblique           www.myfokkerfleet.com.                                   Street NE., Washington, DC 20426,
                                                frame 67–2, in accordance with the                         (4) You may view this service information             (202) 502–8882.
                                                Accomplishment Instructions of Fokker                   at the FAA, Transport Airplane Directorate,
                                                                                                                                                              SUPPLEMENTARY INFORMATION:
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                                                Service Bulletin SBF100–53–125, Revision 1,             1601 Lind Avenue SW., Renton, WA. For
                                                dated February 13, 2014.                                information on the availability of this               Order No. 819
                                                                                                        material at the FAA, call 425–227–1221.
                                                (i) Other FAA AD Provisions                                (5) You may view this service information          Final Rule
                                                   The following provisions also apply to this          that is incorporated by reference at the              (Issued November 20, 2015)
                                                AD:                                                     National Archives and Records
                                                   (1) Alternative Methods of Compliance                Administration (NARA). For information on               1. The Federal Energy Regulatory
                                                (AMOCs): The Manager, International                     the availability of this material at NARA, call       Commission (Commission) is revising


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                                                73966             Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations

                                                its regulations to foster competition in                   the Commission only allowed market-                     category, the Commission reasoned that
                                                the sale of primary frequency response                     based rate sales of Schedule 2 and                      the transmission provider is not always
                                                service.1 Specifically, the Commission                     Schedule 3 services to a public utility                 uniquely qualified to provide the
                                                amends its regulations to revise Subpart                   that is purchasing ancillary services to                services, and customers may be able to
                                                H to Part 35 of Title 18 of the Code of                    satisfy its OATT requirements if either:                more cost-effectively self-supply them
                                                Federal Regulations governing market-                      (a) The sale is made pursuant to a                      or procure them from other entities. The
                                                based rates for public utilities pursuant                  competitive solicitation that meets                     Commission contemplated that third
                                                to sections 205 and 206 of the Federal                     certain specified requirements; or (b) the              parties (i.e., parties other than a
                                                Power Act (FPA) 2 to permit the sale of                    sale is made at or below the buying                     transmission provider supplying
                                                primary frequency response service at                      public utility transmission provider’s                  ancillary services pursuant to its OATT
                                                market-based rates by sellers with                         own Schedule 2 or 3 rate, as applicable.                obligation) could provide these ancillary
                                                market-based rate authority for sales of                   The Commission further stated its                       services on other than a cost-of-service
                                                energy and capacity.                                       intention to gather more information                    basis if such pricing was supported, on
                                                   2. This proceeding derives from Order                   regarding the technical, economic and                   a case-by-case basis, by analyses that
                                                No. 784,3 in which the Commission                          market issues concerning the provision                  demonstrated that the seller lacks
                                                revised Part 35 of its regulations to                      of these services in a separate                         market power in the relevant product
                                                reflect reforms to its Avista policy 4                     proceeding.                                             market.11
                                                governing the sale of certain ancillary                       4. Commission staff held a workshop                     6. Subsequently, in Avista,12 the
                                                services at market-based rates to public                   on April 22, 2014 in this proceeding and                Commission adopted a policy allowing
                                                utility transmission providers.                            then issued a notice of proposed                        third-party ancillary service providers
                                                Specifically, Order No. 784 found that                     rulemaking that distinguished between                   that could not perform a market power
                                                when appropriate intra-hour                                regulation service and primary                          study to sell certain ancillary services at
                                                transmission scheduling practices are in                   frequency response service, and                         market-based rates with certain
                                                place, the Avista restrictions need not                    proposed to allow sales of primary                      restrictions.13
                                                apply to the sale of Energy Imbalance,                     frequency response service at market-                      7. As noted earlier, the instant
                                                Generator Imbalance, Operating                             based rates by entities granted market-                 proceeding derives from Order No. 784
                                                Reserve-Spinning and Operating                             based rate authority for sales of energy                in which the Commission found that
                                                Reserve-Supplemental services, because                     and capacity.7 In response to the NOPR,                 when appropriate intra-hour
                                                with those scheduling practices in place                   19 sets of comments were submitted.                     transmission scheduling practices are in
                                                the existing market power screens for                      I. Background                                           place, the Avista restrictions need not
                                                sales of energy and capacity can also be                                                                           apply to the sale of Energy Imbalance,
                                                applied to sales of those ancillary                           5. The Commission in Order No. 888 8                 Generator Imbalance, Operating
                                                services.5                                                 delineated two categories of ancillary                  Reserve-Spinning and Operating
                                                   3. However, because of the unique                       services: Those that the transmission                   Reserve-Supplemental services, because
                                                technical and geographic requirements                      provider is required to provide to all of               with those practices in place, the results
                                                associated with Reactive Supply and                        its basic transmission customers 9 and                  of the existing market power screens for
                                                Voltage Control (under OATT Schedule                       those that the transmission provider is                 sales of energy and capacity can also be
                                                2) and Regulation and Frequency                            only required to offer to provide to                    applied to sales of these ancillary
                                                Response (under OATT Schedule 3),6                         transmission customers serving load in                  services.14
                                                                                                           the transmission provider’s control
                                                   1 As described in more detail below, this Final         area.10 With respect to the second                      Transmission Service, Order No. 890, FERC Stats.
                                                Rule defines primary frequency response service as                                                                 & Regs. ¶ 31,241, at P 85, order on reh’g, Order No.
                                                a resource standing by to provide autonomous, pre-         provide autonomous, pre-programmed changes in           890–A, FERC Stats. & Regs. ¶ 31,261 (2007), order
                                                programmed changes in output to rapidly arrest             output to rapidly arrest large changes in frequency     on reh’g, Order No. 890–B, 123 FERC ¶ 61,299
                                                large changes in frequency until dispatched                until dispatched resources can take over while          (2008), order on reh’g, Order No. 890–C, 126 FERC
                                                resources can take over.                                   regulation service is centrally dispatched through      ¶ 61,228 (2009), order on clarification, Order No.
                                                   2 16 U.S.C. 824d, 824e (2012).                                                                                  890–D, 129 FERC ¶ 61,126 (2009).
                                                                                                           automatic generation control (AGC) and is not
                                                   3 Third-Party Provision of Ancillary Services;          focused exclusively on frequency control.                 11 Order No. 888, FERC Stats. & Regs. ¶ 31,036 at

                                                Accounting and Financial Reporting for New                   7 Third-Party Provision of Primary Frequency          31,720–21.
                                                Electric Storage Technologies, Order No. 784, 78 FR        Response Service, Notice of Proposed Rulemaking           12 See supra n.4.
                                                46,178 (July 30, 2013), FERC Stats. & Regs. ¶ 31,349       (NOPR), 80 FR 10,426 (Feb. 26, 2015), FERC Stats.         13 These ancillary services included: Regulation
                                                (2013).                                                    & Regs. ¶ 32,705 (2015).                                and Frequency Response, Energy Imbalance,
                                                   4 Avista Corp., 87 FERC ¶ 61,223, order on reh’g,         8 See Promoting Wholesale Competition Through
                                                                                                                                                                   Operating Reserve-Spinning, and Operating
                                                89 FERC ¶ 61,136 (1999) (Avista). Outside the              Open Access Non-Discriminatory Transmission             Reserve-Supplemental. The Commission did not
                                                markets operated by regional transmission                  Services by Public Utilities; Recovery of Stranded      extend this Avista policy to Reactive Supply and
                                                organizations and independent system operators,            Costs by Public Utilities and Transmitting Utilities,   Voltage Control from Generation Sources service,
                                                Avista authorizes suppliers who cannot show a lack         Order No. 888, FERC Stats. & Regs. ¶ 31,036 (1996),     which means that third parties wishing to sell this
                                                of market power with respect to certain ancillary          order on reh’g, Order No. 888–A, FERC Stats. &          ancillary service at market-based rates would be
                                                services to nevertheless sell such services, subject       Regs. ¶ 31,048, order on reh’g, Order No. 888–B, 81     required to present specific evidence of a lack of
                                                to certain restrictions. As relevant to this Final         FERC ¶ 61,248 (1997), order on reh’g, Order No.         market power in the provision of this specific
                                                Rule, these restrictions prohibit sales to a public        888–C, 82 FERC ¶ 61,046 (1998), aff’d in relevant       product before the Commission would authorize
                                                utility that is purchasing ancillary services to satisfy   part sub nom. Transmission Access Policy Study          sales of this service at market-based rates. The
                                                its own Open Access Transmission Tariff (OATT)             Group v. FERC, 225 F.3d 667 (D.C. Cir. 2000), aff’d     Commission also did not extend the Avista policy
                                                requirements to offer ancillary services to its own        sub nom. New York v. FERC, 535 U.S. 1 (2002).           to Scheduling, System Control and Dispatch
                                                customers, or sales to a traditional, franchised             9 The first category consists of Scheduling,          service. Because only balancing area operators can
                                                public utility affiliated with the third-party seller,     System Control and Dispatch service and Reactive        provide this ancillary service, it does not lend itself
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                                                or where the underlying transmission service is on         Supply and Voltage Control from Generation              to competitive supply. Order No. 784, FERC Stats.
                                                the transmission system of the affiliated public           Sources service.                                        & Regs. ¶ 31,349 at n.17.
                                                utility.                                                     10 The second category consists of Regulation and       14 Because energy and generator imbalance
                                                   5 Order No. 784, FERC Stats. & Regs. ¶ 31,349 at
                                                                                                           Frequency Response service, Energy Imbalance            services merely require the ability to respond to
                                                P 4, PP 57–58.                                             service, Operating Reserve-Spinning service, and        dispatch within the hour, the Commission found
                                                   6 Id. PP 59–61. Although the title of Schedule 3        Operating Reserve-Supplemental service. Order No.       that any sub-hourly transmission scheduling
                                                addresses both frequency response and regulation,          890 later added an additional ancillary service to      interval would be sufficient. Order No. 784–A, 146
                                                the two services are distinct from each other.             this category: Generator Imbalance service. See         FERC ¶ 61,114 at P 12 (2012). As the operating
                                                Frequency response is a resource standing by to            Preventing Undue Discrimination and Preference in       reserve services require more rapid response within



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                                                                 Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations                                           73967

