81_FR_40914 81 FR 40793 - Reactive Power Requirements for Non-Synchronous Generation

81 FR 40793 - Reactive Power Requirements for Non-Synchronous Generation

DEPARTMENT OF ENERGY
Federal Energy Regulatory Commission

Federal Register Volume 81, Issue 121 (June 23, 2016)

Page Range40793-40809
FR Document2016-14764

The Federal Energy Regulatory Commission (Commission) is eliminating the exemptions for wind generators from the requirement to provide reactive power by revising the pro forma Large Generator Interconnection Agreement (LGIA), Appendix G to the pro forma LGIA, and the pro forma Small Generator Interconnection Agreement (SGIA). As a result, all newly interconnecting non-synchronous generators will be required to provide reactive power at the high-side of the generator substation as a condition of interconnection as set forth in their LGIA or SGIA as of the effective date of this Final Rule.

Federal Register, Volume 81 Issue 121 (Thursday, June 23, 2016)
[Federal Register Volume 81, Number 121 (Thursday, June 23, 2016)]
[Rules and Regulations]
[Pages 40793-40809]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-14764]


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DEPARTMENT OF ENERGY

Federal Energy Regulatory Commission

18 CFR Part 35

[Docket No. RM16-1-000; Order No. 827]


Reactive Power Requirements for Non-Synchronous Generation

AGENCY: Federal Energy Regulatory Commission, DOE.

ACTION: Final rule.

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SUMMARY: The Federal Energy Regulatory Commission (Commission) is 
eliminating the exemptions for wind generators from the requirement to 
provide reactive power by revising the pro forma Large Generator 
Interconnection Agreement (LGIA), Appendix G to the pro forma LGIA, and 
the pro forma Small Generator Interconnection Agreement (SGIA). As a 
result, all newly interconnecting non-synchronous generators will be 
required to provide reactive power at the high-side of the generator 
substation as a condition of interconnection as set forth in their LGIA 
or SGIA as of the effective date of this Final Rule.

DATES: This Final Rule will become effective September 21, 2016.

FOR FURTHER INFORMATION CONTACT: Brian Bak (Technical Information), 
Office of Energy Policy and Innovation, Federal Energy Regulatory 
Commission, 888 First Street NE., Washington, DC 20426, (202) 502-6574, 
[email protected].
    Gretchen Kershaw (Legal Information), Office of the General 
Counsel, Federal Energy Regulatory Commission, 888 First Street NE., 
Washington, DC 20426, (202) 502-8213, [email protected].

SUPPLEMENTARY INFORMATION: 

Table of Contents

 
                                                               Paragraph
 
I. Background...............................................           6
II. Need for Reform.........................................          11
III. Discussion.............................................          13
    A. Reactive Power Requirement for Non-Synchronous                 16
     Generators.............................................
        1. NOPR Proposal....................................          16
        2. Comments.........................................          17
        3. Commission Determination.........................          21
    B. Power Factor Range, Point of Measurement, and Dynamic          26
     Reactive Power Capability Requirements.................
        1. NOPR Proposal....................................          26
        2. Comments.........................................          27
        3. Commission Determination.........................          34
    C. Real Power Output Level..............................          41
        1. NOPR Proposal....................................          41
        2. Comments.........................................          42
        3. Commission Determination.........................          47
    D. Compensation.........................................          50
        1. NOPR Proposal....................................          50
        2. Comments.........................................          51

[[Page 40794]]

 
        3. Commission Determination.........................          52
    E. Application of the Final Rule........................          53
        1. NOPR Proposal....................................          53
        2. Comments.........................................          54
        3. Commission Determination.........................          59
            a. Newly Interconnecting Non-Synchronous                  60
             Generators.....................................
            b. Upgrades to Existing Non-Synchronous                   64
             Generators.....................................
    F. Regional Flexibility.................................          68
    G. Miscellaneous Comments...............................          70
IV. Compliance and Implementation...........................          74
V. Information Collection Statement.........................          78
VI. Regulatory Flexibility Act Certification................          83
VII. Environmental Analysis.................................          86
VIII. Document Availability.................................          87
IX. Effective Date and Congressional Notification...........          90
 

Order No. 827

Final Rule

    1. The Federal Energy Regulatory Commission (Commission) is 
eliminating the exemptions for wind generators from the requirement to 
provide reactive power by revising the pro forma Large Generator 
Interconnection Agreement (LGIA), Appendix G to the pro forma LGIA, and 
the pro forma Small Generator Interconnection Agreement (SGIA). Under 
this Final Rule, newly interconnecting non-synchronous generators that 
have not yet executed a Facilities Study Agreement as of the effective 
date of this Final Rule will be required to provide dynamic reactive 
power within the range of 0.95 leading to 0.95 lagging at the high-side 
of the generator substation. This Final Rule revises the pro forma LGIA 
and pro forma SGIA to establish reactive power requirements for non-
synchronous generation. Specifically, the pro forma LGIA will include 
the following (the pro forma SGIA will include similar language): \1\
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    \1\ See Section IV of this Final Rule, Compliance and 
Implementation, for the specific changes to the pro forma LGIA and 
pro forma SGIA.

    Non-Synchronous Generation. Interconnection Customer shall 
design the Large Generating Facility to maintain a composite power 
delivery at continuous rated power output at the high-side of the 
generator substation at a power factor within the range of 0.95 
leading to 0.95 lagging, unless the Transmission Provider has 
established a different power factor range that applies to all non-
synchronous generators in the Control Area on a comparable basis. 
This power factor range standard shall be dynamic and can be met 
using, for example, power electronics designed to supply this level 
of reactive capability (taking into account any limitations due to 
voltage level, real power output, etc.) or fixed and switched 
capacitors, or a combination of the two. This requirement shall only 
apply to newly interconnecting non-synchronous generators that have 
not yet executed a Facilities Study Agreement as of the effective 
date of the Final Rule establishing this requirement (Order No. 
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827).

    2. Section 35.28(f)(1) of the Commission's regulations requires 
every public utility with an open access transmission tariff (OATT) on 
file to also have on file the pro forma LGIA and pro forma SGIA 
``required by Commission rulemaking proceedings promulgating and 
amending such interconnection procedures and agreements.'' \2\ As a 
result of this Final Rule, all newly interconnecting non-synchronous 
generators will be required to provide reactive power as a condition of 
interconnection pursuant to the pro forma LGIA and pro forma SGIA. 
These reactive power requirements will apply to any new non-synchronous 
generator seeking to interconnect to the transmission system that has 
not yet executed a Facilities Study Agreement as of the effective date 
of this Final Rule.
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    \2\ 18 CFR 35.28(f)(1) (2015).
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    3. The existing pro forma LGIA and pro forma SGIA both require, as 
a condition of interconnection, an interconnecting generator to design 
its Generating Facility \3\ ``to maintain a composite power delivery at 
continuous rated power output at the Point of Interconnection at a 
power factor \4\ within the range of 0.95 leading to 0.95 lagging'' \5\ 
(the reactive power requirement).
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    \3\ The pro forma LGIA defines ``Generating Facility'' as an 
``Interconnection Customer's device for the production of 
electricity identified in the Interconnection Request,'' excluding 
the Interconnection Customer's Interconnection Facilities. The pro 
forma LGIA further defines ``Large Generating Facility'' as a 
``Generating Facility having a Generating Facility Capacity of more 
than 20 MW.'' The pro forma SGIA defines ``Small Generating 
Facility'' as an ``Interconnection Customer's device for the 
production and/or storage for later injection of electricity 
identified in the Interconnection Request,'' excluding the 
Interconnection Customer's Interconnection Facilities. For purposes 
of this Final Rule, unless otherwise noted, ``Generating Facility'' 
refers to both a Large Generating Facility and a Small Generating 
Facility.
    \4\ The power factor of an alternating current transmission 
system is the ratio of real power to apparent power. Reliable 
operation of a transmission system requires system operators to 
maintain a tight control of voltages (at all points) on the 
transmission system. The ability to vary the ratio of real power to 
apparent power (i.e., adjust the power factor) allows system 
operators to maintain scheduled voltages within allowed for 
tolerances on the transmission system and maintain the reliability 
of the transmission system. The Commission established a required 
power factor range in Order No. 2003 of 0.95 leading to 0.95 
lagging, but allowed transmission providers to establish different 
requirements to be applied on a comparable basis. See 
Standardization of Generator Interconnection Agreements and 
Procedures, Order No. 2003, FERC Stats. & Regs. ] 31,146, at P 542 
(2003), order on reh'g, Order No. 2003-A, FERC Stats. & Regs. ] 
31,160, order on reh'g, Order No. 2003-B, FERC Stats. & Regs. ] 
31,171 (2004), order on reh'g, Order No. 2003-C, FERC Stats. & Regs. 
] 31,190 (2005), aff'd sub nom. Nat'l Ass'n of Regulatory Util. 
Comm'rs v. FERC, 475 F.3d 1277 (D.C. Cir. 2007), cert. denied, 552 
U.S. 1230 (2008).
    \5\ Section 9.6.1 of the pro forma LGIA and section 1.8.1 of the 
pro forma SGIA.
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    4. As discussed below, however, wind generators have been exempt 
from the general requirement to provide reactive power absent a study 
finding that the provision of reactive power is necessary to ensure 
safety or reliability. The Commission exempted wind generators from the 
uniform reactive power requirement because, historically, the costs to 
design and build a wind generator that could provide reactive power 
were high and could have created an obstacle to the development of wind 
generation.\6\ Due to technological advancements, the cost of providing 
reactive power no longer presents an obstacle to the development of 
wind generation.\7\ The resulting decline in the cost to wind 
generators of providing

[[Page 40795]]

reactive power renders the current absolute exemptions unjust, 
unreasonable, and unduly discriminatory and preferential. Further, the 
growing penetration of wind generators on some systems increases the 
potential for a deficiency in reactive power.\8\
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    \6\ Interconnection for Wind Energy, Order No. 661, FERC Stats. 
& Regs. ] 31,186, at P 51, order on reh'g, Order No. 661-A, FERC 
Stats. & Regs. ] 31,198 (2005).
    \7\ See, e.g., Payment for Reactive Power, Commission Staff 
Report, Docket No. AD14-7, app. 2, at 1-3 (Apr. 22, 2014).
    \8\ See, e.g., PJM Interconnection, L.L.C., 151 FERC ] 61,097, 
at P 7 (2015); CAISO Comments at 2-3 (explaining that, in 2014, 
CAISO had over 11,000 MW of interconnected variable energy 
resources, the majority of which are non-synchronous generators, but 
expects to have over 20,000 MW of such resources interconnected by 
2024).
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    5. Given these changes, the Commission finds under section 206 of 
the Federal Power Act (FPA) \9\ that wind generators should not have an 
exemption from the reactive power requirement which is unavailable to 
other generators. While we find that requiring non-synchronous 
generators to provide dynamic reactive power is now reasonable, we 
recognize that distinctions between non-synchronous and synchronous 
generators still exist and that these differences justify requiring 
non-synchronous generators to provide dynamic reactive power at a 
different location than synchronous generators: Non-synchronous 
generators will be required to provide dynamic reactive power at the 
high-side of the generator substation, as opposed to the Point of 
Interconnection. The reactive power requirements we adopt here for 
newly interconnecting non-synchronous generators provide just and 
reasonable terms, which recognize the technical differences of non-
synchronous generators from synchronous generators. These requirements 
also benefit customers by ensuring that reliability is protected 
without adding unnecessary obstacles to further development of non-
synchronous generators.
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    \9\ 16 U.S.C. 824d-e (2012).
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I. Background

    6. Transmission providers require reactive power to control system 
voltage for efficient and reliable operation of an alternating current 
transmission system. At times, transmission providers need generators 
to either supply or consume reactive power. Starting with Order No. 
888,\10\ which included provisions regarding reactive power from 
generators as an ancillary service in Schedule 2 of the pro forma OATT, 
the Commission issued a series of orders intended to ensure that 
sufficient reactive power is available to maintain the reliability of 
the bulk power system.
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    \10\ 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. 
Circuit 2000), aff'd sub nom. New York v. FERC, 535 U.S. 1 (2002).
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    7. Starting with Order No. 2003, the Commission adopted standard 
procedures and a standard agreement for the interconnection of Large 
Generating Facilities (the pro forma LGIA), which included the reactive 
power requirement.\11\ Under this requirement, large generators must 
design their Large Generating Facilities to provide 0.95 leading to 
0.95 lagging reactive power at the Point of Interconnection. 
Synchronous generators have met this requirement by providing dynamic 
reactive power at the Point of Interconnection, utilizing the inherent 
dynamic reactive power capability of synchronous generators. The 
Commission recognized in Order No. 2003-A that the pro forma LGIA was 
``designed around the needs of large synchronous generators and that 
generators relying on newer technologies may find that either a 
specific requirement is inapplicable or that it calls for a slightly 
different approach'' because such generators ``may have unique 
electrical characteristics.'' \12\ Therefore, the Commission exempted 
wind generators from this reactive power requirement.\13\
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    \11\ Order No. 2003, FERC Stats. & Regs. ] 31,146 at PP 1, 542.
    \12\ Order No. 2003-A, FERC Stats. & Regs. ] 31,160 at P 407 & 
n.85.
    \13\ Id. Article 9.6.1 of the pro forma LGIA provides: 
``Interconnection Customer shall design the Large Generating 
Facility to maintain a composite power delivery at continuous rated 
power output at the Point of Interconnection at a power factor 
within the range of 0.95 leading to 0.95 lagging, unless 
Transmission Provider has established different requirements that 
apply to all generators in the Control Area on a comparable basis. 
The requirements of this paragraph shall not apply to wind 
generators.''
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    8. In June 2005, the Commission issued Order No. 661,\14\ 
establishing interconnection requirements in Appendix G to the pro 
forma LGIA for large wind generators.\15\ Recognizing that, unlike 
traditional synchronous generators, wind generators had to ``install 
costly equipment'' to maintain reactive power capability, the 
Commission in Order No. 661 preserved the exemption for large wind 
generators from the reactive power requirement unless the transmission 
provider shows, through a System Impact Study, that reactive power 
capability is required to ensure safety or reliability.\16\ The 
Commission explained that this qualified exemption from the reactive 
power requirement for large wind generators would provide certainty to 
the industry and ``remove unnecessary obstacles to the increased growth 
of wind generation.'' \17\
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    \14\ Interconnection for Wind Energy, Order No. 661, FERC Stats. 
& Regs. ] 31,186, Appendix B (Appendix G--Interconnection 
Requirements for a Wind Generating Plant), order on reh'g, Order No. 
661-A, FERC Stats. & Regs. ] 31,198 (2005).
    \15\ Id. P 1.
    \16\ Id. PP 50-51. Appendix G states: ``A wind generating plant 
shall maintain a power factor within the range of 0.95 leading to 
0.95 lagging, measured at the Point of Interconnection as defined in 
this LGIA, if the Transmission Provider's System Impact Study shows 
that such a requirement is necessary to ensure safety or 
reliability.''
    \17\ Id. P 50.
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    9. In May 2005, the Commission issued Order No. 2006,\18\ in which 
it adopted standard procedures and a standard agreement for the 
interconnection of Small Generating Facilities (pro forma SGIA).\19\ In 
Order No. 2006, the Commission completely exempted small wind 
generators from the reactive power requirement.\20\ The Commission 
reasoned that, similar to large wind generators, small wind generators 
would face increased costs to provide reactive power that could create 
an obstacle to the development of small wind generators. Additionally, 
the Commission reasoned that small wind generators would ``have minimal 
impact on the Transmission Provider's electric system'' and therefore 
the reliability requirements for large wind generators that were 
eventually imposed in Order No. 661 were not needed for small wind 
generators.\21\
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    \18\ Standardization of Small Generator Interconnection 
Agreements and Procedures, Order No. 2006, FERC Stats. & Regs. ] 
31,180, Attachment F (Small Generator Interconnection Agreement), 
order on reh'g, Order No. 2006-A, FERC Stats. & Regs. ] 31,196 
(2005), order granting clarification, Order No. 2006-B, FERC Stats. 
& Regs. ] 31,221 (2006).
    \19\ Id. P 1.
    \20\ Id. P 387. Section 1.8.1 of the pro forma SGIA states: 
``The Interconnection Customer shall design its Small Generating 
Facility to maintain a composite power delivery at continuous rated 
power output at the Point of Interconnection at a power factor 
within the range of 0.95 leading to 0.95 lagging, unless the 
Transmission Provider has established different requirements that 
apply to all similarly situated generators in the control area on a 
comparable basis. The requirements of this paragraph shall not apply 
to wind generators.''
    \21\ Id. P 24.
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    10. Since the Commission provided these exemptions from the 
reactive power requirement for wind generators, the equipment needed 
for a wind generator to provide reactive power has become more 
commercially available and less costly, such that the cost of 
installing equipment that is capable of providing reactive power is 
comparable

[[Page 40796]]

to the costs of a traditional generator.\22\ Recognizing these factors, 
the Commission recently accepted a proposal by PJM Interconnection, 
L.L.C. (PJM), effectively removing the wind generator exemptions from 
the PJM tariff.\23\ Specifically, the Commission granted PJM an 
``independent entity variation'' from Order No. 661 in accepting PJM's 
proposal to require interconnection customers seeking to interconnect 
non-synchronous generators,\24\ including wind generators, to use 
``enhanced inverters'' with the capability to provide reactive 
power.\25\ The Commission observed that, ``[a]lthough there are still 
technical differences between non-synchronous generators [such as wind 
generators] and traditional generators, with regard to the provision of 
reactive power, those differences have significantly diminished since 
the Commission issued Order No. 661.'' \26\ The Commission agreed with 
PJM ``that the technology has changed both in availability and in cost 
since the Commission rejected [the California Independent System 
Operator's] proposal in 2010,'' such that ``PJM's proposal will not 
present a barrier to non-synchronous resources.'' \27\
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    \22\ See, e.g., Payment for Reactive Power, Commission Staff 
Report, Docket No. AD14-7, app. 1, at 6, app. 2, at 4-5 (Apr. 22, 
2014).
    \23\ PJM Interconnection, L.L.C., 151 FERC ] 61,097 at P 28.
    \24\ Non-synchronous generators are ``connected to the bulk 
power system through power electronics, but do not produce power at 
system frequency (60 Hz).'' They ``do not operate in the same way as 
traditional generators and respond differently to network 
disturbances.'' Id. P 1 n.3 (citing Order No. 661, FERC Stats. & 
Regs. ] 31,198 at P 3 n.4). Wind and solar photovoltaic generators 
are two examples of non-synchronous generators.
    \25\ Id. PP 1, 6.
    \26\ Id. P 28.
    \27\ Id.
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II. Need for Reform

    11. Based upon this information, on November 19, 2015, the 
Commission issued a Proposal to Revise Standard Generator 
Interconnection Agreements (NOPR) that proposed to eliminate the 
exemptions for wind generators from the requirement to provide reactive 
power as contained in the pro forma LGIA, Appendix G to the pro forma 
LGIA, and the pro forma SGIA.\28\ In the NOPR, the Commission sought 
comment on: Whether to remove the exemptions for wind generators from 
the reactive power requirement; whether the current power factor range 
of 0.95 leading to 0.95 lagging, as set forth in the existing pro forma 
LGIA and pro forma SGIA, is reasonable given the technology used by 
non-synchronous generators; whether newly interconnecting non-
synchronous generators should only be required to produce reactive 
power when the generator's real power output is greater than 10 percent 
of nameplate capacity; and whether the existing methods used to 
determine reactive power compensation are appropriate for wind 
generators and, if not, what alternatives would be appropriate.\29\
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    \28\ Reactive Power Requirements for Non-Synchronous Generation, 
Notice of Proposed Rulemaking, 80 Fed Reg. 73,683 (Nov. 25, 2015), 
FERC Stats. & Regs. ] 32,712 (2015).
    \29\ Id. P 18.
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    12. In response to the NOPR, 24 entities submitted comments,\30\ 
most of which generally support the proposed elimination of the 
exemptions. However, some commenters seek clarification of various 
issues that fall into six broad categories: (1) Comments regarding 
where the reactive power requirement should be measured (the Point of 
Interconnection, the generator terminals, or elsewhere); (2) comments 
contesting the proposal to require fully dynamic reactive power 
capability; (3) comments contesting the proposal to require non-
synchronous generators to maintain the required power factor range only 
when the generator's real power output exceeds 10 percent of its 
nameplate capacity; (4) comments on compensation methods for reactive 
power; (5) comments seeking clarification as to which non-synchronous 
resources the Final Rule will apply; and (6) comments on the need for 
regional flexibility.
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    \30\ See Appendix A for a list of entities that submitted 
comments and the shortened names used throughout this Final Rule to 
describe those entities.
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III. Discussion

    13. The Commission finds that, given the changes to the cost of 
providing reactive power by non-synchronous generators, as well as the 
growing penetration of such generators, the reactive power requirements 
in the pro forma LGIA and pro forma SGIA are no longer just and 
reasonable and are unduly discriminatory and preferential and, thus, 
need to be revised. We have determined in this Final Rule to apply 
comparable reactive power requirements to non-synchronous generators 
and synchronous generators. We recognize technological differences 
between non-synchronous and synchronous generators still remain. 
Because of the configuration and means of producing power of 
synchronous generators, these generators provide dynamic reactive power 
at the Point of Interconnection. Many commenters point out, however, 
that the advancements in technology do not permit some non-synchronous 
generators to provide dynamic reactive power at reasonable cost at the 
Point of Interconnection. Recognizing the differences between the two 
categories of generation, we have determined to require non-synchronous 
generators to provide dynamic reactive power at the high-side of the 
generator substation.\31\
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    \31\ This measurement point is different from Order No. 2003 
requirement, which measures the power factor at the Point of 
Interconnection. As an example, the generator substation would be 
the substation for a wind generator that separates the low-voltage 
collector system from the higher voltage elements of the 
Interconnection Customer Interconnection Facilities that bring the 
generator's energy to the Point of Interconnection. Both the pro 
forma Large Generator Interconnection Procedures and the pro forma 
Small Generator Interconnection Procedures require interconnecting 
generators to provide a simplified one-line diagram of the plant and 
station facilities, which will be appended to the interconnection 
agreement.
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    14. The requirements adopted by this Final Rule are intended to 
ensure that all generators, both synchronous and non-synchronous, are 
treated in a not unduly discriminatory or preferential manner, as 
required by sections 205 and 206 of the FPA, and to ensure sufficient 
reactive power is available on the bulk power system as more non-
synchronous generators seek to interconnect and more synchronous 
generators retire.
    15. We discuss below the issues raised in the comments.

A. Reactive Power Requirement for Non-Synchronous Generators

1. NOPR Proposal
    16. In the NOPR, the Commission proposed to eliminate the 
exemptions for wind generators from the reactive power requirement, and 
thereby to require that all newly interconnecting non-synchronous 
generators provide reactive power as a condition of 
interconnection.\32\
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    \32\ NOPR, FERC Stats. & Regs. ] 32,712 at P 12.
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2. Comments

    17. Most commenters agree that the current exemptions for wind 
generators from the reactive power requirement are unjust, 
unreasonable, and unduly discriminatory and preferential due to 
increases in the number and size of non-synchronous generators, and 
advances in non-synchronous generator technology.\33\ Commenters 
contend that operation and planning of the bulk power system requires 
adequate levels of voltage support, and that exempting wind generators 
from the reactive power requirement may inhibit the proper

[[Page 40797]]

operation of the bulk power system.\34\ Specifically, commenters assert 
that non-synchronous generators are increasingly replacing synchronous 
generators, which is resulting in a decrease in the amount of dynamic 
reactive power available to the transmission system.\35\ Commenters 
also contend that the inverters used by most non-synchronous generators 
today are manufactured with the inherent capability to produce reactive 
power.\36\ Therefore, commenters generally support the Commission's 
proposal to create comparable reactive power requirements for non-
synchronous and synchronous generators.\37\ While the Public Interest 
Organizations support the removal of the exemptions for wind generators 
from the reactive power requirement, they ask that the Commission not 
impose unduly burdensome requirements on non-synchronous 
generators.\38\
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    \33\ EEI Comments at 5; Indicated NYTOs Comments at 2-3; ISO/RTO 
Council Comments at 4; ISO-NE Comments at 9-10; MISO Comments at 2.
    \34\ CAISO Comments at 2-5; ISO/RTO Council Comments at 5; ISO-
NE Comments at 9; NERC Comments at 5-6; Six Cities Comments at 3-4.
    \35\ CAISO Comments at 2-3; EEI Comments at 4-5; ITC Comments at 
1-2; SCE Comments at 2; SDG&E Comments at 2.
    \36\ CAISO Comments at 3; ISO/RTO Council Comments at 5; MISO 
Comments at 2-3; NaturEner Comments at 2; NERC Comments at 9; SCE 
Comments at 2.
    \37\ CAISO Comments at 3; EEI Comments at 6-7; EPSA Comments at 
3; Idaho Power Comments at 1; Indicated NYTOs Comments at 2; ISO/RTO 
Council Comments at 4; ISO-NE Comments at 7-8; ITC Comments at 1; 
Lincoln Comments at 1-2; MISO Comments at 1-2; NEPOOL Initial 
Comments at 6; SCE Comments at 2; SDG&E Comments at 3.
    \38\ Public Interest Organizations Comments at 1.
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    18. Commenters argue that it is more effective to have a standard 
reactive power requirement for wind generators than requiring 
transmission providers to show through a System Impact Study the need 
for reactive power from an interconnecting wind generator on a case-by-
case basis because a System Impact Study may not reflect the future 
needs of the transmission system.\39\ CAISO explains that deficiencies 
in reactive power support may only become apparent when there are high 
levels of variable energy resources and low demand, or when certain 
transmission infrastructure or synchronous generators are out of 
service.\40\ Because System Impact Studies do not study all conditions, 
CAISO contends they may not capture these deficiencies before a wind 
generator interconnects to the transmission system.\41\ Therefore, 
CAISO, as well as the ISO/RTO Council, assert that transmission 
providers may need to remedy deficiencies in reactive power support 
that were not identified through a System Impact Study through 
authorization and development of transmission infrastructure 
upgrades.\42\
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    \39\ CAISO Comments at 4-5; EEI Comments at 5-6; ISO/RTO Council 
Comments at 5; ISO-NE Comments at 2.
    \40\ CAISO Comments at 4.
    \41\ Id.
    \42\ CAISO Comments at 4; ISO/RTO Council Comments at 5.
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    19. Commenters argue that relying on transmission system upgrades 
after a wind generator interconnects, or relying on more recently 
interconnected generation resources, to meet reactive power 
deficiencies may shift the cost of providing reactive power from one 
interconnection customer to another. Specifically, if a System Impact 
Study does not show that an earlier interconnecting wind generator 
needs to provide reactive power, but, as a result of the combination of 
existing and new wind generators, a System Impact Study for a later 
interconnecting wind generator does make that showing, the newer 
interconnecting wind generator would have the entire burden of 
supplying reactive power instead of sharing equally with the other wind 
generators creating the need for reactive power.\43\ Further, 
commenters assert that requiring transmission providers to show through 
a System Impact Study the need for reactive power from interconnecting 
wind generators leads to delays and increased costs in processing 
interconnection requests.\44\ Commenters argue that a uniform reactive 
power requirement for non-synchronous generators may result in reduced 
costs for wind development by allowing standardization of components 
and equipment.\45\ Additionally, ISO-NE argues that the difficulty in 
demonstrating a need for reactive power through a System Impact Study 
has resulted in some wind generators not being required to install 
reactive power equipment and, consequently, not being able to deliver 
real power during certain system conditions as a result of insufficient 
reactive power capability.\46\ According to ISO-NE., this situation has 
resulted in transmission system operators needing to curtail wind 
generators as a result of unstudied real-time system 
characteristics.\47\
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    \43\ ISO/RTO Council Comments at 5; Union of Concerned 
Scientists Comments at 4-5.
    \44\ ISO-NE Comments at 2, 4, 10; NEPOOL Initial Comments at 5.
    \45\ Indicated NYTOs Comments at 2; Joint NYTOs Comments at 2.
    \46\ ISO-NE Comments at 5.
    \47\ Id. at 6.
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    20. Several independent system operators (ISOs) and regional 
transmission organizations (RTOs) have been developing new reactive 
power requirements and procedures to address deficiencies in the 
current method of requiring transmission providers to show through a 
System Impact Study that reactive power from an interconnecting wind 
generator is necessary to ensure safety or reliability.\48\
---------------------------------------------------------------------------

    \48\ CAISO Comments at 1-2; ISO-NE Comments at 6; NEPOOL Initial 
Comments at 4.
---------------------------------------------------------------------------

3. Commission Determination
    21. Based on the comments filed in response to the NOPR, and the 
record in the PJM and ISO-NE proceedings accepting PJM's and ISO-NE's 
reactive power requirements for non-synchronous generators,\49\ the 
Commission adopts in this Final Rule reactive power requirements for 
newly interconnecting non-synchronous generators, as discussed in 
greater detail below. We find the continued exemptions from the 
reactive power requirement in the pro forma LGIA and the pro forma SGIA 
for newly interconnecting wind generators to be unjust, unreasonable, 
and unduly discriminatory and preferential.
---------------------------------------------------------------------------

    \49\ On April 15, 2016, after issuing the NOPR and receiving 
comments, the Commission approved ISO-NE's proposal to eliminate the 
exemptions for wind generators from the reactive power requirement. 
ISO New England Inc., 155 FERC ] 61,031 (2016). The Commission 
previously accepted PJM's similar proposal. See PJM Interconnection, 
L.L.C., 151 FERC ] 61,097 (2015).
---------------------------------------------------------------------------

    22. Non-synchronous generators other than wind generators currently 
are not exempt from the reactive power requirement in the pro forma 
LGIA and pro forma SGIA,\50\ although the Commission has treated other 
types of non-synchronous generators in the same manner as wind 
generators on a case-by-case basis.\51\ We proposed in the NOPR \52\ to 
apply the Final Rule to all non-synchronous generators, and received no 
adverse comments. This Final Rule will apply to all newly

[[Page 40798]]

interconnecting non-synchronous generators that have not yet executed a 
Facilities Study Agreement as of the effective date of this Final Rule.
---------------------------------------------------------------------------

    \50\ Order Nos. 2003, 661, and 2006 explicitly exempted only 
wind generators from the reactive power requirement. See Order No. 
661, FERC Stats. & Regs. ] 31,186 at P 106 (``While we are not 
applying the Final Rule Appendix G to non-wind technologies, we may 
do this in the future, or take other generic or case-specific 
actions, if another technology emerges for which a different set of 
interconnection requirements is necessary.'').
    \51\ See Nevada Power Co., 130 FERC ] 61,147, at P 27 (2010) 
(``[C]onsistent with our requirements for all wind facilities in 
Order No. 661, the Commission will require based on the facts of 
this case, that, before Nevada Power may require El Dorado's solar 
facility to be capable of providing reactive power, Nevada Power 
must show, through a system impact study, that such a requirement is 
necessary to ensure the safety or reliability of the grid.''); id. P 
24 (``We agree . . . that this is not the appropriate proceeding in 
which to make a generic determination on whether to extend to solar 
generators wind power's exemption from the requirement to provide 
reactive power support.'').
    \52\ E.g., NOPR, FERC Stats. & Regs. ] 32,712 at P 17.
---------------------------------------------------------------------------

    23. Older wind turbine generators consumed reactive power, but, 
because they did not use inverters like other non-synchronous 
generators, they lacked the capability to produce and control reactive 
power without the use of costly equipment.\53\ Based on technological 
improvements since the Commission created the exemptions for wind 
generators, requiring newly interconnecting wind generators to provide 
reactive power is not the obstacle to the development of wind 
generation that it was when the Commission issued Order Nos. 2003, 661, 
and 2006.\54\ In particular, the wind turbines being installed today 
are generally Type III and Type IV inverter-based turbines,\55\ which 
are capable of producing and controlling dynamic reactive power, which 
was not the case in 2005 when the Commission exempted wind generators 
from the reactive power requirement in Order No. 661.\56\
---------------------------------------------------------------------------

    \53\ Order No. 661, FERC Stats. & Regs. ] 31,186 at PP 50-51.
    \54\ As discussed above, in exempting wind generators from the 
reactive power requirement, the Commission sought to avoid creating 
an obstacle to the development of wind generation. For example, in 
Order No. 661, the Commission was concerned with ``remov[ing] 
unnecessary obstacles to the increased growth of wind generation.'' 
Id. P 50.
    \55\ A Type III wind turbine is a non-synchronous wound-rotor 
generator that has a three phase AC field applied to the rotor from 
a partially-rated power-electronics converter. A Type IV wind 
turbine is an AC generator in which the stator windings are 
connected to the power system through a fully-rated power-
electronics converter. Both Type III and Type IV wind turbines have 
inherent reactive power capabilities.
    \56\ Id. PP 50-51.
---------------------------------------------------------------------------

    24. We therefore conclude that improvements in technology, and the 
corresponding declining costs for newly interconnecting wind generators 
to provide reactive power, make it unjust, unreasonable, and unduly 
discriminatory and preferential to exempt such non-synchronous 
generators from the reactive power requirement when other types of 
generators are not exempt. Further, requiring all newly interconnecting 
non-synchronous generators to design their Generating Facilities to 
maintain the required power factor range ensures they are subject to 
comparable requirements as other generators.\57\
---------------------------------------------------------------------------

    \57\ See, e.g., Sw. Power Pool, Inc., 119 FERC ] 61,199, at P 29 
(``Providing reactive power within the [standard power factor range] 
is an obligation of a generator, and is as much an obligation of a 
generator as, for example, operating in accordance with Good Utility 
Practice.''), order on reh'g, 121 FERC ] 61,196 (2007).
---------------------------------------------------------------------------

    25. The Commission also is concerned that, as the penetration of 
non-synchronous generators continues to grow, exempting a class of 
generators from providing reactive power could create reliability 
concerns, especially if those generators represent a substantial amount 
of total generation in a particular region, or if many of the resources 
that currently provide reactive power are retired from operation. In 
addition, as noted above, maintaining the exemptions for wind 
generators places an undue burden on synchronous generators to supply 
reactive power without a reasonable technological or cost-based 
distinction between synchronous and non-synchronous generators.\58\ 
Therefore, the Commission concludes that the continued exemptions from 
the reactive power requirement for newly interconnecting wind 
generators are unjust, unreasonable, and unduly discriminatory and 
preferential. For these reasons, the Commission revises the pro forma 
LGIA, Appendix G to the pro forma LGIA, and the pro forma SGIA to 
eliminate the exemptions for wind generators from the reactive power 
requirement.\59\
---------------------------------------------------------------------------

    \58\ See PJM Interconnection, L.L.C., 151 FERC ] 61,097 at P 7; 
Payment for Reactive Power, Commission Staff Report, Docket No. 
AD14-7, app. 1 (Apr. 22, 2014).
    \59\ The Final Rule does not revise any regulatory text. The 
Final Rule revises the pro forma LGIA and pro forma SGIA in 
accordance with section 35.28(f)(1) of the Commission's regulations, 
which provides: ``Every public utility that is required to have on 
file a non-discriminatory open access transmission tariff under this 
section must amend such tariff by adding the standard 
interconnection procedures and agreement and the standard small 
generator interconnection procedures and agreement required by 
Commission rulemaking proceedings promulgating and amending such 
interconnection procedures and agreements, or such other 
interconnection procedures and agreements as may be required by 
Commission rulemaking proceedings promulgating and amending the 
standard interconnection procedures and agreement and the standard 
small generator interconnection procedures and agreement.'' 18 CFR 
35.28(f)(1) (2015). See Integration of Variable Energy Resources, 
Order No. 764, FERC Stats. & Regs. ] 31,331, at PP 343-345 (adopting 
this regulatory text effective September 11, 2012), order on reh'g 
and clarification, Order No. 764-A, 141 FERC ] 61,232 (2012), order 
on clarification and reh'g, Order No. 764-B, 144 FERC ] 61,222 
(2013). While not revising regulatory text, the Commission is using 
the process provided for rulemaking proceedings, as defined in 5 
U.S.C. 551(4)-(5) (2012).
---------------------------------------------------------------------------