                                                   8. However, the Commission also                      based rate sales of such a product are                    various issues. Meanwhile, the limited
                                                found in Order No. 784 that the record                  feasible.20                                               set of adverse comments fall into two
                                                developed to that point did not support                    10. Separately, the Commission on                      broad categories: (1) Comments seeking
                                                expanding these market-based rate                       January 16, 2014 issued a Final Rule                      to contest the technical arguments
                                                authorizations to include sales of                      approving reliability standard BAL–                       regarding market power relied upon by
                                                Reactive Supply and Voltage Control                     003–1 21 under which a balancing                          the NOPR; and (2) comments that do not
                                                (under OATT Schedule 2) (Schedule 2                     authority 22 must maintain a minimum                      relate to market power screening but
                                                service) and Regulation and Frequency                   frequency response obligation.23 While                    rather relate to various aspects of the
                                                Response (under OATT Schedule 3)                        most balancing authorities should be
                                                                                                                                                                  implementation of actual primary
                                                services (Schedule 3 service).15 Instead,               able to meet the new reliability standard
                                                                                                                                                                  frequency response transactions.
                                                the Commission allowed market-based                     using their own resources,24 some may
                                                rate sales of Schedule 2 and Schedule 3                 nevertheless be interested in purchasing                     13. For the reasons described more
                                                services to a public utility that is                    primary frequency response service                        fully below, the Commission finds that
                                                purchasing ancillary services to satisfy                from others if doing so would be                          it is appropriate to finalize the NOPR
                                                its OATT requirements, provided the                     economically beneficial.                                  proposal to permit voluntary sales of
                                                sale is made pursuant to a competitive                     11. Based upon information received                    primary frequency response service at
                                                                                                        at the workshop and in the                                market-based rates for entities granted
                                                solicitation that meets certain specified
                                                                                                        subsequently-filed 11 written                             market-based rate authority for sales of
                                                requirements 16 or the sale is made at or
                                                                                                        comments, the Commission issued a                         energy and capacity. We also address
                                                below the buying public utility
                                                                                                        NOPR that differentiated between                          various requests for clarification, as
                                                transmission provider’s own Schedule 2
                                                                                                        regulation service and primary                            discussed more fully below. We
                                                or 3 rate, as applicable.17 The
                                                                                                        frequency response service, analyzed                      emphasize that this Final Rule does not
                                                Commission further stated its intention                 the technical characteristics of primary
                                                to gather more information regarding the                                                                          place any limits on the types of
                                                                                                        frequency response service to show why
                                                technical, economic and market issues                                                                             transactions available to procure
                                                                                                        the existing market power screens for
                                                concerning the provision of these                       sales of energy and capacity could be                     primary frequency response service;
                                                services in a separate proceeding that                  used to show lack of market power for                     they may be cost-based or market-based,
                                                considers, among other things, the ease                 sales of primary frequency response as                    bundled with other services or
                                                and cost-effectiveness of relevant                      well, and therefore proposed to allow                     unbundled as discussed further below,
                                                equipment upgrades, the need for and                    sales of primary frequency response                       and inside or outside of organized
                                                availability of appropriate special                     service at market-based rates by entities                 markets. This Final Rule focuses solely
                                                arrangements such as dynamic                            granted market-based rate authority for                   on how jurisdictional entities can
                                                scheduling or pseudo-tie arrangements,                  sales of energy and capacity.25 The                       qualify for market-based rates for
                                                and other technical requirements related                NOPR sought comment on all aspects of                     primary frequency response service in
                                                to the provision of Schedule 2 and                      this proposal.26                                          the context of voluntary bilateral sales.
                                                Schedule 3 services.18                                     12. Most of the 19 sets of comments
                                                   9. Pursuant to that directive,                       submitted in response to the NOPR are                     II. Discussion
                                                Commission staff held a workshop on                     supportive of the proposal, with some                        14. In the NOPR in this proceeding,
                                                April 22, 2014 to obtain input from                     commenters seeking clarification of
                                                                                                                                                                  the Commission proposed to define
                                                interested persons regarding the                                                                                  primary frequency response service as
                                                                                                           20 For example, most commenters echo Edison
                                                technical, economic and market issues                                                                             the ‘‘autonomous, automatic, and rapid
                                                                                                        Electric Institute’s (EEI) arguments that virtually all
                                                concerning the provision of Schedule 2                  generators can provide primary frequency response,        action of a generator, or other resource,
                                                and Schedule 3 services.19 Among other                  and because it is provided at the interconnection         to change its output (within seconds) to
                                                things, the workshop explored issues                    level, balancing authority areas have more
                                                                                                        flexibility on the location of the resource than they     rapidly dampen large changes in
                                                surrounding the sale of these services at
                                                market-based rates. Comments                            would for other products. See, e.g., Edison Electric      frequency.’’ 27 Elsewhere in the NOPR,
                                                                                                        Institute Post-Workshop Comments, Docket No.              the Commission discussed the idea that
                                                submitted in response to the workshop                   AD14–7–000, at 7–8 (filed June 3, 2014).
                                                that discussed the characteristics                         21 Reliability standards proposed by the North
                                                                                                                                                                  individual autonomous responses to
                                                associated with a primary frequency                     American Electric Reliability Corporation (NERC)          large changes in frequency will be of
                                                response product indicated that market-                 are subject to the Commission’s jurisdiction under        short duration, sustained only until
                                                                                                        section 215 of the Federal Power Act. 16 U.S.C.           dispatched regulation or operating
                                                                                                        824o(d). The Commission has authority to approve
                                                the hour (spinning reserves must be available           or reject such standards, and to enforce those that       reserve resources begin responding.28
                                                immediately and supplemental reserves must be           are approved.                                             As there are aspects of both statements
                                                available within a short period of time), the              22 The NERC Glossary defines a balancing
                                                                                                                                                                  that are important to properly defining
                                                Commission required potential sellers of operating      authority as ‘‘(t)he responsible entity that integrates
                                                reserve services to satisfactorily explain, in their
                                                                                                                                                                  this product, in this Final Rule the
                                                                                                        resource plans ahead of time, maintains load-
                                                market-based rate applications, how the particular      interchange-generation balance within a Balancing         Commission will refine and clarify the
                                                intra-hour transmission scheduling practices or         Authority Area, and supports Interconnection              NOPR’s definition to state that primary
                                                other protocols in their regions permit resources in    frequency in real time.’’ See http://www.nerc.com/        frequency response service is defined as
                                                one balancing authority area to respond to              pa/Stand/Glossary%20of%20Terms/Glossary_of_
                                                contingencies in a neighboring balancing authority      Terms.pdf.                                                a resource standing by to provide
                                                area within these tight time frames. Order No. 784–        23 See Frequency Response and Frequency Bias           autonomous, pre-programmed changes
                                                A, 146 FERC ¶ 61,114 at PP 13–15.                       Setting Reliability Standard, Order No. 794, 146          in output to rapidly arrest large changes
                                                  15 Order No. 784, FERC Stats. & Regs. ¶ 31,349 at
                                                                                                        FERC ¶ 61,024 (2014).
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                                                PP 59–61.                                                  24 Id. PP 62–63.
                                                                                                                                                                  in frequency until dispatched resources
                                                  16 Id. PP 99–101.                                        25 NOPR, FERC Stats. & Regs. ¶ 32,705 (2015).
                                                                                                                                                                  can take over.
                                                  17 Id. PP 82–85.
                                                                                                        With respect to the remainder of the issues
                                                  18 Id. P 61.                                          discussed in the workshop and associated written
                                                  19 See Third-Party Provision of Reactive Supply       comments, the Commission did not see sufficient
                                                and Voltage Control and Regulation and Frequency        evidence to pursue generic reforms through this
                                                                                                                                                                   27 Id.   P 12.
                                                Response Services, Final Agenda, Docket No.             rulemaking proceeding. Id. P 10.
                                                AD14–7–000 (Apr. 22, 2014).                                26 Id. P 30.                                            28 Id.   P 24.



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                                                73968            Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations

                                                A. Technical Issues Related to the                      power.36 In the alternative, a seller may               ability to dampen harmful changes in
                                                Application of Existing Market Power                    accept the presumption of horizontal                    interconnection-wide frequency, the
                                                Screens to Primary Frequency Response                   market power and adopt some form of                     geographic market for market power
                                                Service                                                 cost-based mitigation.37                                analysis of a primary frequency
                                                                                                           17. Three of the key components of                   response product could be the entire
                                                1. Geographic Market and the Impact of                  the analysis of horizontal market power                 interconnection within which the buyer
                                                Resource Distance                                       are the definition of products, the                     resides, and in any event would be no
                                                  15. The Commission analyzes                           determination of appropriate geographic                 smaller than the geographic market
                                                horizontal market power for market-                     scope of the relevant market for each                   represented in the existing market
                                                                                                        product, and the identification of the                  power screens; 40 i.e., the home
                                                based sales of energy and capacity 29
                                                                                                        uncommitted generation supply within                    balancing authority area of the seller
                                                using two indicative screens, the
                                                                                                        the relevant geographic market. In Order                plus first-tier balancing authority areas
                                                wholesale market share screen and the
                                                                                                        No. 697, the Commission adopted a                       or the RTO/ISO market if applicable.
                                                pivotal supplier screen, to identify
                                                                                                        default relevant geographic market for                  The Commission therefore proposed to
                                                sellers that raise no horizontal market
                                                                                                        sales of energy and capacity.38                         apply the existing market power screens
                                                power concerns and can otherwise be
                                                                                                        Specifically, the Commission generally                  used for energy and capacity sales,
                                                considered for market-based rate
                                                                                                        uses a seller’s balancing authority area                without modification as to geographic
                                                authority.30 The wholesale market share
                                                                                                        plus directly interconnected (first-tier)               market, to sales of primary frequency
                                                screen measures whether a seller has a                                                                          response service.
                                                dominant position in the relevant                       balancing authority areas, or uses the
                                                                                                        Regional Transmission Organization                         19. Most commenters either express
                                                geographic market in terms of the                                                                               specific support for this finding,41 or are
                                                number of megawatts of uncommitted                      (RTO) or Independent System Operator
                                                                                                        (ISO) market if applicable, as the default              silent on the issue.42 However,
                                                capacity owned or controlled by the                                                                             American Public Power Association, the
                                                seller, as compared to the uncommitted                  relevant geographic market. However,
                                                                                                        where the Commission has made a                         National Rural Electric Cooperative
                                                capacity of the entire market.31 A seller                                                                       Association, and the Transmission
                                                whose share of the relevant market is                   specific finding that there is a
                                                                                                        submarket within an RTO/ISO, that                       Access Policy Study Group (together,
                                                less than 20 percent during all seasons                                                                         TAPS), PJM Interconnection, L.L.C.
                                                passes the wholesale market share                       submarket becomes the default relevant
                                                                                                        geographic market for sellers located                   (PJM), and Midcontinent Independent
                                                screen.32 The pivotal supplier screen                                                                           System Operator, Inc. (MISO) raise
                                                evaluates the seller’s potential to                     within the submarket for purposes of
                                                                                                        the market-based rate analysis. The                     limited, technical concerns regarding
                                                exercise horizontal market power based                                                                          this finding.
                                                on the seller’s uncommitted capacity at                 Commission also provided guidance as
                                                                                                        to the factors the Commission will                         20. TAPS argues that while remote
                                                the time of annual peak demand in the                                                                           generators may be capable of
                                                relevant market.33 A seller satisfies the               consider in evaluating whether, in a
                                                                                                                                                                responding, there is reason to be
                                                pivotal supplier screen if its                          particular case, to adopt an alternative
                                                                                                                                                                concerned that frequency response from
                                                uncommitted capacity is less than the                   larger or smaller geographic market
                                                                                                                                                                a distant generator would be less
                                                net uncommitted supply in the relevant                  instead of relying on the default
                                                                                                                                                                effective than frequency response from
                                                market.34                                               geographic market.39
                                                                                                                                                                a nearby generator, and that this alleged
                                                                                                           18. The Commission stated in the
                                                  16. Passing both the wholesale market                                                                         impact of distance would upset the
                                                                                                        NOPR that, because primary frequency
                                                share screen and the pivotal supplier                                                                           Commission’s proposal to rely on the
                                                                                                        response service can be effectively
                                                screen creates a rebuttable presumption                                                                         existing market-based rate screens used
                                                                                                        supplied by any resource throughout an
                                                that the seller does not possess                                                                                for energy and capacity sales to ensure
                                                                                                        interconnection and have the same                       that sellers of primary frequency
                                                horizontal market power; failing either
                                                screen creates a rebuttable presumption                    36 18 CFR 35.37(c)(2) (2015). For purposes of
                                                                                                                                                                response service lack market power
                                                that the seller possesses horizontal                    rebutting the presumption of horizontal market          when making sales to public utility
                                                market power.35 A seller that fails one                 power, sellers may use the results of the delivered     transmission providers.43
                                                of the screens may present evidence,                    price test to perform pivotal supplier and market          21. PJM similarly asserts, without
                                                                                                        share analyses and market concentration analyses        elaboration, that questions remain as to
                                                such as a delivered price test, to rebut                using the Herfindahl-Hirschman Index (HHI). The
                                                the presumption of horizontal market                    HHI is a widely accepted measure of market
                                                                                                                                                                whether there is sufficient
                                                                                                        concentration, calculated by squaring the market        substitutability of units across the
                                                  29 See
                                                                                                        share of each firm competing in the market and          Eastern Interconnection so as to support
                                                          18 CFR 35.37(b) (2015).                       summing the results. The Commission has stated
                                                  30 See  Market-Based Rates for Wholesale Sales of
                                                                                                                                                                the conclusion that market power issues
                                                                                                        that a showing of an HHI less than 2,500 in the
                                                Electric Energy, Capacity and Ancillary Services by     relevant market for all season/load periods for
                                                                                                                                                                are of limited concern in the provision
                                                Public Utilities, Order No. 697, FERC Stats. & Regs.    sellers that have also shown that they are not          of primary frequency response. PJM also
                                                ¶ 31,252 at PP 13, 62, clarified, 121 FERC ¶ 61,260     pivotal and do not possess a market share of 20         asserts that the kind of communications
                                                (2007), order on reh’g, Order No. 697–A, FERC           percent or greater in any of the season/load periods    infrastructure, protocols, and
                                                Stats. & Regs. ¶ 31,268, clarified, 124 FERC ¶          would constitute a showing of a lack of horizontal
                                                61,055, order on reh’g, Order No. 697–B, FERC                                                                   compensation policies necessary to
                                                                                                        market power, absent compelling contrary evidence
                                                Stats. & Regs. ¶ 31,285 (2008), order on reh’g, Order   from intervenors. Order No. 697, FERC Stats. &          permit PJM to obtain primary frequency
                                                No. 697–C, FERC Stats. & Regs. ¶ 31,291 (2009),         Regs. ¶ 31,252 at P 111.
                                                order on reh’g, Order No. 697–D, FERC Stats. &             37 18 CFR 35.37(c)(3) (2015).                          40 NOPR,   FERC Stats. & Regs. ¶ 32,705 at P 23.
                                                Regs. ¶ 31,305 (2010), aff’d sub nom. Mont.                                                                       41 See,
                                                                                                           38 Order No. 697, FERC Stats. & Regs. ¶ 31,252 at              e.g., American Wind Energy Association
                                                Consumer Counsel v. FERC, 659 F.3d 910 (9th Cir.                                                                (AWEA) at 6; Calpine Corporation (Calpine) at 5;
                                                                                                        P 15.
                                                2011), cert. denied, 133 S. Ct. 26 (2012). See also
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                                                                                                           39 A necessary condition that must be satisfied to   EEI at 2; Electricity Consumers Resources Council
                                                18 CFR 35.37(b), (c)(1) (2015).                                                                                 (ELCON) at 3.
                                                  31 Order No. 697, FERC Stats. & Regs. ¶ 31,252 at     justify an alternative market is a demonstration
                                                                                                                                                                   42 See Dominion Resources Services, Inc.
                                                                                                        regarding whether there are frequently binding
                                                P 43.                                                                                                           (Dominion) at 2; Duke Energy Corporation (Duke)
                                                  32 Id. PP 43–44, 80, 89.
                                                                                                        transmission constraints during historical peak
                                                                                                        seasons examined in the screens and at other            at 3; Electric Power Supply Association (EPSA) at
                                                  33 18 CFR 35.37(c)(1) (2015).
                                                                                                        competitively significant times that prevent            3; Energy Storage Association (ESA) at 1; Idaho
                                                  34 Order No. 697, FERC Stats. & Regs. ¶ 31,252 at                                                             Power Company (Idaho Power) at 2; Public Interest
                                                                                                        competing supply from reaching customers within
                                                P 42.                                                   the proposed alternative geographic market. Id. P       Organizations at 2.
                                                  35 18 CFR 35.37(c)(1) (2015).                         268.                                                       43 TAPS at 5–6.