B. Power Factor Range, Point of Measurement, and Dynamic Reactive Power 
Capability Requirements

1. NOPR Proposal
    26. The Commission proposed in the NOPR as part of the reactive 
power requirements for non-synchronous generators to require all newly 
interconnecting non-synchronous generators to design their Generating 
Facilities to maintain a composite power delivery at continuous rated 
power output at the Point of Interconnection at a power factor within 
the range of 0.95 leading to 0.95 lagging.\60\ Further, the Commission 
proposed to require that the reactive power capability installed by 
non-synchronous generators be dynamic.\61\
---------------------------------------------------------------------------

    \60\ NOPR, FERC Stats. & Regs. ] 32,712 at P 16.
    \61\ Id. P 14.
---------------------------------------------------------------------------

2. Comments
    27. Several commenters support the Commission's proposal to measure 
the reactive power requirement at the Point of Interconnection.\62\ 
Commenters note that measuring the reactive power requirement at the 
Point of Interconnection is consistent with the current requirement in 
the pro forma LGIA for measuring the reactive power requirement where a 
transmission provider's System Impact Study shows the need for reactive 
power from an interconnecting wind generator.\63\ Midwest Energy argues 
that transmission providers are only concerned with power factor and 
voltage at the Point of Interconnection.\64\ CAISO asserts that 
measuring the reactive power requirement at the Point of 
Interconnection gives interconnection customers flexibility in how they 
design their generator projects to meet the reactive power 
requirement.\65\ CAISO states that inverter manufacturers informed 
CAISO that current inverters used by most non-synchronous generators 
are capable of producing 0.95 leading and 0.95 lagging reactive power 
at full real power output at the generator's Point of 
Interconnection.\66\ NextEra acknowledges that the common approach 
within ISOs/RTOs is to measure reactive power at the Point of 
Interconnection, but suggests that if reactive power is measured at the 
Point of Interconnection, then the Commission should maintain the 
flexibility for non-synchronous generators to meet that requirement 
using static reactive power devices if agreed to by the transmission 
provider, as provided for in Appendix G to the pro forma LGIA.\67\ 
NaturEner asserts that, depending on the length of the collector 
system, transformer substation characteristics, and the length of the

[[Page 40799]]

Interconnection Customer Interconnection Facilities from the generator 
terminals to the Point of Interconnection, it may not be possible for 
non-synchronous generators to meet the 0.95 leading to 0.95 lagging 
reactive power requirement at the Point of Interconnection without 
installing additional equipment.\68\
---------------------------------------------------------------------------

    \62\ CAISO Comments at 6; EEI Comments at 8; Indicated NYTOs 
Comments at 4; Midwest Energy Comments at 9; NERC Comments at 9.
    \63\ CAISO Comments at 6; EEI Comments at 7.
    \64\ Midwest Energy Comments at 9.
    \65\ CAISO Comments at 6.
    \66\ Id. at 3.
    \67\ NextEra Comments at 10-11.
    \68\ NaturEner Comments at 3.
---------------------------------------------------------------------------

    28. On the other hand, some commenters disagree with the NOPR 
proposal and argue that the reactive power requirement should be 
measured at the generator terminals rather than at the Point of 
Interconnection for non-synchronous generators. They assert that 
measuring at the Point of Interconnection would result in significantly 
higher costs for non-synchronous generators than measuring at the 
generator terminals. They also argue that, because of the often 
significant distance between non-synchronous generator terminals and 
the Point of Interconnection, measuring the reactive power requirement 
for non-synchronous generators at the generator terminals would result 
in a reactive power requirement that is comparable to measuring at the 
Point of Interconnection for synchronous generators.\69\ AWEA and LSA 
contend that synchronous and non-synchronous generators are not 
similarly situated due to the fact that non-synchronous generators are 
typically located geographically and electrically farther from the 
Point of Interconnection than synchronous generators.\70\ Therefore, 
AWEA and LSA request that non-synchronous generators have the option to 
meet the reactive power requirement at the generator terminals, even if 
the requirement at that point is more stringent (e.g., 0.95 leading to 
0.90 lagging) than at the Point of Interconnection.\71\ AWEA and LSA 
note that they supported the independent entity variation from Order 
No. 661 in PJM in part because the reactive power requirement is 
measured at the generator terminals.\72\
---------------------------------------------------------------------------

    \69\ AWEA and LSA Comments at 12; Joint NYTOs Comments at 3-4; 
Public Interest Organizations Comments at 2; Union of Concerned 
Scientists Comments at 3.
    \70\ AWEA and LSA Comments at 12.
    \71\ Id. at 10, 12-13.
    \72\ Id. at 10-11.
---------------------------------------------------------------------------

    29. Some commenters argue that, due to the configuration of typical 
non-synchronous generators, additional investment is required to 
supplement the inherent dynamic reactive power capability of the 
generators to meet the reactive power requirement at the Point of 
Interconnection; therefore, they assert that requiring measurement at 
the Point of Interconnection would reset the costs for non-synchronous 
generators to a level higher than that which the Commission considered 
in approving PJM's independent entity variation.\73\ In addition to 
equipment investment, AWEA and LSA contend that, in many situations, 
providing excess reactive power at the generator terminals to meet the 
reactive power requirement at the Point of Interconnection would result 
in a large decrease in real power output, and accompanying lost 
opportunity costs and lost zero-emission, zero-fuel cost energy.\74\ 
Similarly, NaturEner argues that the proposed power factor range of 
0.95 leading to 0.95 lagging is only reasonable if the reactive power 
requirement is measured at the generator terminals.\75\ NaturEner 
contends that measuring the reactive power requirement at the generator 
terminals will result in sufficient voltage control at the Point of 
Interconnection.\76\ Alternatively, NaturEner also suggests that it 
would be reasonable to require a power factor range of 0.95 leading to 
0.95 lagging at the generator substation.\77\ Finally, NaturEner argues 
that any additional reactive power needs could be determined in a 
System Impact Study.\78\
---------------------------------------------------------------------------

    \73\ AWEA and LSA Comments at 10-12; NextEra Comments at 9; 
Union of Concerned Scientists Comments at 3-4.
    \74\ AWEA and LSA Comments at 11.
    \75\ NaturEner Comments at 3.
    \76\ Id. at 3-4.
    \77\ Id. at 3.
    \78\ Id. at 4; see also Midwest Energy Comments at 10.
---------------------------------------------------------------------------

    30. While CAISO allows synchronous generators to provide reactive 
power at the generator terminals, CAISO does not support providing this 
option to non-synchronous generators. CAISO argues that measuring the 
reactive power requirement at the generator terminals is inappropriate 
for non-synchronous generators because non-synchronous generators often 
use multiple transformers, collection circuits, and substations to 
transmit real power across lengthy Interconnection Customer 
Interconnection Facilities from the generator terminal to the Point of 
Interconnection, reducing the amount of reactive power that reaches the 
transmission system. In contrast, CAISO explains that the configuration 
of synchronous generators typically involves a single transformer and 
short Interconnection Customer Interconnection Facilities from the 
generator terminal to the Point of Interconnection, making measuring 
the reactive power requirement at the generator terminals for 
synchronous generators appropriate for ensuring that sufficient 
reactive power is provided to the transmission system.\79\
---------------------------------------------------------------------------

    \79\ CAISO Comments at 6-7.
---------------------------------------------------------------------------

    31. As to the Commission's proposal to require fully dynamic 
reactive power capability, commenters in support argue that requiring 
dynamic reactive power capability allows generators to operate across a 
broader range of operating conditions than allowing static reactive 
power devices.\80\ ISO-NE asserts that requiring fully dynamic reactive 
power capability is consistent with the historic requirement that 
synchronous generators provide dynamic reactive power.\81\ ISO-NE 
contends that generators are more effective at providing dynamic 
reactive power compared to transmission infrastructure.\82\
---------------------------------------------------------------------------

    \80\ EEI Comments at 8; ISO-NE Comments at 8.
    \81\ ISO-NE Comments at 8.
    \82\ Id. at 9.
---------------------------------------------------------------------------

    32. Conversely, other commenters disagree with the proposal to 
require fully dynamic reactive power capability. SDG&E contends that 
such a requirement is not necessary and that allowing non-synchronous 
generators to use static reactive power devices to meet the reactive 
power requirement will provide flexibility to generator developers and 
keep costs at a reasonable level.\83\ SDG&E suggests that the dynamic 
reactive power capability requirement only be for 0.985 leading to 
0.985 lagging reactive power capability.\84\ Other commenters assert 
that the existing pro forma LGIA and pro forma SGIA neither define 
``dynamic'' reactive power capability, nor specify a mix of static 
versus dynamic reactive power capability that a generator must 
maintain, and that the Commission should not specify such a mix in this 
proceeding.\85\ Rather, AWEA and LSA argue that it would be 
discriminatory to require non-synchronous generators to maintain fully 
dynamic reactive power capability because their configuration results 
in significant loss of dynamic reactive power from the generator 
terminal to the Point of Interconnection. Instead, AWEA and LSA argue 
that static reactive power devices are necessary and effective to 
supplement the dynamic reactive power capability of the generator to 
provide reactive power at the Point of Interconnection.\86\
---------------------------------------------------------------------------

    \83\ SDG&E Comments at 3-4.
    \84\ Id. at 4.
    \85\ AWEA and LSA Comments at 8; EEI Comments at 8; Midwest 
Energy Comments at 5; NextEra Comments at 6.
    \86\ AWEA and LSA Comments at 9; see also Midwest Energy 
Comments at 6.
---------------------------------------------------------------------------

    33. NextEra argues that if the proposed reactive power requirement 
is

[[Page 40800]]

for fully dynamic reactive power capability, then measuring the 
requirement at the generator terminals for non-synchronous generators 
is required to ensure comparable treatment to synchronous 
generators.\87\ NextEra contends that the cost of providing reactive 
power is manageable at the Point of Interconnection if the flexibility 
provided in section 9.6.1 of the pro forma LGIA is maintained and the 
reactive power requirement can be met with static reactive power 
devices, but that the requirement could be cost-prohibitive if non-
synchronous generators are required to install dynamic reactive power 
devices.\88\ Commenters request that the Commission clarify that it did 
not intend to specify that a non-synchronous generator must meet the 
reactive power requirement with only dynamic reactive power 
capability.\89\ Specifically, NextEra argues that the Commission should 
not remove paragraph A.ii of Appendix G to the pro forma LGIA because 
it provides important provisions regarding the types of devices that 
can be used to meet the reactive power requirement.\90\
---------------------------------------------------------------------------

    \87\ NextEra Comments at 9-10.
    \88\ Id. at 9; NextEra Supplemental Comments at 4.
    \89\ AWEA and LSA Comments at 9; Midwest Energy Comments at 6; 
NextEra Comments at 7.
    \90\ NextEra Comments at 8.
---------------------------------------------------------------------------

3. Commission Determination
    34. We will require the reactive power requirements in the pro 
forma LGIA and pro forma SGIA for non-synchronous generators to be 
measured at the high-side of the generator substation. Newly 
interconnecting non-synchronous generators will be required to design 
their Generating Facilities to maintain a composite power delivery at 
continuous rated power output at the high-side of the generator 
substation. At that point, the non-synchronous generator must provide 
dynamic reactive power within the power factor range of 0.95 leading to 
0.95 lagging, unless the transmission provider has established a 
different power factor range that applies to all non-synchronous 
generators in the transmission provider's control area on a comparable 
basis.\91\ To ensure there is no undue discrimination, we clarify that 
the ability of a transmission provider to establish different 
requirements is limited to establishing a different power factor range, 
and not to the other reactive power requirements.
---------------------------------------------------------------------------

    \91\ Under these provisions, transmission providers may 
establish a different power factor range for synchronous or non-
synchronous generators as long as the requirement applies to all 
generators in each class on a comparable basis. See Order No. 2003, 
FERC Stats. & Regs. ] 31,146 at P 542 (``We adopt the power factor 
requirement of 0.95 leading to 0.95 lagging because it is a common 
practice in some NERC regions. If a Transmission Provider wants to 
adopt a different power factor requirement, Final Rule LGIA Article 
9.6.1 permits it to do so as long as the power factor requirement 
applies to all generators on a comparable basis.'').
---------------------------------------------------------------------------

    35. Non-synchronous generators may meet the dynamic reactive power 
requirement by utilizing a combination of the inherent dynamic reactive 
power capability of the inverter, dynamic reactive power devices (e.g., 
Static VAR Compensators), and static reactive power devices (e.g., 
capacitors) to make up for losses. In developing this reactive power 
requirement for non-synchronous generators, the Commission is balancing 
the costs to newly-interconnecting non-synchronous generators of 
providing reactive power with the benefits to the transmission system 
of having another source of reactive power.
    36. Although the Commission in the NOPR considered measuring the 
reactive power requirements for non-synchronous generators at the Point 
of Interconnection, we are persuaded by commenters' arguments that 
requiring fully dynamic reactive power capability at the Point of 
Interconnection may result in significantly increased costs for non-
synchronous generators in meeting the reactive power requirements.\92\ 
These added costs will ultimately be borne by customers, whether 
through reactive power payments in regions that compensate for reactive 
power capability, or through elevated prices for capacity or energy in 
regions that do not compensate for reactive power capability. In 
contrast, measuring the reactive power requirements at the high-side of 
the generator substation, rather than at the Point of Interconnection, 
will be less expensive for non-synchronous generators because a greater 
amount of the inherent dynamic reactive power capability of the 
inverters associated with non-synchronous generators will be available 
at the high-side of the generator substation than at the Point of 
Interconnection.
---------------------------------------------------------------------------

    \92\ See, e.g., NaturEner Comments at 3 (``Based on the above 
technological and cost-based reasons, NaturEner believes the +/- 
0.95 requirement is reasonable if the Proposed Rule is refined to 
measure the requirement at the wind turbine terminals (or as an 
alternative at the wind farm substation), and not at the Point of 
Interconnection.'').
---------------------------------------------------------------------------

    37. In adopting the Point of Interconnection as the point of 
measurement for large wind plants in Order No. 661, the Commission 
balanced the case-by-case reactive power requirement with the needs of 
the transmission system.\93\ Here, we remove the case-by-case approach, 
and require that all newly interconnecting non-synchronous generators 
provide reactive power as a condition of interconnection. By requiring 
all newly interconnecting non-synchronous generators to provide 
reactive power, we are increasing the amount of reactive power 
available to meet transmission system needs, and, at the same time, 
balancing the costs to non-synchronous generators of providing that 
reactive power by measuring the requirements at the high-side of the 
generator substation.
---------------------------------------------------------------------------

    \93\ Order No. 661, FERC Stats. & Regs. ] 31,186 at P 59.
---------------------------------------------------------------------------

    38. Similarly, in Order No. 661, the Commission was not convinced 
that dynamic reactive power capability was needed from every wind 
generator, and so adopted the case-by-case approach.\94\ However, with 
the increasing penetration of wind generation and retirement of 
traditional synchronous generators, which provided dynamic reactive 
power capability to the transmission system, we now find it is 
necessary to require dynamic reactive power capability from all new 
generators. The dynamic reactive power capability may be achieved at 
the high-side of the generator substation at lower cost compared to 
dynamic reactive power at the Point of Interconnection by systems using 
a combination of dynamic capability from the inverters plus static 
reactive power devices to make up for losses. Therefore, this Final 
Rule gives non-synchronous generators the flexibility to use static 
reactive power devices to make up for losses that occur between the 
inverters and the high-side of the generator substation, so long as the 
generators maintain 0.95 leading to 0.95 lagging dynamic reactive power 
capability at the high-side of the generator substation.
---------------------------------------------------------------------------

    \94\ Id. P 66.
---------------------------------------------------------------------------

    39. While measuring the reactive power requirements at the Point of 
Interconnection would provide the greatest amount of reactive power to 
the transmission system, the costs associated with providing that level 
of reactive power do not justify the added benefit to the transmission 
system.\95\ In

[[Page 40801]]

fact, one of the reasons for undertaking this rulemaking proceeding was 
the Commission recognized that the cost of providing reactive power may 
no longer present an obstacle to the development of wind generation. On 
the other hand, measuring the reactive power requirements at the 
Generating Facilities would likely result in very little reactive power 
being provided to the transmission system but would be relatively 
inexpensive to implement for the non-synchronous generator. The high-
side of the generator substation represents a middle ground. It is 
located beyond the low voltage collector systems where significant 
reactive power losses occur, resulting in more reactive power provided 
to the transmission system than a requirement at the Generating 
Facilities, while being less expensive to implement than a requirement 
at the Point of Interconnection. We find that measuring the reactive 
power requirements at the high-side of the generator substation 
reasonably balances the need for reactive power for the transmission 
system with the costs to non-synchronous generators of providing 
reactive power.
---------------------------------------------------------------------------

    \95\ See ISO New England Inc., Tariff Filing, Transmittal 
Letter, Docket No. ER16-946-000, at 17 (filed Feb. 16, 2016) 
(``[T]he proposed requirements provide for the reactive capability 
to be measured at the high-side of the station transformer rather 
than at the Point of Interconnection to account for the long 
generator leads through which many wind generators are 
interconnecting to the New England system--as long as approximately 
50-80 miles between the generator collector transformer and the 
Point of Interconnection. There is no benefit to the generator, and 
little benefit to the system, to force the generator to provide 
voltage support all the way to a Point of Interconnection that is 
very remote, and it is not necessarily even achievable to 
effectively transfer such quantities of reactive power over such 
distances.''); see also NextEra Supplemental Comments at 3-4.
---------------------------------------------------------------------------

    40. We find establishing dynamic reactive power requirements at the 
high-side of the generator substation preferable to the suggestion in 
the comments that, at relative equal cost, reactive power could be 
provided at the Point of Interconnection as long as the inherent 
dynamic reactive power produced by the generator can be enhanced with 
static reactive power capability. By establishing dynamic reactive 
power requirements at the high-side of the generator substation, non-
synchronous generators will be able to provide faster responding and 
more continuously variable reactive power capability than if they 
provide static reactive power capability at the Point of 
Interconnection. In addition, requiring dynamic reactive power 
capability allows generators to operate across a broader range of 
operating conditions than allowing static reactive power 
enhancements.\96\
---------------------------------------------------------------------------

    \96\ EEI Comments at 8; ISO-NE Comments at 8; see also ISO New 
England Inc., Tariff Filing, Transmittal Letter, Docket No. ER16-
946-000, at 19 (filed Feb. 16, 2016) (``[I]n New England's 
experience, the implementation of the reactive power exemption has 
disadvantaged wind generators seeking to interconnect, putting 
burdens on the study process not experienced for conventional 
generators and compromising their ability to operate through various 
system conditions once interconnected, a situation that leads system 
operators to curtail wind farm output for system reliability 
reasons.'').
---------------------------------------------------------------------------

C. Real Power Output Level

1. NOPR Proposal
    41. The NOPR proposed to require newly interconnecting non-
synchronous generators to design their Generating Facilities to 
maintain the required power factor range only when the generator's real 
power output exceeds 10 percent of its nameplate capacity.\97\ The 
proposed pro forma LGIA would state: ``Non-synchronous generators shall 
only be required to maintain the above power factor when their output 
is above 10 percent of the Generating Facility Capacity.'' \98\ The 
Commission stated its understanding that the inverters used by non-
synchronous generators were not capable of producing reactive power 
when operating below 10 percent of nameplate capacity.\99\
---------------------------------------------------------------------------

    \97\ NOPR, FERC Stats. & Regs. ] 32,712 at P 15 (citing Order 
No. 661, FERC Stats. & Regs. ] 31,186 at P 46).
    \98\ Id. P 16. The Commission proposed similar revisions to the 
pro forma SGIA: ``Non-synchronous generators shall only be required 
to maintain the above power factor when their output is above 10 
percent of the generator nameplate capacity.'' Id.
    \99\ Id. P 15 (citing Order No. 661, FERC Stats. & Regs. ] 
31,186 at P 46).
---------------------------------------------------------------------------

2. Comments
    42. Several commenters support the 10 percent exemption given 
current inverter technology.\100\ EEI notes that the Commission uses 
both ``generator nameplate capacity'' and ``Generator Facility 
Capacity'' in reference to the 10 percent exemption, and requests that 
the Commission clarify that the correct term is ``Generator Facility 
Capacity.'' \101\ The ISO/RTO Council states that its ISO/RTO members 
do not uniformly agree that the 10 percent exemption is appropriate and 
want to be able to establish rules based on their individual 
situations.\102\ Similarly, the Indicated NYTOs support the Commission 
allowing regional variation on the 10 percent exemption within a 
reasonable range based on existing regional requirements (up to an 
exemption for below 25 percent real power output).\103\
---------------------------------------------------------------------------

    \100\ EEI Comments at 9; NaturEner Comments at 4; NERC Comments 
at 10; SCE Comments at 3; NextEra Comments at 11.
    \101\ EEI Comments at 9-10.
    \102\ ISO/RTO Council Comments at 3.
    \103\ Indicated NYTOs Comments at 4.
---------------------------------------------------------------------------

    43. AWEA and LSA and the Joint NYTOs argue that the 10 percent 
exemption should be increased to 25 percent, consistent with what the 
Commission approved in PJM.\104\ AWEA and LSA assert that the ability 
of non-synchronous generators to provide reactive power can be reduced 
when individual generators within the plant are not producing real 
power, such that the 10 percent operating threshold is 
insufficient.\105\
---------------------------------------------------------------------------

    \104\ AWEA and LSA Comments at 13; Joint NYTOs Comments at 3.
    \105\ AWEA and LSA Comments at 13.
---------------------------------------------------------------------------

    44. Other commenters oppose the 10 percent exemption, arguing that 
it is not necessary given the technology available to non-synchronous 
generators.\106\ These commenters contend that some inverters can 
produce reactive power at zero real power output.\107\ Additionally, 
ISO-NE argues that requiring non-synchronous generators to be capable 
of providing reactive power at all output levels will further 
technological development and advancement.\108\ ISO-NE asserts that if 
the Commission adopts the 10 percent exemption, it should limit the 
exemption to only wind generators because non-synchronous generators 
other than wind generators have not had an exemption from the reactive 
power requirement and it is inappropriate to create a new exemption for 
these generators.\109\
---------------------------------------------------------------------------

    \106\ ISO-NE Comments at 13; Midwest Energy Comments at 9; MISO 
Comments at 3.
    \107\ ISO-NE Comments at 14; NaturEner Comments at 4.
    \108\ ISO-NE Comments at 14.
    \109\ Id. at 14-15.
---------------------------------------------------------------------------

    45. MISO requests that non-synchronous generators be required to 
produce reactive power at low and zero-voltage conditions to ensure the 
robustness of the transmission system.\110\ Similarly, Midwest Energy 
argues that the Commission has not fully considered the high levels of 
reactive power generated by lightly loaded interconnection facilities 
associated with non-synchronous generators.\111\ Midwest Energy 
explains that its largest events of excess reactive power production 
have occurred when non-synchronous generators are producing less than 
10 percent of their nameplate capacity. Midwest Energy asserts that it 
may be necessary for non-synchronous generators to install static 
inductors to absorb reactive power in these situations. Therefore, 
according to Midwest Energy, requiring non-synchronous generators to 
provide reactive power at all levels of real power output would prevent 
potential high voltage reliability concerns.\112\
---------------------------------------------------------------------------

    \110\ MISO Comments at 3.
    \111\ Midwest Energy Comments at 2-3.
    \112\ Id. at 8.
---------------------------------------------------------------------------

    46. AWEA and LSA request clarification regarding the proposal in 
the NOPR that non-synchronous generators be required to maintain a 
``composite power delivery at continuous rated power output at the 
Point of Interconnection at a power

[[Page 40802]]

factor within the range of 0.95 leading to 0.95 lagging.'' \113\ AWEA 
and LSA argue that this language can be interpreted as either requiring 
non-synchronous generators to provide reactive power proportionate to 
the actual output of the generator, or to provide reactive power within 
the full power factor range based on the maximum output of the 
generator no matter the actual output of the generator.\114\ AWEA and 
LSA contend that the first interpretation--a reactive power requirement 
proportionate to actual output--is the most reasonable 
interpretation.\115\ NERC asserts that the second interpretation is 
correct.\116\
---------------------------------------------------------------------------

    \113\ AWEA and LSA Comments at 5; NOPR, FERC Stats. & Regs. ] 
32,712 at P 16.
    \114\ AWEA and LSA Comments at 5-7 (explaining that the first 
interpretation will result in a triangular PQ curve, while the 
latter will result in a rectangular PQ curve); see also NERC 
Comments at 9.
    \115\ AWEA and LSA Comments at 6.
    \116\ NERC Comments at 9.
---------------------------------------------------------------------------

3. Commission Determination
    47. We will not adopt the 10 percent exemption proposed in the NOPR 
in this Final Rule and will instead require all newly interconnecting 
non-synchronous generators to design their Generating Facilities to 
meet the reactive power requirements at all levels of real power 
output, as is already required of synchronous generators.\117\ Although 
several commenters support the 10 percent exemption,\118\ and some 
commenters support increasing that threshold to 25 percent,\119\ we 
find, on balance, that requiring non-synchronous generators to provide 
reactive power at all levels of real power output appropriately 
recognizes the capabilities of existing non-synchronous generation 
technologies and creates requirements that are comparable to the 
existing requirement for synchronous generators. Additionally, by 
maintaining the reactive power requirement at all output levels, non-
synchronous generators will mitigate potential over-voltage concerns on 
lightly loaded Interconnection Customer Interconnection Facilities of a 
non-synchronous generator when operating at low real power output.
---------------------------------------------------------------------------

    \117\ Section 9.6.1 of the pro forma LGIA and section 1.8.1 of 
the pro forma SGIA.
    \118\ EEI Comments at 9; NaturEner Comments at 4; NERC Comments 
at 10; SCE Comments at 3; NextEra Comments at 11.
    \119\ AWEA and LSA Comments at 13; Joint NYTOs Comments at 3.
---------------------------------------------------------------------------

    48. While some commenters argue that technical limitations exist 
that prevent non-synchronous generators from providing adequate 
reactive power at lower levels of real power output, and note that the 
Commission approved a 25 percent exemption in PJM, several commenters 
indicate that non-synchronous generators are capable of providing 
reactive power at all levels of real power output.\120\ Although the 
Commission approved a 25 percent exemption in PJM, that was pursuant to 
a section 205 filing with broad stakeholder support. We now act on a 
more comprehensive record and take action generically to apply to all 
transmission providers.\121\ Moreover, while not all non-synchronous 
generators are currently designed to maintain reactive power capability 
at all levels of real power output, modern inverters can be designed to 
provide this capability. We agree with ISO-NE's comments that imposing 
this requirement will help encourage further technological development, 
such that the bulk power system will ultimately receive higher quality 
and more reliable reactive power service from all generators.
---------------------------------------------------------------------------

    \120\ ISO-NE Comments at 13; Midwest Energy Comments at 9; MISO 
Comments at 3.
    \121\ As discussed below, to the extent an ISO or RTO seeks to 
maintain an existing exemption, it can include such a request in its 
compliance filing as an independent entity variation and the 
Commission will consider the request at that time based on the 
arguments provided.
---------------------------------------------------------------------------

    49. As for AWEA and LSA's and NERC's requested clarifications, we 
clarify that the amount of reactive power required from non-synchronous 
generators should be proportionate to the actual output of the 
generator, such that a 100 MW generator would be required to provide 
approximately 33 MVAR of reactive power when operating at maximum 
output (100 MW), and approximately 3.3 MVAR when operating at 10 MW, 
and so on. This addresses some commenters' concerns that sometimes not 
all non-synchronous generators at a particular location are operating 
at a given time (e.g., only 50 of 100 wind turbines are actually 
spinning or \1/3\ of solar panels are covered by clouds), without 
creating an unnecessary exemption for non-synchronous generators.

D. Compensation

1. NOPR Proposal
    50. The Commission stated in the NOPR that non-synchronous 
generators are eligible for the same payments for reactive power as all 
other generators, consistent with the compensation provisions of the 
pro forma LGIA and pro forma SGIA.\122\ The Commission proposed that 
any compensation for such non-synchronous generators would be based on 
the cost of providing reactive power, but noted that the cost to a wind 
generator of providing reactive power may not be easily estimated using 
existing methods that are applied to synchronous generators.\123\ 
Therefore, the Commission sought comment on whether these existing 
methods are appropriate for wind generators and, if not, what 
alternatives would be appropriate.\124\
---------------------------------------------------------------------------

    \122\ NOPR, FERC Stats. & Regs. ] 32,712 at P 12 (citing Order 
No. 2003-A, FERC Stats. & Regs. ] 31,160 at P 416); see also 
sections 9.6.3 and 11.6 of the pro forma LGIA and sections 1.8.2 and 
1.8.3 of the pro forma SGIA.
    \123\ NOPR, FERC Stats. & Regs. ] 32,712 at P 12 (citing Payment 
for Reactive Power, Commission Staff Report, Docket No. AD14-7, app. 
2 (Apr. 22, 2014)).
    \124\ Id. P 18 (citation omitted).
---------------------------------------------------------------------------

2. Comments
    51. Several commenters support the Commission's proposal to require 
transmission providers to compensate non-synchronous generators for 
reactive power on a comparable basis as synchronous generators, 
provided that non-synchronous generators provide comparable reactive 
power service.\125\ Other commenters seek clarification, or ask that 
the Commission outline principles for compensation.\126\ Other 
commenters argue that the Commission should not mandate a uniform 
approach to reactive power compensation.\127\ Finally, while some 
commenters ask that the Commission address the issue of reactive power 
compensation, they assert that addressing reactive power compensation 
in this rulemaking is outside the scope of the proceeding.\128\
---------------------------------------------------------------------------

    \125\ CAISO Comments at 9; EEI Comments at 10; ISO/RTO Council 
Comments at 7; MISO Comments at 3-4.
    \126\ ISO/RTO Council Comments at 7; SDG&E Comments at 4-5; AWEA 
and LSA Comments at 2-5; Public Interest Organizations Comments at 
2-3; NextEra Comments at 14.
    \127\ Indicated NYTOs Comments at 4; ISO/RTO Council Comments at 
7; SDG&E Comments at 4; CAISO Comments at 8-9; Joint NYTOs Comments 
at 4; SCE Comments at 3; Six Cities Comments at 2, 5-6.
    \128\ EPSA Comments at 6; NextEra Comments at 14.
---------------------------------------------------------------------------

3. Commission Determination
    52. We will not change the Commission's existing policies on 
compensation for reactive power. Sections 9.6.3 and 11.6 of the 
currently-effective pro forma LGIA and sections 1.8.2 and 1.8.3 of the 
currently-effective pro forma SGIA provide that the transmission 
provider must compensate the interconnecting generator for reactive 
power service when the transmission provider requests that the 
interconnecting generator operate outside of the specified reactive 
power range. These sections also provide that if the transmission 
provider

[[Page 40803]]

compensates its own or affiliated generators for reactive power service 
within the specified reactive power range, it must compensate all 
generators for this service, and at what rate such compensation should 
be provided. While the Commission asked for comments on principles for 
compensating non-synchronous generators for reactive power, the 
comments, aside from noting that the current AEP methodology \129\ does 
not translate to non-synchronous generation, did not provide a 
sufficient record for determining a new method. Therefore, any non-
synchronous generator seeking reactive power compensation would need to 
propose a method for calculating that compensation as part of its 
filing. We note, however, that Commission staff is convening a workshop 
to explore reactive power compensation issues in the markets operated 
by ISOs/RTOs on June 30, 2016.\130\
---------------------------------------------------------------------------

    \129\ See Am. Elec. Power Serv. Corp., Opinion No. 440, 88 FERC 
] 61,141, at 61,456-57 (1999).
    \130\ See Reactive Supply Compensation in Markets Operated by 
Regional Transmission Organizations and Independent System 
Operators, Notice of Workshop, Docket No. AD16-17-000 (issued Mar. 
17, 2016).
---------------------------------------------------------------------------

E. Application of the Final Rule

1. NOPR Proposal
    53. As a transition mechanism, the Commission proposed in the NOPR 
to apply the reactive power requirements in this Final Rule to all 
newly interconnecting non-synchronous generators that, as of the 
effective date of this Final Rule, either: (1) Have not executed an 
interconnection agreement; or (2) requested that an interconnection 
agreement be filed unexecuted that is still pending before the 
Commission. The Commission also proposed to apply the reactive power 
requirements to all existing non-synchronous generators making upgrades 
that require new interconnection requests after the effective date of 
the Final Rule. The Commission stated that it did not believe it would 
be reasonable or necessary to require all existing wind generators to 
provide reactive power because not all such generators are capable of 
providing reactive power without incurring substantial costs to install 
new equipment. However, the Commission proposed to require existing 
wind generators that make upgrades that require new interconnection 
requests to conform to the new reactive power requirements.\131\
---------------------------------------------------------------------------

    \131\ NOPR, FERC Stats. & Regs. ] 32,712 at P 17.
---------------------------------------------------------------------------

2. Comments
    54. CAISO and MISO support the Commission's proposed application of 
the new reactive power requirements to new and existing non-synchronous 
generators.\132\ CAISO contends that interconnection customers should 
be required to adhere to the conditions of interconnection at the time 
they execute an interconnection agreement. CAISO states that, in its 
own reactive power stakeholder initiative, it proposed to apply a new 
reactive power requirement to its April 2016 interconnection queue 
cluster and to all future clusters. CAISO explains that, depending on 
the timing of the Final Rule, the new reactive power requirements would 
apply to this same group of interconnecting generators because they 
will not execute their interconnection agreements for at least one year 
after the study process begins. CAISO states that applying reactive 
power requirements to these interconnecting generators would ensure 
these generators do not lean on existing generators to provide reactive 
power.\133\
---------------------------------------------------------------------------

    \132\ CAISO Comments at 5-6; MISO Comments at 5-6.
    \133\ CAISO Comments at 5-6.
---------------------------------------------------------------------------

    55. In contrast, some commenters argue that the Commission should 
not apply the new reactive power requirements to generators that have 
begun or have already received their System Impact Study, depending on 
the requirements of the Final Rule.\134\ AWEA and LSA contend that 
applying the proposed reactive power requirements to non-synchronous 
generators that have begun their System Impact Study, or that have been 
in the interconnection queue for some period of time without starting 
their System Impact Study, may result in sizable costs and fundamental 
unfairness. AWEA and LSA argue that such non-synchronous generators may 
not have been designed to meet the new reactive power requirements and, 
therefore, may incur substantial equipment costs to meet those 
requirements.\135\
---------------------------------------------------------------------------

    \134\ AWEA and LSA Comments at 14; NextEra Comments at 13.
    \135\ AWEA and LSA Comments at 14-15.
---------------------------------------------------------------------------

    56. NextEra argues that the proposed application of the Final Rule 
to non-synchronous generators that have not yet executed an 
interconnection agreement is unreasonable if the Commission requires 
fully dynamic reactive power capability measured at the Point of 
Interconnection.\136\ NextEra asserts that requiring fully dynamic 
reactive power capability at the Point of Interconnection would be a 
significant change to the status quo and would render some investments 
made by non-synchronous generators that have already received the 
results of their System Impact Study, but have not yet executed an 
interconnection agreement, useless. According to NextEra, such a major 
shift could also impose delays and additional costs related to the 
redesign, purchase, and installation of additional equipment.\137\ 
NextEra contends that if the Commission allows for the use of static 
reactive power devices to supplement the dynamic reactive power 
capability of non-synchronous generators at the Point of 
Interconnection, the Commission would merely be formalizing what is 
already common practice, and, therefore, that the proposed application 
of the Final Rule would be reasonable. However, if the Commission 
requires fully dynamic reactive power capability at the Point of 
Interconnection, NextEra asks that the Final Rule not apply to non-
synchronous generators that have received their System Impact 
Study.\138\
---------------------------------------------------------------------------