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                                                                 Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations                                                 73969

                                                response from resources outside of its                  as described below, but even where we                 of primary frequency response service.
                                                market do not yet exist.44                              partially agree, this would not impact                Accordingly, this argument does not
                                                   22. MISO argues that, while the NOPR                 the NOPR proposal regarding market                    invalidate the NOPR proposal regarding
                                                is correct that any resource anywhere in                power screening.                                      market power screening for sellers of
                                                an interconnection can help stabilize                      26. With respect to communications                 primary frequency response service.
                                                the frequency of that interconnection                   protocols, the Commission agrees that in
                                                                                                        order to effectuate actual voluntary                  2. Need for Transmission Reservation
                                                following a load or resource loss, there
                                                                                                        primary frequency response                            and Scheduling
                                                may be negative reliability impacts
                                                caused by flows to very remote                          transactions, it may be necessary to                     29. With respect to potential barriers
                                                locations, particularly if there are weak               further develop or refine existing                    related to transmission scheduling or
                                                or transmission-limited interfaces.45                   communications protocols, as more                     reservation, the Commission stated in
                                                                                                        detailed data may be needed for                       the NOPR that primary frequency
                                                Commission Determination                                purposes of verifying primary frequency               response service should not require any
                                                   23. We adopt the NOPR proposal to                    response activity than for other                      transmission reservation or scheduling,
                                                apply the existing market power screens                 activities. However, this refinement                  because by definition individual
                                                used for energy and capacity sales,                     should not pose such a fundamental                    frequency responses would not be
                                                without modification as to geographic                   barrier to sales of primary frequency                 sustained for long enough periods to
                                                market, to sales of primary frequency                   response service from one balancing                   trigger a need for transmission service or
                                                response service. With respect to                       authority area to another that it calls               schedule changes. Rather, such
                                                TAPS’s arguments, the Commission                        into question the default geographic                  individual primary frequency responses
                                                finds that the delay in sensing a change                market of the existing market power                   should be rapidly replaced by resources
                                                in frequency associated with resource                   screens. This is because, as will be                  centrally dispatched by the relevant
                                                distance does not undermine the                         discussed further below, there are                    balancing authority.48
                                                NOPR’s proposal to rely upon the                        existing information sharing systems
                                                                                                        and protocols that should be able to                     30. Most commenters either
                                                default geographic market reflected in                                                                        specifically agree that transmission
                                                the existing market power screens for                   accommodate the more detailed
                                                                                                        information associated with primary                   scheduling and reservation should not
                                                sales of energy and capacity; i.e., the                                                                       be necessary in connection with the
                                                home balancing authority area of the                    frequency response transactions without
                                                                                                        requiring an unreasonable amount of                   temporary, autonomous changes in
                                                seller plus first-tier balancing authority                                                                    output associated with primary
                                                areas or the RTO/ISO market if                          effort from affected parties. Hence, for
                                                                                                        market power screening purposes,                      frequency response service,49 or remain
                                                applicable. While TAPS is correct that                                                                        silent on the issue. However, EEI asserts
                                                a resource located far across an                        resources in first-tier balancing
                                                                                                        authority areas should remain viable                  that transmission reservation or
                                                interconnection from the site of a                                                                            scheduling may be needed in some
                                                contingency event should sense the                      competitors to supply primary
                                                                                                        frequency response to the home                        cases. According to EEI, the duration of
                                                resulting change in frequency later than                                                                      primary frequency response products
                                                would a closer resource, studies of this                balancing authority area.
                                                                                                           27. With respect to compensation                   could range from a minute or two to
                                                issue 46 indicate that this delay would                                                                       supplement a response for only large
                                                be within the NOPR’s product definition                 policies, the Commission disagrees with
                                                                                                        PJM that compensation policies                        events, to an unbounded number of
                                                that requires primary frequency                                                                               minutes for as long as frequency
                                                response resources to change their                      necessary to support this Final Rule do
                                                                                                        not yet exist. As will be further                     remains beyond a given frequency
                                                output within seconds in response to a                                                                        deadband. In the case of longer
                                                large change in frequency.47                            discussed below, this Final Rule does
                                                                                                        not require development of organized                  durations, according to EEI,
                                                   24. With respect to PJM’s assertion
                                                                                                        markets for primary frequency response                transmission providers may have to
                                                that questions remain as to the
                                                                                                        service, but rather is focused on                     assess the potential transmission impact
                                                substitutability of units across the
                                                                                                        voluntary bilateral sales of primary                  of third-party resources providing
                                                Eastern Interconnection, PJM has not
                                                                                                        frequency response at market-based                    primary frequency response through
                                                explained what those questions may be,
                                                                                                        rates. In bilateral markets, compensation             their service territory for extended
                                                and in any event the NOPR does not
                                                                                                        would be negotiated between the buyer                 periods of time.50 Duke makes similar
                                                propose to test market power based on
                                                                                                        and the seller pursuant to the seller’s               arguments.51
                                                an interconnection-wide geographic
                                                market.                                                 market-based rate authority. As such,                    31. Similarly, TAPS argues that the
                                                   25. With respect to PJM’s argument                   bilateral transactions will be strictly               Commission did not adequately
                                                that the kind of communications                         voluntary and the buyer will                          examine in the NOPR the implications
                                                infrastructure, protocols, and                          presumably only agree to them if it sees              of remote provision of primary
                                                compensation policies necessary to                      an economic reason to do so. Therefore,               frequency response on transmission
                                                permit PJM to obtain primary frequency                  no further compensation policies are                  availability and co-optimization of
                                                                                                        necessary in connection with this Final               energy and ancillary services. TAPS
                                                response from resources outside of its
                                                                                                        Rule.                                                 argues the Commission should provide
                                                market do not yet exist, the Commission
                                                                                                           28. Finally, MISO argues that there                additional analysis of how remote
                                                partially agrees and partially disagrees                may be negative reliability impacts                   supply of frequency response service
                                                  44 PJM
                                                                                                        caused by flows to very remote                        will affect transmission reserve margin
                                                          at 4.
                                                                                                        locations, particularly if there are weak             and available transfer capability, how
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                                                  45 MISO   at 5.
                                                  46 See, e.g., http://fnetpublic.utk.edu/              or transmission-limited interfaces. The               the associated costs are borne, and
                                                eventsamples/20110823175058_E.jpg. See also,            Commission agrees but sees this as a                  whether this will have adverse
                                                John Undrill, Power and Frequency Control as it         practical consideration relevant to
                                                Relates to Wind-Powered Generation (2010),              particular bilateral transactions rather                48 NOPR,   FERC Stats. & Regs. ¶ 32,705 at P 24.
                                                available at http://www.ferc.gov/CalendarFiles/
                                                20110120114503-Power-and-Frequency-                     than a universal issue that invalidates                 49 See, e.g., AWEA at 6; ELCON at 3; MISO at 1.
                                                Control.pdf.                                            the use of existing market power screens                50 EEI at 8.
                                                  47 NOPR, FERC Stats. & Regs. ¶ 32,705 at P 12.        to show lack of market power for sales                  51 Duke at 7–8.