    \136\ NextEra Comments at 11.
    \137\ Id. at 12-13.
    \138\ Id. at 12.
---------------------------------------------------------------------------

    57. Some commenters also oppose the Commission's proposal to apply 
the reactive power requirements to existing non-synchronous generators 
making upgrades that require new interconnection requests.\139\ AWEA 
and LSA assert that most upgrades do not involve fundamental changes to 
the original technology, or to the hardware, but instead simply involve 
software upgrades.\140\ Lincoln argues that applying the new reactive 
power requirements to wind generators making upgrades could result in 
financial detriment to entities that have previously entered into 
binding contracts to purchase wind generation by exposing those 
entities to unforeseen expenses not contemplated when they entered into 
the contracts.\141\ AWEA and LSA request that the new reactive power 
requirements only apply to upgrades on a case-by-case basis, depending 
on the outcome of the relevant interconnection study, and only to the 
incremental capacity requested through the upgrade.\142\ AWEA and LSA 
also request that the Commission clarify what constitutes a ``Material 
change'' to a generator that would trigger a new interconnection 
study.\143\
---------------------------------------------------------------------------

    \139\ AWEA and LSA Comments at 14; Lincoln Comments at 2.
    \140\ AWEA and LSA Comments at 14.
    \141\ Lincoln Comments at 2.
    \142\ AWEA and LSA Comments at 14-15.
    \143\ Id. at 15.
---------------------------------------------------------------------------

    58. SDG&E requests that the Commission clarify that the proposed

[[Page 40804]]

reactive power requirements would apply to all non-synchronous 
generators and not to just wind generators.\144\
---------------------------------------------------------------------------

    \144\ SDG&E Comments at 1, 3.
---------------------------------------------------------------------------

3. Commission Determination
    59. We will apply the requirements of this Final Rule to all newly 
interconnecting non-synchronous generators that have not yet executed a 
Facilities Study Agreement \145\ as of the effective date of this Final 
Rule. We will not apply the requirements of this Final Rule to existing 
non-synchronous generators making upgrades to their Generating 
Facilities that require new interconnection requests. However, such a 
generator may be required to provide reactive power if a transmission 
provider determines through that generator's System Impact Study that a 
reactive power requirement is necessary to ensure safety or 
reliability. The transition mechanism we establish in this Final Rule 
allows non-synchronous generators currently in the process of 
interconnecting to complete the interconnection process without 
unreasonable delay or expense.
---------------------------------------------------------------------------

    \145\ The pro forma Large Generator Interconnection Procedures 
contain a standard ``Interconnection Facilities Study Agreement'' as 
Appendix 4. Similarly, the pro forma Small Generator Interconnection 
Procedures contain a standard ``Facilities Study Agreement'' as 
Attachment 8.
---------------------------------------------------------------------------

a. Newly Interconnecting Non-Synchronous Generators
    60. While the Commission proposed in the NOPR to apply the 
requirements of the Final Rule to all newly interconnecting non-
synchronous generators that have not yet executed an interconnection 
agreement as of the effective date of the Final Rule, or requested that 
one be filed unexecuted that is still pending, we agree with AWEA and 
LSA, and NextEra,\146\ that applying the Final Rule as proposed may 
unduly burden non-synchronous generators that have completed their 
System Impact Study. Such non-synchronous generators may have already 
purchased equipment needed to interconnect prior to executing an 
interconnection agreement (or requesting that one be filed unexecuted 
that is still pending).\147\ We are especially concerned with applying 
new reactive power requirements to non-synchronous generators that have 
advanced in the interconnection process in light of our decision to 
measure the reactive power requirements at the high-side of the 
generator substation, rather than at the Point of Interconnection. 
Because the Point of Interconnection has been the industry standard 
under Appendix G to the pro forma LGIA, non-synchronous generators that 
have completed their System Impact Study may have relied on that 
standard in designing their Generating Facilities, thereby creating an 
undue burden on such generators.\148\
---------------------------------------------------------------------------

    \146\ AWEA and LSA Comments at 14; NextEra Comments at 13.
    \147\ AWEA and LSA explain that many non-synchronous generators 
will have already chosen their collector array cable and transformer 
or inverter before receiving an interconnection agreement. Rather 
than being able to choose equipment that could reduce reactive 
losses, the only compliance option for non-synchronous generators 
that are ``significantly advanced'' in the interconnection process 
to meet the requirements of the Final Rule would be to install 
potentially expensive reactive power devices. AWEA and LSA Comments 
at 15.
    \148\ NextEra Comments at 12-13.
---------------------------------------------------------------------------

    61. To avoid these undue burdens, we will apply the requirements of 
this Final Rule to all newly interconnecting non-synchronous generators 
that have not yet executed a Facilities Study Agreement as of the 
effective date of this Final Rule. Pursuant to the pro forma Large 
Generator Interconnection Procedures and to the pro forma Small 
Generator Interconnection Procedures, and simultaneous with the 
delivery of the System Impact Study, the transmission provider provides 
a draft Facilities Study Agreement to an interconnecting 
generator.\149\ The executing of the Facilities Study Agreement 
immediately follows the completion of the System Impact Study. The 
execution of the Facilities Study Agreement, and the subsequent 
completion of the Facilities Study, represents the time in the 
interconnection process when the transmission provider and generator 
developer agree to the general technical requirements that will be 
needed for the generator to reliably interconnect to the transmission 
system.\150\ This point in the interconnection process is early enough 
in the development of a generation project such that the project 
developer likely has not purchased equipment to interconnect their 
project because they have not yet reached an agreement with the 
transmission provider on the interconnection requirements of the 
project, which occurs after the completion of the System Impact Study. 
In choosing to apply the reactive power requirements of this Final Rule 
to projects that have not executed a Facilities Study Agreement, the 
Commission is ensuring that a majority of newly interconnecting non-
synchronous generators are subject to the requirements of this Final 
Rule without subjecting projects to additional costs after the 
interconnection requirements of the project have been established.\151\ 
Further, as discussed in the Commission's determination in Section 
III.B, Power Factor Range, Point of Measurement, and Dynamic Reactive 
Power Capability Requirements, the new reactive power requirement for 
non-synchronous generators will be measured at the high-side of the 
generator substation and should not result in the increased costs of 
providing dynamic reactive power at the Point of Interconnection that 
would substantially affect the financial viability of a non-synchronous 
generator in the interconnection queue that AWEA and LSA raise in their 
comments.
---------------------------------------------------------------------------

    \149\ Section 8.1 of the pro forma Large Generator 
Interconnection Procedures state that, simultaneous with the 
delivery of the System Impact Study, the transmission provider must 
provide the interconnection customer with an Interconnection 
Facilities Study Agreement. Likewise, section 3.5 of the pro forma 
Small Generator Interconnection Procedures state that a transmission 
provider must provide an interconnection customer a Facilities Study 
Agreement along with the completed System Impact Study report.
    \150\ Section 7.3 of the pro forma Large Generator 
Interconnection Procedures explains that the System Impact Study 
will ``provide the requirements or potential impediments to 
providing the requested interconnection service, including a 
preliminary indication of the cost and length of time that would be 
necessary to correct any problems identified in those analyses and 
implement the interconnection,'' along with ``a list of facilities 
that are required as a result of the Interconnection Request and a 
non-binding good faith estimate of cost responsibility and a non-
binding good faith estimated time to construct.'' Section 5.0 of the 
System Impact Study Agreement attached to the pro forma Small 
Generator Interconnection Procedures as Attachment 7 provides the 
same.
    \151\ See, e.g., Neptune Regional Transmission Sys., LLC v. PJM 
Interconnection, L.L.C., 110 FERC ] 61,098, at P 23 (``Each customer 
knows that subsequent cost allocations will be determined by 
circumstances that are known as of the time its System Impact Study 
is conducted. Projects may drop out of the queue and customers may 
move up the queue, but the cost allocation system insulates an 
interconnection customer from costs arising from events occurring 
after its System Impact Study is completed, other than costs arising 
from changes from higher-queued generators. . . . If an 
interconnection customer were to be held financially responsible for 
the costs of events occurring after its System Impact Study is 
completed it would be impossible for the customer to make reasoned 
business decisions.''), order on reh'g, 111 FERC ] 61,455 (2005), 
aff'd sub nom. Pub. Serv. Elec. and Gas Co. v. FERC, 485 F.3d 1164 
(D.C. Cir. 2007).
---------------------------------------------------------------------------

    62. In addition, using the execution of a Facilities Study 
Agreement as the point in the interconnection process for transitioning 
to the requirements of this Final Rule represents a clearly defined 
point to avoid confusion in applicability. To further ensure clarity 
for newly interconnecting non-synchronous generators, we include in the 
revisions to section 9.6.1 to the pro forma LGIA and section 1.8.1 to 
pro

[[Page 40805]]

forma SGIA this transition mechanism,\152\ which we require 
transmission providers to adopt, as part of their compliance with this 
Final Rule.\153\
---------------------------------------------------------------------------

    \152\ See infra P 74 (providing the amended text of section 
9.6.1 to the pro forma LGIA and section 1.8.1 to the pro forma 
SGIA).
    \153\ In West Deptford Energy, LLC v. FERC, 766 F.3d 10, 20 
(D.C. Cir. 2014), the court explained that the tariff provisions in 
effect at the time an interconnection agreement is executed apply to 
that interconnection customer, ``unless the amended tariff has a 
grandfathering provision.''
---------------------------------------------------------------------------

    63. We also amend Appendix G to the pro forma LGIA, which public 
utility transmission providers are required to adopt, as part of their 
compliance with this Final Rule. Appendix G to the pro forma LGIA 
applies only to wind generators.\154\ Those newly interconnecting wind 
generators that have executed a Facilities Study Agreement as of the 
effective date of this Final Rule will be subject to the amended 
Appendix G.\155\ If Appendix G is not applicable to any newly 
interconnecting wind generators, the public utility transmission 
provider or RTO/ISO should remove Appendix G from its LGIA as part of 
its compliance filing. When all newly interconnecting wind generators 
that have executed Facilities Study Agreements as of the effective date 
of this Final Rule finalize their LGIAs and Appendix G is no longer 
necessary, we encourage the public utility transmission providers and 
RTOs/ISOs to file, or to include as part of, an FPA section 205 filing 
a proposal to remove Appendix G from their LGIA.
---------------------------------------------------------------------------

    \154\ See Order No. 661, FERC Stats. & Regs. ] 31,186, Appendix 
B (Appendix G--Interconnection Requirements for a Wind Generating 
Plant).
    \155\ See infra P 74 (providing the amended text of paragraph 
A.ii of Appendix G to the pro forma LGIA).
---------------------------------------------------------------------------

b. Upgrades to Existing Non-Synchronous Generators
    64. Some commenters raise concerns with applying the requirements 
of this Final Rule to existing non-synchronous generators making 
upgrades that require new interconnection requests.\156\ Generally, 
such generators would otherwise be exempt from the reactive power 
requirement. Lincoln argues that the proposed application of the new 
reactive power requirements to existing non-synchronous generators 
making upgrades could expose entities with existing power purchase 
agreements to unforeseen expenses.\157\ As noted by AWEA and LSA, most 
upgrades that require new interconnection requests do not involve 
fundamental changes to the original technology, or to the hardware, but 
instead simply involve software upgrades.\158\
---------------------------------------------------------------------------

    \156\ AWEA and LSA Comments at 14; Lincoln Comments at 2.
    \157\ Lincoln Comments at 2.
    \158\ AWEA and LSA Comments at 14.
---------------------------------------------------------------------------

    65. We recognize that there are a variety of triggering points for 
a new interconnection request in the various transmission provider 
regions, and the fact that an existing non-synchronous generator making 
an upgrade may not be installing new equipment. We also acknowledge, as 
the Commission did in the NOPR, that not all existing wind generators 
are capable of providing reactive power without incurring substantial 
costs to install new equipment.\159\ Therefore, we will not apply the 
requirements of this Final Rule to existing non-synchronous generators 
making upgrades that require new interconnection requests.\160\ Rather, 
we will maintain the existing approach in Appendix G to the pro forma 
LGIA for existing non-synchronous generators making upgrades to their 
Generating Facilities that require new interconnection requests after 
the effective date of this Final Rule, meaning that those upgrades will 
be exempt from the requirement to provide reactive power unless the 
transmission provider's System Impact Study shows that provision of 
reactive power by that generator is necessary to ensure safety or 
reliability.
---------------------------------------------------------------------------

    \159\ NOPR, FERC Stats. & Regs. ] 32,712 at P 17.
    \160\ Given our determination not to adopt the NOPR proposal, we 
find moot AWEA and LSA's request that the Commission clarify what 
constitutes a ``Material change'' to a generator that would trigger 
a new interconnection study. We note that, on May 13, 2016, 
Commission staff held a technical conference on generator 
interconnection issues, exploring triggers for restudies, among 
other things. See Review of Generator Interconnection Agreements and 
Procedures, Supplemental Notice of Technical Conference, Docket Nos. 
RM16-12-000, RM15-21-000 (issued May 4, 2016); Review of Generator 
Interconnection Agreements and Procedures, Notice Inviting Post-
Technical Conference Comments, Docket Nos. RM16-12-000, RM15-21-000 
(issued June 3, 2016) (Question 1.10: ``Should interconnection 
procedures be more specific about what constitutes a material 
modification to a generator interconnection request? Is it clear to 
interconnection customers what types of modifications to their 
interconnection requests would and would not affect their place in 
the queue? Do transmission owners and RTO/ISOs exercise any level of 
discretion in determining whether a customer has made a material 
modification? What is the range and nature of that discretion? 
Please reference provisions in interconnection procedures, as 
applicable, in your answer.'').
---------------------------------------------------------------------------

    66. We decline AWEA and LSA's request that the reactive power 
requirement apply only to the incremental capacity that results from an 
upgrade in the event the System Impact Study shows the need for 
reactive power.\161\ If a transmission provider's System Impact Study 
shows the need for reactive power as a result of an upgrade, the 
transmission provider should have the flexibility to require reactive 
power capability consistent with the needs identified in the study, 
including the ability to apply the reactive power requirements of this 
Final Rule to all of the generator's capacity. Otherwise, allowing a 
transmission provider to apply the reactive power requirements only to 
the incremental capacity that results from an upgrade would undermine 
the Commission's goal of ensuring adequate reactive power support for 
the transmission system.\162\ Therefore, we will give transmission 
providers the flexibility to apply the reactive power requirements to 
all of an existing non-synchronous generator's capacity when that 
generator makes an upgrade that requires a new interconnection request, 
and the System Impact Study shows the need for reactive power.\163\
---------------------------------------------------------------------------

    \161\ AWEA and LSA Comments at 14-15.
    \162\ NOPR, FERC Stats. & Regs. ] 32,712 at P 11 (explaining the 
Commission's concern that the growing penetration of wind generators 
increases the potential for a deficiency in reactive power, and 
resulting local reliability issues).
    \163\ As with the existing approach, should an existing non-
synchronous generator disagree with the transmission provider that 
the System Impact Study shows a need for reactive power as a result 
of the upgrade, it may challenge the transmission provider's 
conclusion through dispute resolution or appeal to the Commission. 
See Order No. 661, FERC Stats. & Regs. ] 31,186 at P 51.
---------------------------------------------------------------------------

    67. We require transmission providers to propose, as part of their 
compliance with this Final Rule, tariff revisions implementing the 
transition mechanism laid out above for existing non-synchronous 
generators making upgrades to their Generating Facilities that require 
new interconnection requests.