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                                                73970            Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations

                                                consequences for market efficiency,                     Order No. 888, reservation by itself does             decides to purchase primary frequency
                                                particularly in RTOs.52                                 not present any undue barrier to                      response service, it will only do so if the
                                                                                                        participation. Indeed, all other ancillary            RTO or ISO can address its and its
                                                Commission Determination
                                                                                                        service transactions, at least in bilateral           stakeholders’ concerns as to the impact
                                                   32. The Commission continues to                      markets, are expected to include needed               on its co-optimized markets.
                                                believe that transmission reservation                   transmission reservation.                             Furthermore, if such purchases require
                                                and scheduling will not create a barrier                   34. With respect to TAPS’s argument,               any tariff modifications, the RTO or ISO
                                                to sales of frequency response within an                the Commission agrees that                            would also need to submit a filing to the
                                                interconnection. While the Commission                   transmission providers may in some                    Commission for its review addressing
                                                concedes that in some cases                             cases need to set aside additional                    such issues. Accordingly, in the context
                                                transmission capacity may need to be                    transmission capacity to support                      of this Final Rule focusing on market
                                                reserved to support a sale of primary                   particular sales of primary frequency                 power screens, these concerns are
                                                frequency,53 we continue to believe that                response from remote resources.                       premature and beyond the scope.
                                                in the vast majority of cases the sale of               However, the possibility that particular
                                                primary frequency response service                      transactions involving remote resources               B. Requests for Clarification
                                                should not require any transmission                     may require additional transmission                   1. Purchases Required or Optional
                                                reservation or scheduling because, by                   capacity to be set aside does not                        36. A variety of entities request
                                                definition, individual frequency                        undermine the NOPR proposal to grant
                                                responses would not be sustained for                                                                          clarification that this Final Rule does
                                                                                                        market-based rate authority for
                                                long enough periods to trigger a need for                                                                     not require purchases of primary
                                                                                                        voluntary sales of primary frequency
                                                transmission service or schedule                                                                              frequency response or the development
                                                                                                        response to entities that pass the
                                                changes. With respect to EEI’s                                                                                of organized markets for primary
                                                                                                        existing market power screens for sales
                                                arguments, the Commission disagrees                                                                           frequency response.55 At the other end
                                                                                                        of energy and capacity. These screens
                                                that primary frequency response, as                                                                           of the spectrum, Calpine argues that
                                                                                                        already limit consideration of imports
                                                defined in this Final Rule, could last for                                                                    RTOs and ISOs should be given a
                                                                                                        from first-tier balancing authority areas
                                                an unbounded number of minutes. By                                                                            deadline to develop tariff changes that
                                                                                                        based on simultaneous transmission
                                                the definition of primary frequency                                                                           would enable them to implement
                                                                                                        import limits as a way to test market
                                                response provided in this Final Rule,                                                                         primary frequency response
                                                                                                        power under realistic conditions based
                                                individual primary frequency responses                  on a reasonable simulation of historical              compensation mechanisms.56
                                                shall be short, lasting only until                                                                               37. The Commission grants the
                                                                                                        conditions.54 No further consideration
                                                dispatched resources can take over.                                                                           requests to clarify that this Final Rule
                                                                                                        of transmission impacts is necessary to
                                                Thus, even if a deviation from target                                                                         does not require any entity to purchase
                                                                                                        test for seller market power. Analysis of
                                                frequency lasts longer than the typical                                                                       primary frequency response from third
                                                                                                        (1) how remote supply of primary
                                                short responses envisioned by our                                                                             parties or to develop an organized
                                                                                                        frequency response service in particular
                                                primary frequency response product                                                                            market for primary frequency response.
                                                                                                        transactions might affect transmission
                                                definition, this does not necessarily                                                                         This Final Rule is limited to issues
                                                                                                        reserve margin and available transfer
                                                mean that a particular resource that                    capability; (2) how the associated costs              associated with market power screening
                                                continues to respond to that deviation is               would be borne; or (3) whether this                   for voluntary bilateral sellers of primary
                                                doing so through extended periods of                    might have adverse consequences for                   frequency response service. In light of
                                                primary frequency response service as                   market efficiency are concerns that are               this clarification, we deny Calpine’s
                                                EEI suggests.                                           not relevant to the Commission’s market               request for RTOs and ISOs to be given
                                                   33. Rather, after the initial                        power assessment. Rather, these are                   a deadline to develop tariff changes that
                                                autonomous response, any continuing                     concerns that may impact a balancing                  would enable them to implement
                                                response would be deemed to occur as                    authority’s decision as to whether to                 primary frequency response
                                                a result of dispatch instructions from                  enter into any given primary frequency                compensation mechanisms.
                                                the relevant balancing authority, which                 response transaction, or that may                     2. Interaction With Regulation Service
                                                would most likely constitute either use                 become relevant if any RTO or ISO
                                                of regulation or operating reserves.                                                                             38. EEI and Duke both request that
                                                                                                        voluntarily chooses to develop an                     sellers be able to retain the reference to
                                                Accordingly, while a transmission                       organized market for primary frequency
                                                reservation may sometimes be needed to                                                                        ‘‘Regulation and Frequency Response
                                                                                                        response—something that is not                        Service’’ in their current market-based
                                                support a sale of primary frequency                     required by this Final Rule.
                                                response, there should never be a need                                                                        rate tariffs, and that the Final Rule make
                                                                                                           35. With respect to TAPS’s arguments
                                                to actually schedule transmission or                                                                          clear that providing market-based rate
                                                                                                        regarding potential distortion of co-
                                                change a transmission schedule in                                                                             authorization for primary frequency
                                                                                                        optimized RTO/ISO energy and
                                                connection with primary frequency                                                                             response service is not intended to limit
                                                                                                        ancillary service markets, this Final
                                                response service. Hence, transmission                                                                         the options that buyers have in
                                                                                                        Rule merely clarifies the appropriate
                                                scheduling should pose no barrier to                                                                          procuring these ancillary services.57
                                                                                                        method for ex ante market power                          39. The Commission does not intend
                                                sales of primary frequency response                     screening for potential sellers of primary
                                                service, and in the open access                                                                               to limit the options that buyers have in
                                                                                                        frequency response service. It does not               procuring these ancillary services but
                                                transmission environment created by                     require any entity, including RTOs and                will nevertheless affirm the NOPR
                                                  52 TAPS
                                                                                                        ISOs, to purchase primary frequency                   proposal to require a separate listing of
                                                            at 9–11.
                                                                                                        response. Nor does it require RTOs and
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                                                  53 The Commission expects that sales of primary                                                             regulation service and primary
                                                frequency response from resources in transmission       ISOs to develop organized markets for                 frequency response service in market-
                                                constrained areas would constitute the most likely      primary frequency response. The
                                                scenario where a reservation of transmission            Commission finds it reasonable to                        55 EEI at 1–2; California Independent System
                                                capacity might be needed to support the sale.
                                                Naturally, the added cost of such transmission
                                                                                                        assume that if an RTO or ISO ever                     Operator Corporation (CAISO) at 2; MISO at 1; PJM
                                                purchases would likely be considered by the                                                                   at 2, 5.
                                                                                                          54 Order No. 697, FERC Stats. & Regs. ¶ 31,252 at      56 Calpine at 9.
                                                potential purchaser in deciding whether or not to
                                                enter into such purchase.                               P 354.                                                   57 EEI at 4; Duke at 3–7.




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                                                                 Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations                                                   73971

                                                based rate tariffs. However, to address                    43. The Commission agrees that these               deviations, that could not be
                                                EEI’s and Duke’s concerns, the                          matters are important, and expects that               accommodated by this existing secure
                                                Commission clarifies that, even though                  potential buyers will ensure that the                 protocol widely used by the electric
                                                we require that regulation service and                  resources from which they purchase are                utility industry. As a result, the
                                                primary frequency response service be                   capable of providing the service in a                 Commission continues to believe that
                                                separately listed in sellers’ market-based              useful manner, consistent with relevant               the information sharing required to
                                                rate tariffs, this does not mean that                   NERC requirements and guidelines as                   facilitate sales of primary frequency
                                                buyers and sellers cannot agree to                      discussed earlier. This would require                 response service will not create a barrier
                                                combined transactions involving both                    that, among other things, the parties                 to such sales and thus we find in this
                                                regulation service and primary                          agree to appropriate information sharing              Final Rule that the market power
                                                frequency response service with                         and measurement and verification. At                  screens used for energy and capacity are
                                                appropriate restrictions. Those                         this stage, and given the voluntary                   valid for primary frequency response
                                                restrictions involve the need for the                   nature of any primary frequency                       service.
                                                market-based regulation service                         response transactions that may result
                                                                                                                                                              4. Definition of Primary Frequency
                                                component to be limited to the buyer’s                  from this Final Rule, the Commission
                                                                                                                                                              Response Service
                                                OATT rate for regulation or the outcome                 sees no need to be more prescriptive
                                                of a competitive solicitation as                        regarding specific methods of                            46. Parties request various
                                                described in Order No. 784.58 No such                   information sharing and measurement                   clarifications regarding the definition of
                                                restrictions would apply to the primary                 and verification.                                     primary frequency response service.
                                                frequency response service component                       44. In a related matter, TAPS asserts              Calpine and EPSA assert that the
                                                of such combined transactions.                          that the NOPR’s statement that                        product definition for primary
                                                   40. Duke also expresses concern as to                telemetry sharing should not pose any                 frequency response service should
                                                what impact splitting the services in the               significant barrier to the use of remote              include both inertial response from
                                                ‘‘Third Party Provider’’ section of the                 resources for the purposes of market-                 conventional ‘‘spinning mass’’
                                                market-based rate tariff would have on                  based rates requires further evaluation.              generators and primary frequency
                                                transmission providers and any                          TAPS argues that transmitting the                     response from discretionary turbine-
                                                transmission customers self-providing                   telemetry data from one balancing                     governor settings.64 Similarly, Union of
                                                service under Schedule 3 of the                         authority area to just one other                      Concerned Scientists argues for the
                                                OATT.59                                                 balancing authority area effectively                  inclusion of synchronous and/or
                                                   41. The Commission clarifies that                    doubles (or more) the number of points                synthetic inertia as a market product
                                                OATT Schedule 3 serves a different                      at which the data can be intercepted or               that can be used to provide primary
                                                purpose from the market-based rate                      attacked. Thus, TAPS argues that the                  frequency response, and requests that
                                                tariff (cost-based sales from the OATT                  Commission should provide additional                  the Commission clarify whether the
                                                provider versus market-based sales from                 analysis to evaluate whether these                    creation of markets for inertia is within
                                                third parties), and so OATT Schedule 3                  potential technical barriers will impede              the scope of changes that were
                                                does not need modification as a result                  the ability of remote generators to                   envisioned by the Commission when it
                                                of this Final Rule. However, to the                     compete to make market-based rate sales               issued this NOPR.65
                                                extent that a particular OATT provider                  of primary frequency response across                     47. The Commission emphasizes that
                                                purchases primary frequency response                    balancing authorities and to multiple                 this Final Rule addresses market-based
                                                from a third party in order to help serve               balancing authorities.62                              rate authority for sales of services that
                                                its OATT customers, it may propose in                      45. As mentioned earlier, the                      fit the definition of primary frequency
                                                a section 205 filing to include such costs              Commission finds that balancing                       response services, i.e., resources
                                                in its OATT Schedule 3 rates.                           authorities already share with their                  standing by to provide autonomous, pre-
                                                                                                        neighbors the same type of operational                programmed changes in output to
                                                3. Information Sharing and                                                                                    rapidly arrest large changes in frequency
                                                                                                        information contemplated here, both on
                                                Measurement and Verification                                                                                  until dispatched resources can take
                                                                                                        a day-to-day basis, and occasionally
                                                   42. A variety of entities emphasize the              through special arrangements like                     over. True inertia, while also serving an
                                                importance of adequate information                      pseudo-ties or dynamic schedules,                     important function, does not fit this
                                                sharing and measurement and                             though they may not do so with as                     definition because it does not arrest
                                                verification if primary frequency                       much detail as would be required for                  large changes in frequency, but rather
                                                response service is to be traded.60 In this             primary frequency response. In sharing                acts to oppose all changes in frequency.
                                                regard, SmartSenseCom, Inc.                             such information, they use secure                     The term ‘‘synthetic inertia’’ is more
                                                (SmartSenseCom) also argues that in                     protocols such as Inter-Control Center                complicated to address because it is not
                                                order to support the broadest base of                   Communications Protocol.63 There                      clear from the record whether there is
                                                available resources to provide primary                  appears to be nothing unique about                    actual industry consensus on what the
                                                frequency response services, potential                  information related to primary                        term means. However, if it is assumed
                                                providers should have flexibility in                    frequency response transactions, which                to mean a resource standing by to
                                                their ability to select any monitoring                  would largely involve the real-time                   provide autonomous, pre-programmed
                                                device that meets or exceeds applicable                 operational state of the resources in                 changes in output to rapidly arrest large
                                                industry standards for accuracy as a                    question as a way of verifying both their             changes in frequency until dispatched
                                                means to measure frequency and trigger                  readiness to respond and actual                       resources can take over, then the
                                                the primary frequency response at a                     responses to relevant frequency                       Commission would simply consider it a
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                                                given set point.61                                                                                            form of primary frequency response
                                                                                                          62 TAPS  at 6–9.                                    subject to this Final Rule. In contrast, if
                                                  58 Order No. 784, FERC Stats. & Regs. ¶ 31,349 at       63 See International Electroctechnical              the ‘‘synthetic inertia’’ response either
                                                PP 82 and 99–101.                                       Commission, Telecontrol equipment and systems—
                                                  59 Duke at 6, 8.
                                                                                                        Part 6–802: Telecontrol protocols compatible with
                                                                                                                                                              cannot be sustained until dispatched
                                                  60 CAISO at 2–3; EEI at 5; MISO at 1–4; Duke at
                                                                                                        ISO standards and ITU–T recommendations—
                                                7–8; Dominion at 3; Idaho Power at 2.                                                                           64 Calpine  at 7, n.16; EPSA at 5.
                                                                                                        TASE.2 Object models (Sept. 2005), available at
                                                  61 SmartSenseCom at 9–10.                             https://webstore.iec.ch/publication/18156.              65 Union   of Concerned Scientists at 8.



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                                                73972             Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations

                                                resources take over, or is merely aimed                 negotiate any refinements to the basic                tangentially involve the affiliated public
                                                at slowing all changes in frequency                     product definition in this Final Rule                 utility transmission provider’s system.
                                                instead of arresting large changes, then                that they see fit, so long as such                    While the Commission understands this
                                                ‘‘synthetic inertia’’ would not be a form               refinements remain consistent with the                concern, we do not believe it is justified
                                                of primary frequency response, and                      basic definition. Obviously, any market-              because the highlighted language targets
                                                sales of it would not be encompassed by                 based rate authority granted as a result              a much narrower set of circumstances.
                                                this Final Rule.                                        of this Final Rule would only apply to                   55. In particular, in Ameren
                                                   48. Several commenters assert that the               products that are consistent with the                 Marketing,72 the Commission approved
                                                product definition must differentiate                   definition of primary frequency                       a case-by-case request for market-based
                                                based on response time in addition to                   response service described at the                     rates for ancillary services sales by a
                                                magnitude of response.66 Consistent                     beginning of the discussion section                   third-party seller to transmission
                                                with this idea, SmartSenseCom asks the                  above.                                                customers located on the transmission
                                                Commission to amend section 35.28 of                       51. SmartSenseCom urges the                        system of the seller’s public utility
                                                its regulations by adding a new                         Commission to define primary                          transmission provider affiliate where
                                                paragraph that states the following:                    frequency response directly within the                the seller offered several safeguards to
                                                Primary frequency response in ancillary                 Commission’s regulations.69 The                       protect against the potential for affiliate
                                                service markets. Each Commission approved               Commission denies this request as                     abuse.73 Ameren Marketing
                                                independent system operator or regional                 unnecessary. The Commission’s                         demonstrates the narrow scope of the
                                                transmission organization that has a tariff             regulations do not include definitions of             Commission’s concern related to this
                                                that provides for the compensation for                  every particular product subject to its               Avista restriction; namely, third-party
                                                primary frequency response service must                 jurisdiction; it is sufficient for such               sales to customers located on the
                                                provide such compensation based upon the                                                                      transmission systems of affiliates. Only
                                                                                                        product definitions to be described in
                                                actual service provided, include a capacity
                                                payment that takes into account the speed of            relevant Commission orders such as this               in these situations does the second
                                                primary frequency response-providing                    one.                                                  Avista restriction apply, and in these
                                                resources and a payment for performance                                                                       situations, we remain willing to
                                                                                                        5. Miscellaneous Requests for
                                                that reflects the quantity of primary                                                                         consider requests for market-based rate
                                                                                                        Clarification
                                                frequency response provided by a resource in                                                                  authority for sales of primary frequency
                                                response to a frequency deviation.67                       52. EEI encourages the Commission to               response service on a case-by-case basis.
                                                   49. The Commission finds that the                    make clear in the Final Rule that a                   In response to EEI’s concern, the
                                                Final Rule’s product definition,                        potential third-party provider would not              Commission clarifies that where the
                                                summarized at the beginning of the                      be disqualified from competing on the                 customer is not located on the
                                                discussion section above, already                       basis that it is interconnected to an                 transmission system of the third-party
                                                sufficiently incorporates the importance                affiliated transmission provider.                     seller’s affiliate, this aspect of the Avista
                                                of speed. The Commission finds that no                  According to EEI, not addressing the                  restrictions does not apply.
                                                further differentiation based on                        affiliate restriction provisions of the                  56. EEI also recommends that the
                                                response time or magnitude is necessary                 Avista policy could unnecessarily limit               Commission clarify in the Final Rule
                                                in connection with this Final Rule,                     the pool of third-party generators that               that the location of primary frequency
                                                which deals only in the appropriate ex                  would be eligible to compete to provide               response purchases be deemed to be
                                                ante market power screening of                          market-based primary frequency                        where the customer is located within an
                                                potential sellers of primary frequency                  response service.70                                   interconnection, rather than where the
                                                response service. For this reason, and                     53. EEI’s concern relates to the                   underlying generation resides.
                                                because this Final Rule does not require                component of the Avista restrictions                  According to EEI, this would address a
                                                development of organized markets for                    highlighted below:                                    potential ambiguity in how the NOPR
                                                primary frequency response, the                         (2) to address affiliate abuse concerns, the          proposal is described in paragraph 28 of
                                                Commission also denies as unnecessary                   approach [permitting market-based rate sales          the NOPR, where the Commission stated
                                                the requested addition to the                           of ancillary services without a corresponding         that ‘‘. . . sellers passing existing
                                                Commission’s regulations related to                     market power analysis] will not apply to              market-based rate screens in a given
                                                                                                        sales to a traditional, franchised public utility     geographic market should be granted a
                                                organized RTO and ISO markets for
                                                                                                        affiliated with the third-party supplier, or to       rebuttable presumption that they lack
                                                primary frequency response.                             sales where the underlying transmission
                                                   50. Grid Storage Consulting, LLC                                                                           market power for sales of primary
                                                                                                        service is on the system of the public utility
                                                (Grid Storage Consulting) and Public                    affiliated with the third-party supplier.71
                                                                                                                                                              frequency response in that market.’’ 74
                                                Interest Organizations argue that the                                                                         EEI states that if a generator has passed
                                                product definition for this service                        54. As the Commission noted in the                 the Commission’s existing market power
                                                should require response that is                         Avista passage quoted above, this                     screens (or if the screens are not
                                                immediate, bi-directional, proportional                 second Avista restriction was meant to                required to be submitted based on the
                                                to the frequency deviation, continuous                  address affiliate abuse. However, EEI’s               location of the generation) for the
                                                in the sense of not being prematurely                   concern that potential third-party                    geographic market in which the buyer is
                                                interrupted by competing controls or                    providers should not be disqualified                  located, then the generator should
                                                physical limitations, and certain.68 The                from competing on the basis that they                 benefit from the rebuttable presumption
                                                Commission clarifies that potential                     are interconnected to an affiliated
                                                voluntary buyers and sellers of primary                 transmission provider appears to be                      72 Ameren Energy Marketing Co., 95 FERC ¶

                                                                                                        based on an overly broad interpretation
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                                                                                                                                                              61,448, at 62,626 (2001) (Ameren Marketing).
                                                frequency response service are free to                                                                           73 With respect to all three Avista restrictions, the
                                                                                                        of the language highlighted above; i.e.,
                                                                                                                                                              Commission expressed its willingness to consider
                                                   66 Calpine at 7; AWEA at 4; Grid Storage             one that would prevent sales that only                requests for market-based rate authority under the
                                                Consulting at 2–4; Public Interest Organizations at                                                           conditions associated with the restrictions on a
                                                4; SmartSenseCom at 8.                                    69 SmartSenseCom    at 3.                           case-by-case basis. Avista Corp., 87 FERC ¶ 61,223
                                                   67 SmartSenseCom at Ex. A.                             70 EEI at 7.                                        at n.12.
                                                   68 Grid Storage Consulting at 4–7; Public Interest     71 Avista Corp., 87 FERC ¶ 61,223 at n.12 (1999)       74 EEI at 7 (citing NOPR, FERC Stats. & Regs. ¶

                                                Organizations at 4.                                     (emphasis added).                                     32,705 at P 28).



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                                                                    Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations                                                     73973