F. Regional Flexibility

    68. Multiple commenters request that the Commission recognize 
independent entity variations for ISOs/RTOs and regional differences 
for transmission providers outside of ISOs/RTOs in evaluating 
compliance with the Final Rule.\164\
---------------------------------------------------------------------------

    \164\ EEI Comments at 11; Indicated NYTOs Comments at 3; ISO-NE 
Comments at 11-12; ISO/RTO Council Comments at 3; Joint NYTOs 
Comments at 3; NEPOOL Initial Comments at 6; NEPOOL Supplemental 
Comments at 3-4.
---------------------------------------------------------------------------

    69. We apply here all three of the methods for proposing variations 
adopted in Order No. 2003: (1) Variations based on Regional Entity 
reliability requirements; (2) variations that are ``consistent with or 
superior to'' the Final Rule; and (3) ``independent

[[Page 40806]]

entity variations'' from ISOs/RTOs.\165\ If a transmission provider 
seeks to justify variations from the requirements of this Final Rule, 
it may do so in its compliance filing. A transmission provider may 
propose to include standards developed by NERC or a Regional Entity in 
its own standard interconnection agreement. The Commission is mindful 
of the work being done by these organizations in developing standards 
for the interconnection of non-synchronous generators, and we strongly 
encourage all interested parties to continue to participate in 
developing these standards.
---------------------------------------------------------------------------

    \165\ Order No. 2003, FERC Stats. & Regs. ] 31,146 at PP 824-
827; see also Order No. 661, FERC Stats. & Regs. ] 31,186 at P 109.
---------------------------------------------------------------------------

G. Miscellaneous Comments

    70. CAISO argues that the Commission should allow transmission 
providers to propose additional technical requirements for 
interconnecting non-synchronous generators related to voltage support, 
such as requiring automatic voltage control.\166\ Transmission 
providers may propose additional technical requirements, to the extent 
they believe those are necessary, in a separate filing pursuant to 
section 205 of the FPA.
---------------------------------------------------------------------------

    \166\ CAISO Comments at 8.
---------------------------------------------------------------------------

    71. MATL requests clarification that the Commission will continue 
to accept tariff arrangements that require customers on merchant 
transmission lines to self-supply ancillary services. MATL specifically 
requests that this clarification be included in the final rule 
compliance obligation, and in similar future proceedings.\167\ We 
clarify that merchant transmission lines that have received exemptions 
from providing ancillary services will not be affected by this Final 
Rule. Therefore, those entities that do not have reactive power 
requirements in their Commission-approved OATTs will not need to submit 
a compliance filing in response to this Final Rule.
---------------------------------------------------------------------------

    \167\ MATL Comments at 5.
---------------------------------------------------------------------------

    72. SCE requests that the Commission expand the scope of the 
rulemaking proceeding to include low voltage ride-through requirements 
for synchronous and non-synchronous Generating Facilities smaller than 
20 MW.\168\ We decline to expand the scope of the rulemaking proceeding 
to include low voltage ride-through requirements for synchronous and 
non-synchronous Generating Facilities smaller than 20 MW. We note that 
the Commission has issued a Notice of Proposed Rulemaking, Requirements 
for Frequency and Voltage Ride Through Capability of Small Generating 
Facilities, to consider these issues.\169\
---------------------------------------------------------------------------

    \168\ SCE Comments at 4.
    \169\ See Requirements for Frequency and Voltage Ride Through 
Capability of Small Generating Facilities, Notice of Proposed 
Rulemaking, 81 FR 15481 (Mar. 23, 2016), 154 FERC ] 61,222 (2016).
---------------------------------------------------------------------------

    73. AWEA and LSA request that the Commission limit the reactive 
power requirements to a specific range of voltage at the Point of 
Interconnection.\170\ NERC also recommends that the Commission clarify 
the reactive power requirements by providing a reactive capability 
versus voltage characteristic diagram.\171\ We find the request to 
specify a voltage range for the reactive power requirements to be 
outside the scope of this proceeding. The existing pro forma LGIA and 
pro forma SGIA do not specify a voltage range for the reactive power 
requirement for synchronous generators, and the Commission does not 
have a sufficient record on which to create such a requirement.
---------------------------------------------------------------------------

    \170\ AWEA and LSA Comments at 7 (explaining the range of 
voltage and providing a proposed Q-V curve).
    \171\ NERC Comments at 9-10.
---------------------------------------------------------------------------

IV. Compliance and Implementation

    74. Section 35.28(f)(1) of the Commission's regulations requires 
every public utility with a non-discriminatory OATT on file to also 
have on file the pro forma LGIA and pro forma SGIA ``required by 
Commission rulemaking proceedings promulgating and amending such 
interconnection procedures and agreements.'' \172\ The Commission 
hereby revises section 9.6.1 of the pro forma LGIA to read:
---------------------------------------------------------------------------

    \172\ 18 CFR 35.28(f)(1) (2015).

    9.6.1 Power Factor Design Criteria
    9.6.1.1 Synchronous Generation. Interconnection Customer shall 
design the Large Generating Facility to maintain a composite power 
delivery at continuous rated power output at the Point of 
Interconnection at a power factor within the range of 0.95 leading 
to 0.95 lagging, unless the Transmission Provider has established 
different requirements that apply to all synchronous generators in 
the Control Area on a comparable basis. [The requirements of this 
paragraph shall not apply to wind generators.] (Bracketed text is 
deleted.)
    9.6.1.2 Non-Synchronous Generation. Interconnection Customer 
shall design the Large Generating Facility to maintain a composite 
power delivery at continuous rated power output at the high-side of 
the generator substation at a power factor within the range of 0.95 
leading to 0.95 lagging, unless the Transmission Provider has 
established a different power factor range that applies to all non-
synchronous generators in the Control Area on a comparable basis. 
This power factor range standard shall be dynamic and can be met 
using, for example, power electronics designed to supply this level 
of reactive capability (taking into account any limitations due to 
voltage level, real power output, etc.) or fixed and switched 
capacitors, or a combination of the two. This requirement shall only 
apply to newly interconnecting non-synchronous generators that have 
not yet executed a Facilities Study Agreement as of the effective 
date of the Final Rule establishing this requirement (Order No. 
827).

    The Commission similarly revises section 1.8.1 of the pro forma 
SGIA to read:

    1.8.1 Power Factor Design Criteria
    1.8.1.1 Synchronous Generation. The Interconnection Customer 
shall design its Small Generating Facility to maintain a composite 
power delivery at continuous rated power output at the Point of 
Interconnection at a power factor within the range of 0.95 leading 
to 0.95 lagging, unless the Transmission Provider has established 
different requirements that apply to all similarly situated 
synchronous generators in the control area on a comparable basis. 
[The requirements of this paragraph shall not apply to wind 
generators.] (Bracketed text is deleted.)
    1.8.1.2 Non-Synchronous Generation. The Interconnection Customer 
shall design its Small Generating Facility to maintain a composite 
power delivery at continuous rated power output at the high-side of 
the generator substation at a power factor within the range of 0.95 
leading to 0.95 lagging, unless the Transmission Provider has 
established a different power factor range that applies to all 
similarly situated non-synchronous generators in the control area on 
a comparable basis. This power factor range standard shall be 
dynamic and can be met using, for example, power electronics 
designed to supply this level of reactive capability (taking into 
account any limitations due to voltage level, real power output, 
etc.) or fixed and switched capacitors, or a combination of the two. 
This requirement shall only apply to newly interconnecting non-
synchronous generators that have not yet executed a Facilities Study 
Agreement as of the effective date of the Final Rule establishing 
this requirement (Order No. 827).

    In addition, the Commission revises paragraph A.ii of Appendix G to 
the pro forma LGIA, ``Technical Standards Applicable to a Wind 
Generation Plant,'' as follows: \173\
---------------------------------------------------------------------------

    \173\ The full text of the pro forma LGIA will be posted on the 
Commission's internet page at: http://www.ferc.gov/industries/electric/indus-act/gi/stnd-gen.asp. The full text of the pro forma 
SGIA will be posted on the Commission's internet page at: http://www.ferc.gov/industries/electric/indus-act/gi/small-gen.asp.

    The following reactive power requirements apply only to a newly 
interconnecting wind generating plant that has executed a Facilities 
Study Agreement as of the effective date of the Final Rule 
establishing the reactive power requirements for non-

[[Page 40807]]

synchronous generators in section 9.6.1 of this LGIA (Order No. 
827). A wind generating plant to which this provision applies shall 
maintain a power factor within the range of 0.95 leading to 0.95 
lagging, measured at the Point of Interconnection as defined in this 
LGIA, if the Transmission Provider's System Impact Study shows that 
such a requirement is necessary to ensure safety or reliability. The 
power factor range standard can be met by using, for example, power 
electronics designed to supply this level of reactive capability 
(taking into account any limitations due to voltage level, real 
power output, etc.) or fixed and switched capacitors if agreed to by 
the Transmission Provider, or a combination of the two. The 
Interconnection Customer shall not disable power factor equipment 
while the wind plant is in operation. Wind plants shall also be able 
to provide sufficient dynamic voltage support in lieu of the power 
system stabilizer and automatic voltage regulation at the generator 
excitation system if the System Impact Study shows this to be 
required for system safety or reliability.\174\
---------------------------------------------------------------------------

    \174\ Section A.ii of Appendix G to the pro forma LGIA.

    75. As in Order Nos. 2003 \175\ and 661,\176\ the Commission is 
requiring all public utility \177\ transmission providers to adopt the 
requirements of this Final Rule as revisions (as discussed above) to 
the LGIA and SGIA in their OATTs within 90 days after the publication 
of this Final Rule in the Federal Register.\178\ Transmission providers 
that are not public utilities also must adopt the requirements of this 
Final Rule as a condition of maintaining the status of their safe 
harbor tariff or otherwise satisfying the reciprocity requirement of 
Order No. 888.\179\ As discussed above, we are not requiring changes to 
interconnection agreements already in effect, but are applying the 
requirements of this Final Rule to newly interconnecting non-
synchronous generators that have not yet executed a Facilities Study 
Agreement. The requirements of this Final Rule also do not apply to 
existing non-synchronous generators making upgrades to their Generating 
Facilities that require new interconnection requests.
---------------------------------------------------------------------------

    \175\ Order No. 2003, FERC Stats. & Regs. ] 31,146 at P 910.
    \176\ Order No. 661, FERC Stats. & Regs. ] 31,186 at P 121.
    \177\ For purposes of this Final Rule, a public utility is a 
utility that owns, controls, or operates facilities used for 
transmitting electric energy in interstate commerce, as defined by 
the FPA. See 16 U.S.C. 824(e) (2012). A non-public utility that 
seeks voluntary compliance with the reciprocity condition of an OATT 
may satisfy that condition by filing an OATT, which includes the pro 
forma LGIA and pro forma SGIA.
    \178\ MISO requests that the Commission extend the requirements 
of this Final Rule to the MISO pro forma Generator Interconnection 
Agreement and not just to the Commission's pro forma LGIA and pro 
forma SGIA. MISO Comments at 4-6. As stated, each public utility 
transmission provider subject to this Final Rule is directed to 
adopt the requirements of this Final Rule as revisions to the 
standard interconnection agreements in its OATT.
    \179\ Order No. 888, FERC Stats. & Regs. ] 31,036 at 31,760-63.
---------------------------------------------------------------------------

    76. In some cases, public utility transmission providers may have 
provisions in the currently effective LGIAs and SGIAs in their OATTs 
related to the provision of reactive power by non-synchronous 
generators that the Commission has deemed to be consistent with or 
superior to the pro forma LGIA and pro forma SGIA. Where the relevant 
provisions of the pro forma LGIA and pro forma SGIA are modified by 
this Final Rule, public utility transmission providers must either 
comply with this Final Rule or demonstrate that their previously-
approved LGIA and SGIA variations continue to be consistent with or 
superior to the pro forma LGIA and pro forma SGIA as modified by this 
Final Rule.
    77. In addition, some ISOs/RTOs may have provisions in the 
currently effective LGIAs and SGIAs in their OATTs related to the 
provision of reactive power by non-synchronous generators that the 
Commission has accepted as an independent entity variation to the pro 
forma LGIA and pro forma SGIA. Where the relevant provisions of the pro 
forma LGIA and pro forma SGIA are modified by this Final Rule, ISOs/
RTOs must either comply with this Final Rule or demonstrate that their 
previously-approved LGIA and SGIA variations continue to justify an 
independent entity variation from the pro forma LGIA and pro forma SGIA 
as modified by this Final Rule.

V. Information Collection Statement

    78. The following collection of information contained in this Final 
Rule is subject to review by the Office of Management and Budget (OMB) 
regulations under section 3507(d) of the Paperwork Reduction Act of 
1995.\180\ OMB's regulations require approval of certain information 
collection requirements imposed by agency rules.\181\ Upon approval of 
a collection of information, OMB will assign an OMB control number and 
expiration date. Respondents subject to the filing requirements of this 
Final Rule will not be penalized for failing to respond to this 
collection of information unless the collection of information displays 
a valid OMB control number.
---------------------------------------------------------------------------

    \180\ 44 U.S.C. 3507(d) (2012).
    \181\ 5 CFR 1320.11 (2015).
---------------------------------------------------------------------------

    79. The reforms adopted in this Final Rule revise the Commission's 
pro forma LGIA and pro forma SGIA in accordance with section 
35.28(f)(1) of the Commission's regulations.\182\ This Final Rule 
requires each public utility transmission provider to revise its pro 
forma LGIA and pro forma SGIA to: (1) Eliminate the exemptions for wind 
generators from the requirement to provide reactive power; and (2) 
require that all newly interconnecting non-synchronous generators that 
have not yet executed a Facilities Study Agreement provide reactive 
power as a condition of interconnection as set forth in their LGIA or 
SGIA as of the effective date of this Final Rule. The reforms adopted 
in this Final Rule require filings of pro forma LGIAs and pro forma 
SGIAs with the Commission. The Commission anticipates the revisions 
required by this Final Rule, once implemented, will not significantly 
change currently existing burdens on an ongoing basis. With regard to 
those public utility transmission providers that believe that they 
already comply with the revisions adopted in this Final Rule, they can 
demonstrate their compliance in the filing required 90 days after the 
effective date of this Final Rule. The Commission will submit the 
proposed reporting requirements to OMB for its review and approval 
under section 3507(d) of the Paperwork Reduction Act.\183\
---------------------------------------------------------------------------

    \182\ 18 CFR 35.28(f)(1) (2015).
    \183\ 44 U.S.C. 3507(d) (2012).
---------------------------------------------------------------------------

    80. While the Commission expects the revisions adopted in this 
Final Rule will provide significant benefits, the Commission 
understands that implementation can be a complex and costly endeavor. 
The Commission solicited comments on the accuracy of provided burden 
and cost estimates and any suggested methods for minimizing the 
respondents' burdens. The Commission did not receive any comments 
concerning its burden or cost estimates. Therefore, the Commission 
retains the estimates proposed in the NOPR, with minor changes to 
reflect updated estimates.
    Burden Estimate: The Commission believes that the burden estimates 
below are representative of the average burden on respondents. The 
estimated burden and cost for the requirements adopted in this Final 
Rule follow.\184\
---------------------------------------------------------------------------

    \184\ Commission staff estimates that industry is similarly 
situated in terms of hourly cost (wages plus benefits). Based on the 
Commission's average cost (wages plus benefits) for 2015, $72/hour 
is used.

[[Page 40808]]



                                                       FERC 516B Revisions in Final Rule in RM16-1
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                        Number of     Annual number of                                                            Total annual  burden
                                       respondents      responses per   Total number of  responses  Average burden (hrs.) and   hours  and total  annual
                                          \185\          respondent                                   cost ($) per response            cost  ($)
                                                 (1)               (2)  (1) * (2) = (3)...........  (4)......................  (3) * (4) = (5)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Conforming LGIA changes to                       132                 1  132.......................  7.5......................  990 hours.
 incorporate revisions.                                                                             $540.....................  $71,280.
Conforming SGIA changes to                       118                 1  118.......................  7.5......................  885 hours.
 incorporate revisions.                                                                             $540.....................  $63,720.
                                   ---------------------------------------------------------------------------------------------------------------------
    Total.........................  ................  ................  250.......................  15 hours.................  1,875 hours.
                                                                                                    $1,080...................  $135,000.
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Cost to Comply: The Commission has projected the total cost of 
compliance as follows: \186\
---------------------------------------------------------------------------

    \185\ Number of Applicable Registered Entities.
    \186\ The costs for Year 1 consist of filing revisions to the 
pro forma LGIA and pro forma SGIA with the Commission within 90 days 
of the effective date of this Final Rule plus initial 
implementation. The Commission does not expect any ongoing costs 
beyond the initial compliance in Year 1.
---------------------------------------------------------------------------

     Year 1: $135,000 ($1,080/utility).
     Year 2: $0.
    After implementation in Year 1, the revisions adopted in this Final 
Rule would be complete.
    Title: FERC-516B, Electric Rate Schedules and Tariff Filings.
    Action: Revisions to an information collection.
    OMB Control No.: TBD
    Respondents for this Rulemaking: Businesses or other for profit 
and/or not-for-profit institutions.
    Frequency of Information: One-time during Year 1.
    Necessity of Information: The Commission adopts revisions in this 
Final Rule to the pro forma LGIA and pro forma SGIA to improve the 
reliability of the bulk power system by requiring all newly 
interconnecting non-synchronous generators to provide reactive power as 
a condition of interconnection, and to ensure that all generators are 
being treated in a not unduly discriminatory or preferential manner.
    Internal Review: The Commission has reviewed the requirements in 
this Final Rule and has determined that such revisions are necessary. 
These requirements conform to the Commission's need for efficient 
information collection, communication, and management within the energy 
industry. The Commission has assured itself, by means of internal 
review, that there is specific, objective support for the burden 
estimates associated with the information collection requirements.
    81. 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.
    82. Comments on the collection of information and the associated 
burden estimates in this 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, 725 17th Street 
NW., Washington, DC 20503 [Attention: Desk Officer for the Federal 
Energy Regulatory Commission], at the following email address: 
[email protected]. Please reference the docket number of this 
rulemaking in your submission.

VI. Regulatory Flexibility Act Certification

    83. The Regulatory Flexibility Act of 1980 (RFA) \187\ generally 
requires a description and analysis of rules that will have significant 
economic impact on a substantial number of small entities. The RFA does 
not mandate any particular outcome in a rulemaking. It only requires 
consideration of alternatives that are less burdensome to small 
entities and an agency explanation of why alternatives were rejected.
---------------------------------------------------------------------------

    \187\ 5 U.S.C. 601-12 (2012).
---------------------------------------------------------------------------

    84. The Small Business Administration (SBA) revised its size 
standards (effective January 22, 2014) for electric utilities from a 
standard based on megawatt hours to a standard based on the number of 
employees, including affiliates. Under SBA's standards, some 
transmission owners will fall under the following category and 
associated size threshold: Electric bulk power transmission and 
control, at 500 employees.\188\
---------------------------------------------------------------------------

    \188\ 13 CFR 121.201, Sector 22 (Utilities), NAICS code 221121 
(Electric Bulk Power Transmission and Control) (2015).
---------------------------------------------------------------------------

    85. The Commission estimates that the total number of public 
utility transmission providers that would have to modify the LGIAs and 
SGIAs within their currently effective OATTs is 132. Of these, the 
Commission estimates that approximately 43 percent are small entities 
(approximately 57 entities). The Commission estimates the average total 
cost to each of these entities will be minimal, requiring on average 15 
hours or $1,080. According to SBA guidance, the determination of 
significance of impact ``should be seen as relative to the size of the 
business, the size of the competitor's business, and the impact the 
regulation has on larger competitors.'' \189\ The Commission does not 
consider the estimated burden to be a significant economic impact. As a 
result, the Commission certifies that the revisions adopted in this 
Final Rule will not have a significant economic impact on a substantial 
number of small entities.
---------------------------------------------------------------------------

    \189\ U.S. Small Business Administration, A Guide for Government 
Agencies How to Comply with the Regulatory Flexibility Act, at 18 
(May 2012), https://www.sba.gov/sites/default/files/advocacy/rfaguide_0512_0.pdf.
---------------------------------------------------------------------------

VII. Environmental Analysis

    86. 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.\190\ As we 
stated in the NOPR, the Commission concludes that neither an 
Environmental Assessment nor an Environmental Impact Statement is 
required for the revisions adopted in this Final Rule under section 
380.4(a)(15) of the Commission's

[[Page 40809]]

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 
of electric energy subject to the Commission's jurisdiction, plus the 
classification, practices, contracts and regulations that affect rates, 
charges, classifications, and services.\191\ The revisions adopted in 
this Final Rule update and clarify the application of the Commission's 
standard interconnection requirements to non-synchronous generators. 
Therefore, this Final Rule falls within the categorical exemptions 
provided in the Commission's regulations, and as a result neither an 
Environmental Impact Statement nor an Environmental Assessment is 
required.
---------------------------------------------------------------------------

    \190\ Regulations Implementing National Environmental Policy Act 
of 1969, Order No. 486, FERC Stats. & Regs. ] 30,783 (1987).
    \191\ 18 CFR 380.4(a)(15) (2015).
---------------------------------------------------------------------------

VIII. Document Availability

    87. 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.
    88. 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 of this document, excluding the last three digits, in 
the docket number field.
    89. 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].