                                                that it lacks market power with respect                    otherwise eligible to participate in                       it ever markets services from other types
                                                to sales of primary frequency response                     Commission-authorized and supervised                       of resources that result in it injecting
                                                service throughout the entire                              markets. They recommend that any such                      electric energy onto the grid, then it
                                                interconnection.75                                         resources be permitted to sell primary                     would need market-based rate authority
                                                   57. EEI appears to be concerned that                    frequency response service at market-                      and a tariff on file.81 Accordingly, all
                                                the language in paragraph 28 might be                      based rates as well.77 In a similar vein,                  sellers with market-based rate authority
                                                interpreted to mean that market-based                      Public Interest Organizations ask the                      using resources that can inject electric
                                                rate sales of primary frequency response                   Commission to consider whether there                       energy onto the interstate transmission
                                                are only authorized in specific                            is any class or potential class of                         grid, even if they only sell ancillary
                                                geographic markets. As will be                             emerging resources that sell only                          services today, are already eligible to
                                                explained next, this would be similar to                   ancillary services and not energy or                       make use of the rebuttable presumption
                                                how market-based rate sales of operating                   capacity, and if so, whether such                          related to primary frequency response in
                                                reserves are handled pursuant to Order                     resources should be exempted from                          this Final Rule. Similarly, sellers
                                                No. 784, but different from how                            existing market power screens in                           exclusively using demand response
                                                authority for market-based rate sales of                   exchange for some more appropriate                         resources are already exempted from the
                                                energy and capacity is granted. With                       market power analysis.78                                   need to submit market power analyses
                                                respect to energy and capacity, the                           59. In response to these comments,                      to gain authorization for their sales, and
                                                Commission’s normal practice is to test                    the Commission clarifies that for                          Public Interest Organizations have
                                                for market power in the seller’s home                      resources capable of injecting electric                    provided no reason why any new class
                                                balancing authority area, and, if the                      energy onto the interstate transmission                    of resources should be exempted.
                                                seller is vertically-integrated, first-tier                grid,79 authority to sell at market-based                     60. Union of Concerned Scientists,
                                                balancing authority areas, because this                    rates, even exclusively in organized                       ESA, and Public Interest Organizations
                                                is where the seller’s market power likely                  RTO or ISO markets, is only granted to                     all ask that the Commission clarify that
                                                would be greatest. However, the market-                    entities that either pass the existing                     the current Final Rule applies for all
                                                based rate authority granted based on                      market power screens for sales of energy                   resources that can provide primary
                                                passage of these market power screens                      and capacity or where any market                           frequency response.82 Steel Producers
                                                permits sales anywhere that the seller is                  power concerns have been adequately                        Alliance makes similar arguments,
                                                capable of transacting. In Order No. 784,                  mitigated. Thus, even if such sellers                      emphasizing that resources other than
                                                the Commission had to depart from this                     only sell ancillary services today, their                  generators are able to provide primary
                                                standard practice with respect to                          authorization to do so was granted                         frequency response service and should
                                                market-based rate sales of operating                       based in part upon either passage of the                   be permitted to compete to provide the
                                                reserves because of the special                            existing market power screens for sales                    service.83 The Commission clarifies that
                                                transmission scheduling practices                          of energy and capacity or where there                      this Final Rule applies to jurisdictional
                                                associated with those services. Order                      was a demonstration that any market                        market-based rate sellers of primary
                                                No. 784 required sellers of operating                      power concerns have been adequately                        frequency response service, irrespective
                                                reserves to first demonstrate that the                     mitigated.80 The only current exception                    of what specific equipment they may
                                                scheduling practices in the regions                        to this rule involves demand response                      choose to use to make such sales.
                                                within which they wish to sell could                       resources. If a third-party seller                            61. MISO asserts that certain technical
                                                support sales of operating reserves from                   exclusively uses demand response                           statements within the NOPR require
                                                one balancing authority area to another,                   resources to participate in RTO/ISO                        limited clarification. First, while MISO
                                                and market-based rate authority for sales                  markets, it does not need to seek                          agrees with the NOPR that 60 Hertz (Hz)
                                                of operating reserves would only be                        market-based rate authority or place any                   is the target frequency in North
                                                granted for regions where such showing                     tariff on file with the Commission,                        America, MISO notes that scheduled
                                                was made successfully by the seller.76                     because demand response resources do                       frequency may be offset at times to
                                                Because primary frequency response is                      not inject electric energy onto the                        correct time error.84 Second, in response
                                                autonomous and individual responses                        interstate transmission grid. However, if                  to the NOPR’s description of how each
                                                are of short duration, no special                                                                                     balancing authority’s automatic
                                                scheduling practices would be required.                       77 AWEA at 4; ESA at 4–5; Union of Concerned            generation control system will issue
                                                                                                           Scientists at 3; Grid Storage Consulting at 10.            dispatch instructions to regulation
                                                Hence, the Commission finds that                              78 Public Interest Organizations at 5–6.
                                                market-based rate authority for sales of                      79 Pursuant to section 201(a) of the FPA, the
                                                                                                                                                                      resources to try to return the systems
                                                primary frequency response should be                       Commission is charged with regulating the
                                                                                                                                                                      frequency to 60 Hz, MISO argues that
                                                granted on the same basis as sales of                      transmission of electric energy in interstate              typically the contingent balancing
                                                energy and capacity; i.e., while market                    commerce and the sale of electric energy at                authority uses a combination of
                                                                                                           wholesale in interstate commerce. 16 U.S.C. 824(a)         automatic generation control and
                                                power is tested at the resource’s                          (2012). Section 201(b) provides that the
                                                location, authority is granted for sales                   Commission shall have jurisdiction over facilities         contingency reserves for this purpose.85
                                                anywhere the seller is capable of                          for wholesale sales of electric energy in interstate       The Commission agrees with these
                                                transacting. The Commission, therefore,                    commerce or for transmission of electric energy in         clarifications, but finds that they do not
                                                                                                           interstate commerce. Id. 824(b). In section 201(e), a      alter any fundamental underpinning of
                                                clarifies the description in paragraph 28                  public utility is defined as a person who owns or
                                                of the NOPR accordingly.                                   operates facilities subject to the jurisdiction of the     the NOPR proposal.
                                                   58. AWEA, ESA, Union of Concerned                       Commission. Id. 824(e).                                       62. Union of Concerned Scientists
                                                Scientists, and Grid Storage Consulting                       80 In the event that sellers fail the existing market   seeks clarification that procurement of,
                                                argue that there may be some resources
                                                                                                           power screens for the RTO/ISO markets, the                 and payment for, primary frequency
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                                                                                                           Commission allows such sellers to seek to obtain or
                                                that have been authorized to sell                          retain market-based rate authority by relying on              81 EnergyConnect, Inc., 130 FERC ¶ 61,031, at PP
                                                ancillary services at market-based rates                   Commission-approved RTO/ISO monitoring and
                                                                                                                                                                      26–33 (2010).
                                                but not energy and capacity, or that are                   mitigation. See Refinements to Policies and                   82 Union of Concerned Scientists at 5; ESA at 2–
                                                                                                           Procedures for Market-Based Rates for Wholesale
                                                                                                           Sales of Electric Energy, Capacity and Ancillary           4; Public Interest Organizations at 2–3.
                                                  75 Id.                                                                                                                 83 Steel Producers Alliance at 2–3.
                                                           at 7–8.                                         Services by Public Utilities, Order No. 816, 80 FR
                                                  76 Order                                                                                                               84 MISO at 5.
                                                               No. 784, FERC Stats. & Regs. ¶ 31,349 at    67056, (Oct. 30, 2015), 153 FERC ¶ 61,065, at P 28
                                                P 58.                                                      (2015).                                                       85 Id. at 6.




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                                                73974            Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations

                                                response service would be allowed if                    connection with authorizations to                        68. SmartSenseCom asserts that there
                                                the sale of primary frequency response                  charge market-based rates, in organized               is a difference in value between
                                                service under market-based rates were                   markets like PJM’s, such rates are                    resources capable of delivering a rapid
                                                allowed. It suggests that the                           granted in significant part based on the              response to changing frequency and
                                                Commission state that markets for                       market power mitigation rules of the                  slower-responding units. Accordingly,
                                                primary frequency response service are                  RTO or ISO. Accordingly, Monitoring                   SmartSenseCom asks the Commission to
                                                allowed, subject to petition by                         Analytics recommends that if PJM                      require public utility transmission
                                                appropriate utilities and approval by the               develops a market for primary frequency               providers to take into account the speed
                                                Commission.86 Union of Concerned                        response service, the rules for such                  and accuracy of primary frequency
                                                Scientists also asks that market                        market should incorporate the three                   response resources when determining
                                                eligibility and participation as a seller               pivotal supplier test that is already used            reserve requirements for primary
                                                should not be constrained by                            for market power mitigation in PJM’s                  frequency response, as the Commission
                                                disproportionate administrative                         other markets.92                                      did for regulation service in Order No.
                                                burdens.87 The Commission agrees that                      65. ESA argues that fast responding                784. SmartSenseCom claims this ‘‘is
                                                market-based rate sales by entities that                energy storage resources should be                    particularly necessary in this instance in
                                                have been granted authorization for                     allowed to supply both primary                        light of the language set forth in Order
                                                such sales are allowed; that is, of course,             frequency response and regulation                     No. 784 and in the instant NOPR that
                                                the object of a market-based rate                       services simultaneously. In this regard,              distinguishes [primary frequency
                                                application. With respect to the                        ESA asserts that the Commission should                response] from regulation and the
                                                authority for potential buyers to                       not inadvertently create a system where               different requirements that will now
                                                purchase primary frequency response                     all providers of primary frequency                    exist for each service.’’ 98
                                                service, this Final Rule only involves                  response must provide such service for                   69. The Commission finds all of these
                                                market power screening of potential                     at least 5–10 minutes until the slowest               issues to be beyond the scope of this
                                                sellers. As with most products in                       regulation resources can be brought                   Final Rule. This Final Rule deals only
                                                voluntary bilateral markets, potential                  online.93 ESA requests that the                       with market-based pricing for voluntary
                                                buyers do not need the Commission’s                     Commission ensure that ancillary                      bilateral primary frequency response
                                                permission. Similarly, the Commission                                                                         sellers. While some of the issues raised
                                                                                                        service market designs and procurement
                                                clarifies that RTOs and ISOs remain free                                                                      above might be relevant in other
                                                                                                        mechanisms are reasonably consistent
                                                to develop organized markets for                                                                              proceedings,99 none of the issues raised
                                                                                                        across regions and reflect non-market
                                                primary frequency response if they so                                                                         above is relevant to the topic of market-
                                                                                                        compensated benefits in the
                                                choose, though nothing in this Final                                                                          based rates in voluntary bilateral
                                                                                                        determination of operational needs for
                                                Rule requires them to do so, and if they                                                                      markets. Accordingly, there is no need
                                                                                                        particular capabilities, such as fast
                                                choose to do so, only then will the                                                                           to address these issues here.
                                                                                                        response.94
                                                Commission review such issues as
                                                eligibility requirements for                               66. Grid Storage Consulting argues                 III. Compliance and Implementation
                                                participation.                                          that balancing authorities should not be                 70. In Order No. 697, the Commission
                                                                                                        able to mandate that primary frequency                provided standard tariff provisions that
                                                6. Requests Outside the Scope of This                   response be provided as part of other
                                                Proceeding                                                                                                    sellers must include in their market-
                                                                                                        market products,95 and that in some                   based rate tariffs to the extent they are
                                                   63. AWEA and Public Interest                         circumstances it may be appropriate to                applicable based on the services
                                                Organizations both request that the                     permit the costs of dedicated primary                 provided by the seller,100 including a
                                                Commission permit sales of regulation                   frequency response resources to be                    provision for sales of ancillary services
                                                service at market-based rates by entities               recovered in transmission rate base.96                as a third-party provider.101 The
                                                with authority for market-based rate                       67. If an RTO seeks to create an                   Commission hereby revises the ‘‘Third
                                                sales of energy and capacity.88 AWEA                    organized market for primary frequency                Party Provider’’ ancillary services
                                                further requests that the Commission:                   response, then Dominion recommends                    provision to change the reference to
                                                (a) Explore the role that dynamic                       that the Commission require a market                  ‘‘Regulation and Frequency Response
                                                transfer capability, or lack thereof, plays             design similar to those used currently to             Service’’ to ‘‘Regulation Service’’ and to
                                                in protecting against exertion of market                procure other ancillary services such as              add a reference to ‘‘Primary Frequency
                                                power; 89 (b) consider relaxing                         regulation and operating reserves.                    Response Service.’’ The new language is
                                                interconnection standards for resources                 Alternatively, Dominion also supports                 as follows:
                                                that only sell ancillary services; 90 and               allowing RTOs to procure primary
                                                (c) consider whether entities in bilateral                                                                    Third-party ancillary services: Seller offers
                                                                                                        frequency response at cost-based rates,               [include all of the following that the seller is
                                                market areas should be required to                      in a manner similar to how reactive                   offering: Regulation Service, Reactive Supply
                                                develop platforms for the sale of                       power is procured. Dominion also                      and Voltage Control Service, Energy and
                                                primary frequency response, even if on                  argues that generators should either be               Generator Imbalance Service, Operating
                                                a limited basis such as through open                    exempt from charges such as operating
                                                seasons.91                                              reserve and balancing energy when                       98 SmartSenseCom     at 8.
                                                   64. Monitoring Analytics, LLC                        deviating from their schedules in order                 99 For  example, if an RTO or ISO eventually
                                                (Monitoring Analytics) notes that, while                to provide primary frequency response                 proposes to develop an organized market for
                                                the NOPR is mainly concerned with the                                                                         primary frequency response service, or if the
                                                                                                        service or their compensation should                  Commission at some point in the future decides to
                                                market power screens typically used in                  include credits to offset such charges.97
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                                                                                                                                                              require such development, then several of the
                                                                                                                                                              issues raised above might become relevant at that
                                                  86 Union    of Concerned Scientists at 4.
                                                                                                          92 Monitoring
                                                                                                                                                              stage.
                                                  87 Id.  at 3.                                                          Analytics at 7.                         100 Order No. 697, FERC Stats. & Regs. ¶ 31,252
                                                   88 AWEA at 1, 7–9; Public Interest Organizations       93 ESA   at 5.                                      at Appendix C.
                                                                                                          94 Id. at 6.
                                                at 5.                                                                                                            101 In Order No. 784, the Commission revised the
                                                   89 AWEA at 3.                                          95 Grid Storage Consulting at 8–9.
                                                                                                                                                              standard third party provider provision to reflect
                                                   90 Id. at 4.                                           96 Id. at 10–11.
                                                                                                                                                              the changes adopted in Order No. 784. Order No.
                                                   91 Id. at 5.                                           97 Dominion at 3.                                   784, FERC Stats. & Regs. ¶ 31,349 at P 200.