IX. Effective Date and Congressional Notification

    90. The Final Rule is effective September 21, 2016. However, as 
noted above, the requirements of this Final Rule will apply only to 
newly interconnecting non-synchronous generators that have not yet 
executed a Facilities Study Agreement. 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, Non-discriminatory open 
access transmission tariffs.

    By the Commission.

    Issued: June 16, 2016.
Kimberly D. Bose,
Secretary.

    The following appendix will not appear in the Code of Federal 
Regulations.

                     Appendix A--List of Commenters
                              [RM16-1-000]
------------------------------------------------------------------------
 
------------------------------------------------------------------------
AWEA and LSA......................  American Wind Energy Association and
                                     Large-scale Solar Association.
CAISO.............................  California Independent System
                                     Operator Corporation.
EEI...............................  Edison Electric Institute.
EPSA..............................  Electric Power Supply Association.
Idaho Power.......................  Idaho Power Company.
Indicated NYTOs...................  Consolidated Edison Company of New
                                     York, Inc.; Niagara Mohawk Power
                                     Corporation d/b/a National Grid;
                                     and Orange and Rockland Utilities,
                                     Inc.
ISO/RTO Council...................  ISO/RTO Council.
ISO[dash]NE.......................  ISO New England Inc.
ITC...............................  International Transmission Company d/
                                     b/a ITC Transmission; Michigan
                                     Electric Transmission Company, LLC;
                                     ITC Midwest LLC; and ITC Great
                                     Plains, LLC.
Joint NYTOs.......................  New York Power Authority; New York
                                     State Electric and Gas; Rochester
                                     Gas and Electric; and Central
                                     Hudson Gas and Electric.
Lincoln...........................  City of Lincoln, Nebraska d/b/a
                                     Lincoln Electric System.
MATL..............................  MATL LLP.
Midwest Energy....................  Midwest Energy, Inc.
MISO..............................  Midcontinent Independent System
                                     Operator, Inc.
NaturEner.........................  NaturEner USA, LLC and its
                                     subsidiaries.
NEPOOL............................  New England Power Pool Participants
                                     Committee.
NERC..............................  North American Electric Reliability
                                     Corporation.
NextEra...........................  NextEra Energy, Inc.
PG&E..............................  Pacific Gas and Electric Company.
Public Interest Organizations.....  Center for Rural Affairs; Clean
                                     Wisconsin; Great Plains Institute;
                                     Natural Resources Defense Council;
                                     Sierra Club; Sustainable FERC
                                     Project; Western Grid Group; Wind
                                     on the Wires.
SCE...............................  Southern California Edison Company.
SDG&E.............................  San Diego Gas and Electric Company.
Six Cities........................  Cities of Anaheim, Azusa, Banning,
                                     Colton, Pasadena, and Riverside,
                                     California.
Union of Concerned Scientists.....  Union of Concerned Scientists.
------------------------------------------------------------------------

[FR Doc. 2016-14764 Filed 6-22-16; 8:45 am]
 BILLING CODE 6717-01-P



                                                                            Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations                                                                                                40793

                                                  believes that the interpretation is best                                   intentional access delays on market                                         Title 17, chapter II, of the Code of
                                                  focused on whether an intentional delay                                    quality, including price discovery and                                      Federal Regulations as follows:
                                                  is so short as to not frustrate the                                        report back to the Commission with the
                                                  purposes of Rule 611 by impairing fair                                     results of any recommendations. Based                                       PART 241—INTERPRETATIVE
                                                  and efficient access to an exchange’s                                      on the results of that study or earlier as                                  RELEASES RELATING TO THE
                                                  quotations. As it makes findings as to                                     it determines, the Commission will                                          SECURITIES EXCHANGE ACT OF 1934
                                                  whether particular access delays are de                                    reassess whether further action is                                          AND GENERAL RULES AND
                                                  minimis in the context of individual                                       appropriate.                                                                REGULATIONS THEREUNDER
                                                  exchange proposals,77 the Commission
                                                  recognizes that such findings create                                       List of Subjects in 17 CFR Part 241
                                                                                                                                                                                                           Part 241 is amended by adding
                                                  common standards that must be applied                                          Securities.                                                             Release No. 34–78102 to the list of
                                                  fairly and consistently to all market                                                                                                                  interpretative releases as follows:
                                                                                                                             Text of Amendments
                                                  participants.
                                                     The Staff will also conduct a study                                       For the reasons set out in the
                                                  within two years regarding the effects of                                  preamble, the Commission is amending

                                                                                                                                                                                                                                               Federal
                                                                                                  Subject                                                            Release No.                      Date                                    Register
                                                                                                                                                                                                                                            vol. and page


                                                            *                 *                 *                                                                *                            *                                *                  *
                                                  Interpretation Regarding Automated Quotations Under Regulation                                                      34–78102             June 17, 2016 ......             121 FR [Insert FR Page Number].
                                                     NMS.


                                                    By the Commission.                                                       ACTION:       Final rule.                                                   FOR FURTHER INFORMATION CONTACT:
                                                    Dated: June 17, 2016.                                                                                                                                Brian Bak (Technical Information),
                                                  Robert W. Errett,                                                          SUMMARY:    The Federal Energy                                              Office of Energy Policy and Innovation,
                                                                                                                             Regulatory Commission (Commission) is                                       Federal Energy Regulatory Commission,
                                                  Deputy Secretary.
                                                                                                                             eliminating the exemptions for wind
                                                  [FR Doc. 2016–14876 Filed 6–22–16; 8:45 am]                                                                                                            888 First Street NE., Washington, DC
                                                                                                                             generators from the requirement to
                                                  BILLING CODE 8011–01–P                                                                                                                                 20426, (202) 502–6574, brian.bak@
                                                                                                                             provide reactive power by revising the
                                                                                                                             pro forma Large Generator                                                   ferc.gov.
                                                                                                                             Interconnection Agreement (LGIA),                                             Gretchen Kershaw (Legal
                                                  DEPARTMENT OF ENERGY                                                       Appendix G to the pro forma LGIA, and                                       Information), Office of the General
                                                                                                                             the pro forma Small Generator                                               Counsel, Federal Energy Regulatory
                                                  Federal Energy Regulatory
                                                                                                                             Interconnection Agreement (SGIA). As a                                      Commission, 888 First Street NE.,
                                                  Commission
                                                                                                                             result, all newly interconnecting non-                                      Washington, DC 20426, (202) 502–8213,
                                                                                                                             synchronous generators will be required                                     gretchen.kershaw@ferc.gov.
                                                  18 CFR Part 35
                                                                                                                             to provide reactive power at the high-
                                                  [Docket No. RM16–1–000; Order No. 827]                                                                                                                 SUPPLEMENTARY INFORMATION:
                                                                                                                             side of the generator substation as a
                                                                                                                             condition of interconnection as set forth                                   Table of Contents
                                                  Reactive Power Requirements for Non-                                       in their LGIA or SGIA as of the effective
                                                  Synchronous Generation                                                     date of this Final Rule.
                                                  AGENCY:Federal Energy Regulatory                                           DATES: This Final Rule will become
                                                  Commission, DOE.                                                           effective September 21, 2016.

                                                                                                                                                                                                                                                                Paragraph

                                                  I. Background ............................................................................................................................................................................................            6
                                                  II. Need for Reform ...................................................................................................................................................................................              11
                                                  III. Discussion ...........................................................................................................................................................................................          13
                                                        A. Reactive Power Requirement for Non-Synchronous Generators ...............................................................................................                                                   16
                                                            1. NOPR Proposal .......................................................................................................................................................................                   16
                                                            2. Comments ...............................................................................................................................................................................                17
                                                            3. Commission Determination ...................................................................................................................................................                            21
                                                        B. Power Factor Range, Point of Measurement, and Dynamic Reactive Power Capability Requirements ..................................                                                                             26
                                                            1. NOPR Proposal .......................................................................................................................................................................                   26
                                                            2. Comments ...............................................................................................................................................................................                27
                                                            3. Commission Determination ...................................................................................................................................................                            34
                                                        C. Real Power Output Level .............................................................................................................................................................                       41
                                                            1. NOPR Proposal .......................................................................................................................................................................                   41
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                                                            2. Comments ...............................................................................................................................................................................                42
                                                            3. Commission Determination ...................................................................................................................................................                            47
                                                        D. Compensation ...............................................................................................................................................................................                50
                                                            1. NOPR Proposal .......................................................................................................................................................................                   50
                                                            2. Comments ...............................................................................................................................................................................                51



                                                    77 See supra note 56 (discussing the proposed rule

                                                  change process under the Exchange Act). See also
                                                  IEX Form 1 Approval Order, supra note 4.

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                                                  40794                    Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations

                                                                                                                                                                                                                                                         Paragraph

                                                           3. Commission Determination ...................................................................................................................................................                      52
                                                       E. Application of the Final Rule ......................................................................................................................................................                  53
                                                           1. NOPR Proposal .......................................................................................................................................................................             53
                                                           2. Comments ...............................................................................................................................................................................          54
                                                           3. Commission Determination ...................................................................................................................................................                      59
                                                                a. Newly Interconnecting Non-Synchronous Generators .................................................................................................                                           60
                                                                b. Upgrades to Existing Non-Synchronous Generators .....................................................................................................                                        64
                                                       F. Regional Flexibility .......................................................................................................................................................................          68
                                                       G. Miscellaneous Comments .............................................................................................................................................................                  70
                                                  IV. Compliance and Implementation ......................................................................................................................................................                      74
                                                  V. Information Collection Statement .......................................................................................................................................................                   78
                                                  VI. Regulatory Flexibility Act Certification ............................................................................................................................................                     83
                                                  VII. Environmental Analysis ....................................................................................................................................................................              86
                                                  VIII. Document Availability .....................................................................................................................................................................             87
                                                  IX. Effective Date and Congressional Notification .................................................................................................................................                           90


                                                  Order No. 827                                                            that have not yet executed a Facilities Study                            Interconnection at a power factor 4
                                                                                                                           Agreement as of the effective date of the                                within the range of 0.95 leading to 0.95
                                                  Final Rule
                                                                                                                           Final Rule establishing this requirement                                 lagging’’ 5 (the reactive power
                                                     1. The Federal Energy Regulatory                                      (Order No. 827).                                                         requirement).
                                                  Commission (Commission) is                                                                                                                           4. As discussed below, however, wind
                                                  eliminating the exemptions for wind                                         2. Section 35.28(f)(1) of the                                         generators have been exempt from the
                                                  generators from the requirement to                                       Commission’s regulations requires every                                  general requirement to provide reactive
                                                  provide reactive power by revising the                                   public utility with an open access                                       power absent a study finding that the
                                                  pro forma Large Generator                                                transmission tariff (OATT) on file to                                    provision of reactive power is necessary
                                                  Interconnection Agreement (LGIA),                                        also have on file the pro forma LGIA                                     to ensure safety or reliability. The
                                                  Appendix G to the pro forma LGIA, and                                    and pro forma SGIA ‘‘required by                                         Commission exempted wind generators
                                                  the pro forma Small Generator                                            Commission rulemaking proceedings                                        from the uniform reactive power
                                                  Interconnection Agreement (SGIA).                                        promulgating and amending such                                           requirement because, historically, the
                                                  Under this Final Rule, newly                                             interconnection procedures and                                           costs to design and build a wind
                                                  interconnecting non-synchronous                                          agreements.’’ 2 As a result of this Final                                generator that could provide reactive
                                                  generators that have not yet executed a                                  Rule, all newly interconnecting non-                                     power were high and could have created
                                                  Facilities Study Agreement as of the                                     synchronous generators will be required                                  an obstacle to the development of wind
                                                  effective date of this Final Rule will be                                to provide reactive power as a condition                                 generation.6 Due to technological
                                                  required to provide dynamic reactive                                     of interconnection pursuant to the pro                                   advancements, the cost of providing
                                                  power within the range of 0.95 leading                                   forma LGIA and pro forma SGIA. These                                     reactive power no longer presents an
                                                  to 0.95 lagging at the high-side of the                                  reactive power requirements will apply                                   obstacle to the development of wind
                                                  generator substation. This Final Rule                                    to any new non-synchronous generator                                     generation.7 The resulting decline in the
                                                  revises the pro forma LGIA and pro                                       seeking to interconnect to the                                           cost to wind generators of providing
                                                  forma SGIA to establish reactive power                                   transmission system that has not yet
                                                  requirements for non-synchronous                                         executed a Facilities Study Agreement
                                                                                                                                                                                                       4 The power factor of an alternating current

                                                  generation. Specifically, the pro forma                                                                                                           transmission system is the ratio of real power to
                                                                                                                           as of the effective date of this Final                                   apparent power. Reliable operation of a
                                                  LGIA will include the following (the pro                                 Rule.                                                                    transmission system requires system operators to
                                                  forma SGIA will include similar                                                                                                                   maintain a tight control of voltages (at all points)
                                                  language): 1                                                                3. The existing pro forma LGIA and                                    on the transmission system. The ability to vary the
                                                                                                                           pro forma SGIA both require, as a                                        ratio of real power to apparent power (i.e., adjust
                                                    Non-Synchronous Generation.                                                                                                                     the power factor) allows system operators to
                                                  Interconnection Customer shall design the
                                                                                                                           condition of interconnection, an
                                                                                                                                                                                                    maintain scheduled voltages within allowed for
                                                  Large Generating Facility to maintain a                                  interconnecting generator to design its                                  tolerances on the transmission system and maintain
                                                  composite power delivery at continuous                                   Generating Facility 3 ‘‘to maintain a                                    the reliability of the transmission system. The
                                                  rated power output at the high-side of the                               composite power delivery at continuous                                   Commission established a required power factor
                                                  generator substation at a power factor within                            rated power output at the Point of                                       range in Order No. 2003 of 0.95 leading to 0.95
                                                  the range of 0.95 leading to 0.95 lagging,                                                                                                        lagging, but allowed transmission providers to
                                                                                                                                                                                                    establish different requirements to be applied on a
                                                  unless the Transmission Provider has                                        2 18 CFR 35.28(f)(1) (2015).                                          comparable basis. See Standardization of Generator
                                                  established a different power factor range                                  3 The                                                                 Interconnection Agreements and Procedures, Order
                                                                                                                                    pro forma LGIA defines ‘‘Generating
                                                  that applies to all non-synchronous                                                                                                               No. 2003, FERC Stats. & Regs. ¶ 31,146, at P 542
                                                                                                                           Facility’’ as an ‘‘Interconnection Customer’s device
                                                  generators in the Control Area on a                                      for the production of electricity identified in the                      (2003), order on reh’g, Order No. 2003–A, FERC
                                                  comparable basis. This power factor range                                Interconnection Request,’’ excluding the                                 Stats. & Regs. ¶ 31,160, order on reh’g, Order No.
                                                  standard shall be dynamic and can be met                                 Interconnection Customer’s Interconnection                               2003–B, FERC Stats. & Regs. ¶ 31,171 (2004), order
                                                  using, for example, power electronics                                    Facilities. The pro forma LGIA further defines                           on reh’g, Order No. 2003–C, FERC Stats. & Regs.
                                                  designed to supply this level of reactive                                ‘‘Large Generating Facility’’ as a ‘‘Generating                          ¶ 31,190 (2005), aff’d sub nom. Nat’l Ass’n of
                                                  capability (taking into account any                                      Facility having a Generating Facility Capacity of                        Regulatory Util. Comm’rs v. FERC, 475 F.3d 1277
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                                                                                                                           more than 20 MW.’’ The pro forma SGIA defines                            (D.C. Cir. 2007), cert. denied, 552 U.S. 1230 (2008).
                                                  limitations due to voltage level, real power                                                                                                         5 Section 9.6.1 of the pro forma LGIA and section
                                                  output, etc.) or fixed and switched                                      ‘‘Small Generating Facility’’ as an ‘‘Interconnection
                                                                                                                           Customer’s device for the production and/or storage                      1.8.1 of the pro forma SGIA.
                                                  capacitors, or a combination of the two. This                                                                                                        6 Interconnection for Wind Energy, Order No. 661,
                                                                                                                           for later injection of electricity identified in the
                                                  requirement shall only apply to newly                                                                                                             FERC Stats. & Regs. ¶ 31,186, at P 51, order on reh’g,
                                                                                                                           Interconnection Request,’’ excluding the
                                                  interconnecting non-synchronous generators                               Interconnection Customer’s Interconnection                               Order No. 661–A, FERC Stats. & Regs. ¶ 31,198
                                                                                                                           Facilities. For purposes of this Final Rule, unless                      (2005).
                                                    1 See Section IV of this Final Rule, Compliance                        otherwise noted, ‘‘Generating Facility’’ refers to                          7 See, e.g., Payment for Reactive Power,

                                                  and Implementation, for the specific changes to the                      both a Large Generating Facility and a Small                             Commission Staff Report, Docket No. AD14–7, app.
                                                  pro forma LGIA and pro forma SGIA.                                       Generating Facility.                                                     2, at 1–3 (Apr. 22, 2014).