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                                                                      Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations                                                                73975

                                                Reserve-Spinning, Operating Reserve-                                     to reduce their administrative burden,                   will have practical utility, the accuracy
                                                Supplemental, and Primary Frequency                                      the Commission permits such sellers to                   of burden and cost estimates, ways to
                                                Response Service]. Sales will not include the                            wait to file this tariff revision until the              enhance the quality, utility, and clarity
                                                following: (1) sales to an RTO or an ISO, i.e.,                          next time they make a market-based rate                  of the information to be collected or
                                                where that entity has no ability to self-supply
                                                ancillary services but instead depends on
                                                                                                                         filing with the Commission, such as a                    retained, and any suggested methods for
                                                third parties; and (2) sales to a traditional,                           notice of change in status filing or a                   minimizing respondents’ burden,
                                                franchised public utility affiliated with the                            triennial update.                                        including the use of automated
                                                third-party supplier, or sales where the                                    72. As noted in the NOPR, consistent                  information techniques.
                                                underlying transmission service is on the                                with the existing requirements of Order                     75. Burden Estimate and Information
                                                system of the public utility affiliated with the                         No. 2001, any entity selling primary                     Collection Costs: While, to the
                                                third-party supplier. Sales of Operating                                 frequency response service will need to                  Commission’s knowledge, no entity
                                                Reserve-Spinning and Operating Reserve-                                  report such sales in the Electric
                                                Supplemental will not include sales to a                                                                                          currently sells primary frequency
                                                                                                                         Quarterly Report,102 and the                             response service on an unbundled
                                                public utility that is purchasing ancillary                              Commission will update its Electric
                                                services to satisfy its own open access                                                                                           basis,106 there is no reason why primary
                                                                                                                         Quarterly Report system to include a                     frequency response service could not be
                                                transmission tariff requirements to offer
                                                ancillary services to its own customers,
                                                                                                                         specific product name option for                         sold today under cost-based rates. Such
                                                except where the Commission has granted                                  primary frequency response service.103                   cost-based sales, if they occurred, would
                                                authorization. Sales of Regulation Service                               IV. Information Collection Statement                     face all of the burdens associated with
                                                and Reactive Supply and Voltage Control                                                                                           cost-of-service regulation, including a
                                                Service will not include sales to a public                                 73. The Paperwork Reduction Act
                                                                                                                         (PRA) 104 requires each federal agency to                variety of requirements from which
                                                utility that is purchasing ancillary services to
                                                satisfy its own open access transmission tariff                          seek and obtain Office of Management                     market-based rate sellers frequently seek
                                                requirements to offer ancillary services to its                          and Budget (OMB) approval before                         and are granted waiver.107 Furthermore,
                                                own customers, except at rates not to exceed                             undertaking a collection of information                  just like market-based rate sellers, cost-
                                                the buying public utility transmission                                   directed to ten or more persons or                       based rate sellers must report all
                                                provider’s OATT rate for the same service or                             contained in a rule of general                           transactions in the Electric Quarterly
                                                where the Commission has granted                                                                                                  Report. Accordingly, the Commission
                                                                                                                         applicability. OMB regulations require
                                                authorization.                                                                                                                    views this Final Rule as providing
                                                                                                                         approval of certain information
                                                   71. The Commission finds that a seller                                collection requirements imposed by                       potential market-based rate sellers of
                                                that already has market-based rate                                       agency rules.105 Upon approval of a                      primary frequency response service
                                                authority as of the effective date of this                               collection(s) of information, OMB will                   with the opportunity to avoid cost-of-
                                                Final Rule is authorized as of that date                                 assign an OMB control number and an                      service regulation for such sales and the
                                                to make sales of primary frequency                                       expiration date. Respondents subject to                  associated substantial reporting
                                                response service at market-based rates.                                  the filing requirements of an agency rule                burdens.
                                                Such a seller will be required to revise                                 will not be penalized for failing to                        76. Below, we discuss the expected
                                                the third-party provider ancillary                                       respond to the collection of information                 increases in burden as a result of this
                                                services provision of its market-based                                   unless the collection of information                     Final Rule. The Commission expects the
                                                rate tariff to reflect that it wishes to                                 displays a valid OMB control number.                     additional burden to be greatly
                                                make sales of primary frequency                                            74. The Commission will submit the                     outweighed by the reduction in burden
                                                response service at market-based rates.                                  revised information collection                           from avoiding cost-of-service regulation.
                                                However, while this authorization is                                     requirements to OMB for its review and                   The additional estimated annual public
                                                effective for sellers with existing                                      approval. The Commission solicits                        reporting burdens and costs for the
                                                market-based rate authority as of the                                    public comments on its need for this                     requirements in this Final Rule are as
                                                effective date of this Final Rule, in order                              information, whether the information                     follows.

                                                                                                                        CHANGES IN FINAL RULE IN RM15–2 108
                                                                                                                      Annual number of                                Average burden          Total annual
                                                                                                                                               Total number of
                                                               Number of respondents                                   responses per                                    & cost per           burden hours &       Cost per response
                                                                                                                                                 responses
                                                                                                                         respondent                                      response           total annual cost

                                                                              (a)                                              (b)               (a)×(b)=(c)                (d)                (c)×(d)=(e)               (e)/(c)

                                                                                                  FERC–516 (Electric Rate Schedules and Tariff Filings) (one time, phased in)

                                                1,585 109 .......................................................                110 0.163                     259   6 hrs.; $432 ......    1,554 hrs.;                            $432
                                                                                                                                                                                              $111,888.


                                                   102 See Revised Public Utility Filing                                 revising filing requirements, Order No. 2001–I,          and Open Access Same-Time Information Systems
                                                Requirements, Order No. 2001, FERC Stats. & Regs.                        FERC Stats. & Regs. ¶ 31,282 (2008).                     related to any jurisdictional transmission facilities
                                                ¶ 31,127, reh’g denied, Order No. 2001–A, 100                              103 NOPR, FERC Stats. & Regs. ¶ 32,705 at P 29.        owned by the entity, the need to adhere to the
                                                FERC ¶ 61,074, reh’g denied, Order No. 2001–B,                             104 44 U.S.C. 3501–3520 (2012).                        Commission’s standards of conduct, the need to
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                                                100 FERC ¶ 61,342, order directing filing, Order No.                       105 See 5 CFR 1320 (2015).                             adhere to the detailed cost-of-service related
                                                2001–C, 101 FERC ¶ 61,314 (2002), order directing                          106 It is likely that some customers purchase          requirements of subparts B and C of Part 35 of the
                                                filing, Order No. 2001–D, 102 FERC ¶ 61,334, order                       primary frequency response service along with            Commission’s regulations, the need to adhere to the
                                                refining filing requirements, Order No. 2001–E, 105                      other services on a bundled basis, such as through       accounting and reporting requirements of Parts 41,
                                                FERC ¶ 61,352 (2003), order on clarification, Order                      full requirements contracts, but this Final Rule is      101, and 141 of the Commission’s regulations, and
                                                No. 2001–F, 106 FERC ¶ 61,060 (2004), order                              focused on unbundled sales of primary frequency          the need to seek separate authorizations for
                                                revising filing requirements, Order No. 2001–G, 120                      response service.                                        issuances of securities and assumptions of
                                                FERC ¶ 61,270, order on reh’g and clarification,                           107 Such burdens would include, for example, the       liabilities under FPA section 204 and Part 34 of the
                                                Order No. 2001–H, 121 FERC ¶ 61,289 (2007), order                        need to maintain Open Access Transmission Tariffs        Commission’s regulations.



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                                                73976                  Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations

                                                                                                             CHANGES IN FINAL RULE IN RM15–2 108—Continued
                                                                                                                     Annual number of                              Average burden          Total annual
                                                                                                                                            Total number of
                                                               Number of respondents                                  responses per                                  & cost per           burden hours &       Cost per response
                                                                                                                                              responses
                                                                                                                        respondent                                    response           total annual cost

                                                                              (a)                                           (b)               (a)×(b)=(c)                (d)                 (c)×(d)=(e)               (e)/(c)

                                                                                                                FERC–920 (Electric Quarterly Report) (one-time, phased in)

                                                1,585 ............................................................            111 0.163                     259   2 hrs.; $144 ......    518 hrs.;                               144
                                                                                                                                                                                           $37,296.



                                                  Titles: FERC–516 (Electric Rate                                         Necessity of the Information:                        submitted by email to: oira_
                                                Schedules and Tariff Filings) and                                      Regarding FERC–516, section 205(c) of                   submission@omb.eop.gov. Please refer
                                                FERC–920 (Electric Quarterly Report                                    the Federal Power Act requires public                   to OMB Control No. 1902–0096 (FERC–
                                                (EQR)).                                                                utilities to file with the Commission                   516) and OMB Control No. 1902–0255
                                                  Action: Revision of Currently                                        schedules showing all rates and charges                 (FERC–920).
                                                Approved Collection of Information.                                    for any transmission or sale subject to
                                                  OMB Control Nos.: 1902–0096 (FERC–                                                                                           V. Environmental Analysis
                                                                                                                       the Commission’s jurisdiction.
                                                516) and 1902–0255 (FERC–920).                                         Accordingly, entities wishing to sell                      79. The Commission is required to
                                                  Respondents: Public utilities.                                       primary frequency response service at                   prepare an Environmental Assessment
                                                  Frequency of responses: One-time,                                    market-based rates must amend their                     or an Environmental Impact Statement
                                                phased in (for both FERC–516 and                                       market-based rate tariffs to include the                for any action that may have a
                                                FERC–920).                                                             language included in this Final Rule.                   significant adverse effect on the human
                                                                                                                       Regarding FERC–920, the Commission                      environment.112 The Commission
                                                   108 For purposes of burden estimation, the NOPR
                                                                                                                       is revising the EQR to ensure that public               concludes that neither an
                                                assumed that industry staff members are similarly
                                                situated to FERC, in terms of hourly cost per full                     utilities that may sell primary frequency               Environmental Assessment nor an
                                                time employee, and no commenter disputes this                          response service at market-based rates                  Environmental Impact Statement is
                                                assumption. Therefore, the estimated average                           report those sales in the EQR, consistent               required for this Final Rule under
                                                hourly cost (salary plus benefits) is $72.00.                                                                                  section 380.4(a)(15) of the Commission’s
                                                   109 The 1,585 respondent universe includes                          with their filing obligations under
                                                                                                                       section 205(c).                                         regulations, which provides a
                                                existing sellers (1,999 total market-based rate
                                                sellers—697 Category 1 sellers + 70 Category 1                            Internal Review: The Commission has                  categorical exemption for approval of
                                                sellers = 1,372 sellers estimated to sell primary
                                                                                                                       reviewed the requirements associated                    actions under sections 205 and 206 of
                                                frequency response services) plus 213 new market-                                                                              the FPA relating to the filing of
                                                based rate applicants (as estimated in Docket No.                      with the proposed revisions to the
                                                RM14–14). (We estimate that ten percent (or 70, as                     information collections and determined                  schedules containing all rates and
                                                indicated above) of the Category 1 sellers may                         they are necessary to ensure that rates                 charges for the transmission or sale
                                                choose to sell primary frequency response services.)
                                                                                                                       remain just, reasonable, and not unduly                 subject to the Commission’s
                                                   110 We expect respondents to enter the primary
                                                                                                                       discriminatory.                                         jurisdiction, plus the classification,
                                                frequency response market gradually. For each of
                                                the next three years, we expect all 213 new market-                       77. These requirements conform to                    practices, contracts, and regulations that
                                                based rate applicants per year (or 639 total during                    the Commission’s need for efficient                     affect rates, charges, classifications, and
                                                Years 1–3), to include the primary frequency
                                                                                                                       information collection, communication,                  services.113
                                                response language in their tariffs.
                                                   Additionally, during the three-year period, we                      and management within the energy                        VI. Regulatory Flexibility Act
                                                expect a total of ten percent of the existing 1,372                    industry. The Commission has assured                      80. The Regulatory Flexibility Act of
                                                respondents (or 137 respondents), to decide to sell                    itself, through internal review, that there
                                                primary frequency response services and to make                                                                                1980 (RFA) 114 generally requires a
                                                the corresponding FERC–516 rate filing. The                            is specific, objective support for the                  description and analysis of proposed
                                                corresponding annual estimate is 46 of the existing                    burden estimates associated with the                    and final rules that will have significant
                                                respondents (an average of 3.4% annually).                             information collection requirements.                    economic impact on a substantial
                                                Therefore, the annual estimate, including both new
                                                respondents and existing respondents, is an average
                                                                                                                          78. Interested persons may obtain                    number of small entities.
                                                of 259 (213 + 46) respondents and responses per                        information on the reporting                               81. The Small Business
                                                year.                                                                  requirements by contacting the                          Administration’s (SBA) Office of Size
                                                   111 As respondents decide to sell primary
                                                                                                                       following: Federal Energy Regulatory                    Standards develops the numerical
                                                frequency response services, they would report the                     Commission, 888 First Street NE.,
                                                new offering in their Electric Quarterly Report                                                                                definition of a small business.115 The
                                                (FERC–920), and would continue to report in                            Washington, DC 20426 [Attention: Ellen                  SBA revised its size standard for electric
                                                subsequent EQRs. When a filer adds the new                             Brown, Office of the Executive Director],               utilities (effective January 22, 2014)
                                                service, we estimate the one-time burden to be two                     email: DataClearance@ferc.gov, Phone
                                                hours. We expect any additional burden associated
                                                                                                                                                                               from a standard based on megawatt
                                                with reporting the new service in the EQR to be
                                                                                                                       (202) 502–8663, fax: (202) 273–0873.                    hours to a standard based on the
                                                negligible after the first implementation as it would                  Comments on the collections of                          number of employees, including
                                                become part of the respondent’s normal reporting                       information and associated burden                       affiliates.116 Under SBA’s current size
                                                practice in the EQR and would only involve                             estimates in the Final Rule should be
                                                selecting the ‘primary frequency response’ option
                                                                                                                       sent to the Commission in this docket                     112 Regulations Implementing the National
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                                                from a list of product names. On average, we expect
                                                filers of the new primary frequency response                           and may also be sent to the Office of                   Environmental Policy Act of 1969, Order No. 486,
                                                service to phase in:                                                   Information and Regulatory Affairs,                     52 FR 47,897 (Dec. 17, 1987), FERC Stats. & Regs.,
                                                   • Year 1, 259 respondents or 16.3 percent of EQR                                                                            Regulations Preambles 1986–1990 ¶ 30,783 (1987).
                                                                                                                       Office of Management and Budget,                          113 18 CFR 380.4(a)(15) (2015).
                                                filers.
                                                                                                                       Washington, DC 20503 [Attention: Desk
                                                   • Year 2, 259 respondents or 16.3 percent of EQR                                                                              114 5 U.S.C. 601–612 (2012).

                                                filers.                                                                Officer for the Federal Energy                            115 13 CFR 121.101 (2015).

                                                   • Year 3, 259 respondents or 16.3 percent of EQR                    Regulatory Commission]. For security                      116 SBA Final Rule on ‘‘Small Business Size

                                                filers.                                                                reasons, comments to OMB should be                      Standards: Utilities,’’ 78 FR 77,343 (Dec. 23, 2013).



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                                                                 Federal Register / Vol. 80, No. 228 / Friday, November 27, 2015 / Rules and Regulations                                             73977

                                                standards, the entities with market-                      86. From the Commission’s Home                      service if it passes two indicative market
                                                based rates which are affected by this                  Page on the Internet, this information is             power screens: a pivotal supplier
                                                Final Rule likely come under the                        available on eLibrary. The full text of               analysis based on annual peak demand
                                                following categories 117 with the                       this document is available on eLibrary                of the relevant market, and a market
                                                indicated thresholds (in terms of                       in PDF and Microsoft Word format for                  share analysis applied on a seasonal
                                                number of employees 118):                               viewing, printing, and/or downloading.                basis. There will be a rebuttable
                                                   • Hydroelectric Power Generation,                    To access this document in eLibrary,                  presumption that a Seller lacks
                                                500 employees.                                          type the docket number excluding the                  horizontal market power with respect to
                                                   • Fossil Fuel Electric Power                         last three digits of this document in the             sales of operating reserve-spinning and
                                                Generation, 750 employees.                              docket number field.                                  operating reserve-supplemental services
                                                   • Nuclear Electric Power Generation,                   87. User assistance is available for                if the Seller passes these two indicative
                                                750 employees.                                          eLibrary and the Commission’s Web site                market power screens and demonstrates
                                                   • Solar Electric Power Generation,                   during normal business hours from the                 in its market-based rate application how
                                                250 employees.                                          Commission’s Online Support at 202–                   the scheduling practices in its region
                                                   • Wind Electric Power Generation,                    502–6652 (toll free at 1–866–208–3676)                support the delivery of operating reserve
                                                250 employees.                                          or email at ferconlinesupport@ferc.gov,               resources from one balancing authority
                                                   • Geothermal Electric Power                          or the Public Reference Room at (202)                 area to another. There will be a
                                                Generation, 250 employees.                              502–8371, TTY (202) 502–8659. Email                   rebuttable presumption that a Seller
                                                   • Biomass Electric Power Generation,                 the Public Reference Room at                          possesses horizontal market power with
                                                250 employees.                                          public.referenceroom@ferc.gov.                        respect to sales of energy, capacity,
                                                   • Other Electric Power Generation,                   VIII. Effective Date and Congressional
                                                                                                                                                              energy imbalance service, generation
                                                250 employees.                                                                                                imbalance service, operating reserve-
                                                                                                        Notification                                          spinning service, operating reserve-
                                                   82. The categories for the applicable
                                                entities have a size threshold ranging                    88. The Final Rule is effective                     supplemental service, and primary
                                                from 250 employees to 750 employees.                    February 25, 2016. The Commission has                 frequency response service if it fails
                                                For the analysis in this Final Rule, we                 determined, with the concurrence of the               either screen.
                                                are using the threshold of 750                          Administrator of the Office of                        *      *     *    *     *
                                                employees for all categories. We                        Information and Regulatory Affairs of                 [FR Doc. 2015–30140 Filed 11–25–15; 8:45 am]
                                                anticipate that a maximum of 82 percent                 OMB, that this Final Rule is not a                    BILLING CODE 6717–01–P
                                                of the entities potentially affected by                 ‘‘major rule’’ as defined in section 351
                                                this Final Rule are small. In addition,                 of the Small Business Regulatory
                                                we expect that not all of those entities                Enforcement Fairness Act of 1996. This                DEPARTMENT OF ENERGY
                                                will be able to or will choose to offer                 Final Rule is being submitted to the
                                                primary frequency response service.                     Senate, House, Government                             Federal Energy Regulatory
                                                   83. Based on the estimates above in                  Accountability Office, and Small                      Commission
                                                the Information Collection section, we                  Business Administration.
                                                expect a one-time cost of $576                                                                                18 CFR Part 40
                                                                                                        List of Subjects in 18 CFR Part 35
                                                (including the burden cost related to                                                                         [Docket No. RM15–16–000, Order No. 817]
                                                                                                          Electric power rates; Electric utilities;
                                                filing both the tariff and the EQR) for
                                                                                                        Reporting and recordkeeping                           Transmission Operations Reliability
                                                each entity that decides to offer primary
                                                                                                        requirements.                                         Standards and Interconnection
                                                frequency response service.
                                                   84. The Commission does not                            By the Commission.                                  Reliability Operations and
                                                consider the estimated cost per small                     Issued: November 20, 2015.                          Coordination Reliability Standards
                                                entity to impose a significant economic                 Nathaniel J. Davis, Sr.,                              AGENCY:  Federal Energy Regulatory
                                                impact on a substantial number of small                 Deputy Secretary.                                     Commission, Energy.
                                                entities. Accordingly, the Commission                     In consideration of the foregoing, the              ACTION: Final rule.
                                                certifies that this Final Rule will not                 Commission amends Part 35, Chapter I,
                                                have a significant economic impact on                   Title 18, Code of Federal Regulations, as             SUMMARY:   The Commission approves
                                                a substantial number of small entities.                 follows.                                              revisions to the Transmission
                                                                                                                                                              Operations and Interconnection
                                                VII. Document Availability
                                                                                                        PART 35—FILING OF RATE                                Reliability Operations and Coordination
                                                  85. In addition to publishing the full                SCHEDULES AND TARIFFS                                 Reliability Standards, developed by the
                                                text of this document in the Federal                                                                          North American Electric Reliability
                                                Register, the Commission provides all                   ■ 1. The authority citation for Part 35               Corporation, which the Commission has
                                                interested persons an opportunity to                    continues to read as follows:                         certified as the Electric Reliability
                                                view and/or print the contents of this                    Authority: 16 U.S.C. 791a–825r, 2601–               Organization responsible for developing
                                                document via the Internet through the                   2645; 31 U.S.C. 9701; 42 U.S.C. 7101–7352.            and enforcing mandatory Reliability
                                                Commission’s Home Page (http://                                                                               Standards. The Commission also directs
                                                www.ferc.gov) and in the Commission’s                   ■ 2. In § 35.37, revise paragraph (c)(1) to
                                                                                                        read as follows:                                      NERC to make three modifications to
                                                Public Reference Room during normal                                                                           the standards within 18 months of the
                                                business hours (8:30 a.m. to 5:00 p.m.                  § 35.37   Market power analysis required.             effective date of the final rule.
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                                                Eastern time) at 888 First Street NE.,                  *     *     *     *    *                              DATES: This rule will become effective
                                                Room 2A, Washington, DC 20426.                            (c)(1) There will be a rebuttable                   January 26, 2016.
                                                                                                        presumption that a Seller lacks                       FOR FURTHER INFORMATION CONTACT:
                                                  117 13 CFR 121.201, Sector 22, Utilities.
                                                  118 SBA’s
                                                                                                        horizontal market power with respect to               Robert T. Stroh (Legal Information),
                                                            regulations at 13 CFR 121.201 state that
                                                ‘‘[t]he number of employees . . . indicates the
                                                                                                        sales of energy, capacity, energy                       Office of the General Counsel, Federal
                                                maximum allowed for a concern and its affiliates        imbalance service, generation imbalance                 Energy Regulatory Commission, 888
                                                to be considered small.’’                               service, and primary frequency response                 First Street NE., Washington, DC


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Document Created: 2015-12-14 14:05:05
Document Modified: 2015-12-14 14:05:05
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis Final Rule will become effective February 25, 2016.
ContactRahim Amerkhail (General Information), Office of Energy Policy and Innovation, Federal Energy Regulatory Commission, 888 First Street NE., Washington, DC 20426, (202) 502-8266. Gregory Basheda (Market Power Screening Information), Office of Energy Market Regulation, Federal Energy Regulatory Commission, 888 First Street NE., Washington, DC 20426, (202) 502-6479. Lina Naik (Legal Information), Office of the General Counsel, Federal Energy Regulatory Commission, 888 First Street NE., Washington, DC 20426, (202) 502-8882.
FR Citation80 FR 73965 

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