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                                                                     Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations                                                  40795

                                                  reactive power renders the current                      generators as an ancillary service in                  reactive power capability is required to
                                                  absolute exemptions unjust,                             Schedule 2 of the pro forma OATT, the                  ensure safety or reliability.16 The
                                                  unreasonable, and unduly                                Commission issued a series of orders                   Commission explained that this
                                                  discriminatory and preferential. Further,               intended to ensure that sufficient                     qualified exemption from the reactive
                                                  the growing penetration of wind                         reactive power is available to maintain                power requirement for large wind
                                                  generators on some systems increases                    the reliability of the bulk power system.              generators would provide certainty to
                                                  the potential for a deficiency in reactive                 7. Starting with Order No. 2003, the                the industry and ‘‘remove unnecessary
                                                  power.8                                                 Commission adopted standard                            obstacles to the increased growth of
                                                    5. Given these changes, the                           procedures and a standard agreement                    wind generation.’’ 17
                                                  Commission finds under section 206 of                   for the interconnection of Large
                                                  the Federal Power Act (FPA) 9 that wind                 Generating Facilities (the pro forma                      9. In May 2005, the Commission
                                                  generators should not have an                           LGIA), which included the reactive                     issued Order No. 2006,18 in which it
                                                  exemption from the reactive power                       power requirement.11 Under this                        adopted standard procedures and a
                                                  requirement which is unavailable to                     requirement, large generators must                     standard agreement for the
                                                  other generators. While we find that                    design their Large Generating Facilities               interconnection of Small Generating
                                                  requiring non-synchronous generators to                 to provide 0.95 leading to 0.95 lagging                Facilities (pro forma SGIA).19 In Order
                                                  provide dynamic reactive power is now                   reactive power at the Point of                         No. 2006, the Commission completely
                                                  reasonable, we recognize that                           Interconnection. Synchronous                           exempted small wind generators from
                                                  distinctions between non-synchronous                    generators have met this requirement by                the reactive power requirement.20 The
                                                  and synchronous generators still exist                  providing dynamic reactive power at the                Commission reasoned that, similar to
                                                  and that these differences justify                      Point of Interconnection, utilizing the                large wind generators, small wind
                                                  requiring non-synchronous generators to                 inherent dynamic reactive power                        generators would face increased costs to
                                                  provide dynamic reactive power at a                     capability of synchronous generators.                  provide reactive power that could create
                                                  different location than synchronous                     The Commission recognized in Order                     an obstacle to the development of small
                                                  generators: Non-synchronous generators                  No. 2003–A that the pro forma LGIA                     wind generators. Additionally, the
                                                  will be required to provide dynamic                     was ‘‘designed around the needs of large
                                                  reactive power at the high-side of the                                                                         Commission reasoned that small wind
                                                                                                          synchronous generators and that                        generators would ‘‘have minimal impact
                                                  generator substation, as opposed to the                 generators relying on newer
                                                  Point of Interconnection. The reactive                                                                         on the Transmission Provider’s electric
                                                                                                          technologies may find that either a                    system’’ and therefore the reliability
                                                  power requirements we adopt here for                    specific requirement is inapplicable or
                                                  newly interconnecting non-synchronous                                                                          requirements for large wind generators
                                                                                                          that it calls for a slightly different
                                                  generators provide just and reasonable                                                                         that were eventually imposed in Order
                                                                                                          approach’’ because such generators
                                                  terms, which recognize the technical                    ‘‘may have unique electrical                           No. 661 were not needed for small wind
                                                  differences of non-synchronous                          characteristics.’’ 12 Therefore, the                   generators.21
                                                  generators from synchronous generators.                 Commission exempted wind generators                       10. Since the Commission provided
                                                  These requirements also benefit                         from this reactive power requirement.13                these exemptions from the reactive
                                                  customers by ensuring that reliability is                  8. In June 2005, the Commission                     power requirement for wind generators,
                                                  protected without adding unnecessary                    issued Order No. 661,14 establishing                   the equipment needed for a wind
                                                  obstacles to further development of non-                interconnection requirements in                        generator to provide reactive power has
                                                  synchronous generators.                                 Appendix G to the pro forma LGIA for                   become more commercially available
                                                  I. Background                                           large wind generators.15 Recognizing                   and less costly, such that the cost of
                                                                                                          that, unlike traditional synchronous                   installing equipment that is capable of
                                                     6. Transmission providers require
                                                                                                          generators, wind generators had to                     providing reactive power is comparable
                                                  reactive power to control system voltage
                                                                                                          ‘‘install costly equipment’’ to maintain
                                                  for efficient and reliable operation of an
                                                                                                          reactive power capability, the                            16 Id. PP 50–51. Appendix G states: ‘‘A wind
                                                  alternating current transmission system.
                                                                                                          Commission in Order No. 661 preserved                  generating plant shall maintain a power factor
                                                  At times, transmission providers need                                                                          within the range of 0.95 leading to 0.95 lagging,
                                                  generators to either supply or consume                  the exemption for large wind generators
                                                                                                                                                                 measured at the Point of Interconnection as defined
                                                  reactive power. Starting with Order No.                 from the reactive power requirement                    in this LGIA, if the Transmission Provider’s System
                                                  888,10 which included provisions                        unless the transmission provider shows,                Impact Study shows that such a requirement is
                                                  regarding reactive power from                           through a System Impact Study, that                    necessary to ensure safety or reliability.’’
                                                                                                                                                                    17 Id. P 50.

                                                                                                             11 Order No. 2003, FERC Stats. & Regs. ¶ 31,146        18 Standardization of Small Generator
                                                    8 See, e.g., PJM Interconnection, L.L.C., 151 FERC
                                                                                                          at PP 1, 542.                                          Interconnection Agreements and Procedures, Order
                                                  ¶ 61,097, at P 7 (2015); CAISO Comments at 2–3             12 Order No. 2003–A, FERC Stats. & Regs.            No. 2006, FERC Stats. & Regs. ¶ 31,180, Attachment
                                                  (explaining that, in 2014, CAISO had over 11,000                                                               F (Small Generator Interconnection Agreement),
                                                  MW of interconnected variable energy resources,         ¶ 31,160 at P 407 & n.85.
                                                                                                             13 Id. Article 9.6.1 of the pro forma LGIA          order on reh’g, Order No. 2006–A, FERC Stats. &
                                                  the majority of which are non-synchronous
                                                                                                          provides: ‘‘Interconnection Customer shall design      Regs. ¶ 31,196 (2005), order granting clarification,
                                                  generators, but expects to have over 20,000 MW of
                                                                                                          the Large Generating Facility to maintain a            Order No. 2006–B, FERC Stats. & Regs. ¶ 31,221
                                                  such resources interconnected by 2024).
                                                    9 16 U.S.C. 824d–e (2012).                            composite power delivery at continuous rated           (2006).
                                                                                                                                                                    19 Id. P 1.
                                                    10 Promoting Wholesale Competition Through            power output at the Point of Interconnection at a
                                                                                                          power factor within the range of 0.95 leading to          20 Id. P 387. Section 1.8.1 of the pro forma SGIA
                                                  Open Access Non-Discriminatory Transmission
                                                  Services by Public Utilities; Recovery of Stranded      0.95 lagging, unless Transmission Provider has         states: ‘‘The Interconnection Customer shall design
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                                                  Costs by Public Utilities and Transmitting Utilities,   established different requirements that apply to all   its Small Generating Facility to maintain a
                                                  Order No. 888, FERC Stats. & Regs. ¶ 31,036 (1996),     generators in the Control Area on a comparable         composite power delivery at continuous rated
                                                  order on reh’g, Order No. 888–A, FERC Stats. &          basis. The requirements of this paragraph shall not    power output at the Point of Interconnection at a
                                                  Regs. ¶ 31,048, order on reh’g, Order No. 888–B, 81     apply to wind generators.’’                            power factor within the range of 0.95 leading to
                                                  FERC ¶ 61,248 (1997), order on reh’g, Order No.            14 Interconnection for Wind Energy, Order No.       0.95 lagging, unless the Transmission Provider has
                                                  888–C, 82 FERC ¶ 61,046 (1998), aff’d in relevant       661, FERC Stats. & Regs. ¶ 31,186, Appendix B          established different requirements that apply to all
                                                  part sub nom. Transmission Access Policy Study          (Appendix G—Interconnection Requirements for a         similarly situated generators in the control area on
                                                  Group v. FERC, 225 F.3d 667 (D.C. Circuit 2000),        Wind Generating Plant), order on reh’g, Order No.      a comparable basis. The requirements of this
                                                  aff’d sub nom. New York v. FERC, 535 U.S. 1             661–A, FERC Stats. & Regs. ¶ 31,198 (2005).            paragraph shall not apply to wind generators.’’
                                                  (2002).                                                    15 Id. P 1.                                            21 Id. P 24.




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                                                  40796              Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations

                                                  to the costs of a traditional generator.22              forth in the existing pro forma LGIA and               advancements in technology do not
                                                  Recognizing these factors, the                          pro forma SGIA, is reasonable given the                permit some non-synchronous
                                                  Commission recently accepted a                          technology used by non-synchronous                     generators to provide dynamic reactive
                                                  proposal by PJM Interconnection, L.L.C.                 generators; whether newly                              power at reasonable cost at the Point of
                                                  (PJM), effectively removing the wind                    interconnecting non-synchronous                        Interconnection. Recognizing the
                                                  generator exemptions from the PJM                       generators should only be required to                  differences between the two categories
                                                  tariff.23 Specifically, the Commission                  produce reactive power when the                        of generation, we have determined to
                                                  granted PJM an ‘‘independent entity                     generator’s real power output is greater               require non-synchronous generators to
                                                  variation’’ from Order No. 661 in                       than 10 percent of nameplate capacity;                 provide dynamic reactive power at the
                                                  accepting PJM’s proposal to require                     and whether the existing methods used                  high-side of the generator substation.31
                                                  interconnection customers seeking to                    to determine reactive power                               14. The requirements adopted by this
                                                  interconnect non-synchronous                            compensation are appropriate for wind                  Final Rule are intended to ensure that
                                                  generators,24 including wind generators,                generators and, if not, what alternatives              all generators, both synchronous and
                                                  to use ‘‘enhanced inverters’’ with the                  would be appropriate.29                                non-synchronous, are treated in a not
                                                  capability to provide reactive power.25                    12. In response to the NOPR, 24                     unduly discriminatory or preferential
                                                  The Commission observed that,                           entities submitted comments,30 most of                 manner, as required by sections 205 and
                                                  ‘‘[a]lthough there are still technical                  which generally support the proposed                   206 of the FPA, and to ensure sufficient
                                                  differences between non-synchronous                     elimination of the exemptions.                         reactive power is available on the bulk
                                                  generators [such as wind generators]                    However, some commenters seek                          power system as more non-synchronous
                                                  and traditional generators, with regard                 clarification of various issues that fall              generators seek to interconnect and
                                                  to the provision of reactive power, those               into six broad categories: (1) Comments                more synchronous generators retire.
                                                  differences have significantly                          regarding where the reactive power                        15. We discuss below the issues
                                                  diminished since the Commission                         requirement should be measured (the                    raised in the comments.
                                                  issued Order No. 661.’’ 26 The                          Point of Interconnection, the generator
                                                                                                          terminals, or elsewhere); (2) comments                 A. Reactive Power Requirement for Non-
                                                  Commission agreed with PJM ‘‘that the                                                                          Synchronous Generators
                                                  technology has changed both in                          contesting the proposal to require fully
                                                  availability and in cost since the                      dynamic reactive power capability; (3)                 1. NOPR Proposal
                                                  Commission rejected [the California                     comments contesting the proposal to                       16. In the NOPR, the Commission
                                                  Independent System Operator’s]                          require non-synchronous generators to                  proposed to eliminate the exemptions
                                                  proposal in 2010,’’ such that ‘‘PJM’s                   maintain the required power factor                     for wind generators from the reactive
                                                  proposal will not present a barrier to                  range only when the generator’s real                   power requirement, and thereby to
                                                  non-synchronous resources.’’ 27                         power output exceeds 10 percent of its                 require that all newly interconnecting
                                                                                                          nameplate capacity; (4) comments on                    non-synchronous generators provide
                                                  II. Need for Reform                                     compensation methods for reactive                      reactive power as a condition of
                                                     11. Based upon this information, on                  power; (5) comments seeking
                                                                                                                                                                 interconnection.32
                                                  November 19, 2015, the Commission                       clarification as to which non-
                                                  issued a Proposal to Revise Standard                    synchronous resources the Final Rule                   2. Comments
                                                  Generator Interconnection Agreements                    will apply; and (6) comments on the                       17. Most commenters agree that the
                                                  (NOPR) that proposed to eliminate the                   need for regional flexibility.                         current exemptions for wind generators
                                                  exemptions for wind generators from                     III. Discussion                                        from the reactive power requirement are
                                                  the requirement to provide reactive                                                                            unjust, unreasonable, and unduly
                                                  power as contained in the pro forma                        13. The Commission finds that, given
                                                                                                                                                                 discriminatory and preferential due to
                                                  LGIA, Appendix G to the pro forma                       the changes to the cost of providing
                                                                                                                                                                 increases in the number and size of non-
                                                  LGIA, and the pro forma SGIA.28 In the                  reactive power by non-synchronous
                                                                                                                                                                 synchronous generators, and advances
                                                  NOPR, the Commission sought                             generators, as well as the growing
                                                                                                                                                                 in non-synchronous generator
                                                  comment on: Whether to remove the                       penetration of such generators, the
                                                                                                                                                                 technology.33 Commenters contend that
                                                  exemptions for wind generators from                     reactive power requirements in the pro
                                                                                                          forma LGIA and pro forma SGIA are no                   operation and planning of the bulk
                                                  the reactive power requirement;                                                                                power system requires adequate levels
                                                  whether the current power factor range                  longer just and reasonable and are
                                                                                                          unduly discriminatory and preferential                 of voltage support, and that exempting
                                                  of 0.95 leading to 0.95 lagging, as set                                                                        wind generators from the reactive power
                                                                                                          and, thus, need to be revised. We have
                                                                                                          determined in this Final Rule to apply                 requirement may inhibit the proper
                                                     22 See, e.g., Payment for Reactive Power,

                                                  Commission Staff Report, Docket No. AD14–7, app.        comparable reactive power                                 31 This measurement point is different from Order
                                                  1, at 6, app. 2, at 4–5 (Apr. 22, 2014).                requirements to non-synchronous                        No. 2003 requirement, which measures the power
                                                     23 PJM Interconnection, L.L.C., 151 FERC ¶ 61,097
                                                                                                          generators and synchronous generators.                 factor at the Point of Interconnection. As an
                                                  at P 28.                                                We recognize technological differences                 example, the generator substation would be the
                                                     24 Non-synchronous generators are ‘‘connected to
                                                                                                          between non-synchronous and                            substation for a wind generator that separates the
                                                  the bulk power system through power electronics,                                                               low-voltage collector system from the higher voltage
                                                  but do not produce power at system frequency (60        synchronous generators still remain.                   elements of the Interconnection Customer
                                                  Hz).’’ They ‘‘do not operate in the same way as         Because of the configuration and means                 Interconnection Facilities that bring the generator’s
                                                  traditional generators and respond differently to       of producing power of synchronous                      energy to the Point of Interconnection. Both the pro
                                                  network disturbances.’’ Id. P 1 n.3 (citing Order No.                                                          forma Large Generator Interconnection Procedures
                                                  661, FERC Stats. & Regs. ¶ 31,198 at P 3 n.4). Wind
                                                                                                          generators, these generators provide
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                                                                                                                                                                 and the pro forma Small Generator Interconnection
                                                  and solar photovoltaic generators are two examples      dynamic reactive power at the Point of                 Procedures require interconnecting generators to
                                                  of non-synchronous generators.                          Interconnection. Many commenters                       provide a simplified one-line diagram of the plant
                                                     25 Id. PP 1, 6.                                      point out, however, that the                           and station facilities, which will be appended to the
                                                     26 Id. P 28.                                                                                                interconnection agreement.
                                                     27 Id.                                                 29 Id.                                                  32 NOPR, FERC Stats. & Regs. ¶ 32,712 at P 12.
                                                                                                                  P 18.
                                                     28 Reactive Power Requirements for Non-                30 See                                                  33 EEI Comments at 5; Indicated NYTOs
                                                                                                                    Appendix A for a list of entities that
                                                  Synchronous Generation, Notice of Proposed              submitted comments and the shortened names used        Comments at 2–3; ISO/RTO Council Comments at
                                                  Rulemaking, 80 Fed Reg. 73,683 (Nov. 25, 2015),         throughout this Final Rule to describe those           4; ISO–NE Comments at 9–10; MISO Comments at
                                                  FERC Stats. & Regs. ¶ 32,712 (2015).                    entities.                                              2.



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                                                                     Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations                                                     40797

                                                  operation of the bulk power system.34                   assert that transmission providers may                 deficiencies in the current method of
                                                  Specifically, commenters assert that                    need to remedy deficiencies in reactive                requiring transmission providers to
                                                  non-synchronous generators are                          power support that were not identified                 show through a System Impact Study
                                                  increasingly replacing synchronous                      through a System Impact Study through                  that reactive power from an
                                                  generators, which is resulting in a                     authorization and development of                       interconnecting wind generator is
                                                  decrease in the amount of dynamic                       transmission infrastructure upgrades.42                necessary to ensure safety or
                                                  reactive power available to the                            19. Commenters argue that relying on                reliability.48
                                                  transmission system.35 Commenters also                  transmission system upgrades after a
                                                                                                          wind generator interconnects, or relying               3. Commission Determination
                                                  contend that the inverters used by most
                                                  non-synchronous generators today are                    on more recently interconnected                           21. Based on the comments filed in
                                                  manufactured with the inherent                          generation resources, to meet reactive                 response to the NOPR, and the record in
                                                  capability to produce reactive power.36                 power deficiencies may shift the cost of               the PJM and ISO–NE proceedings
                                                  Therefore, commenters generally                         providing reactive power from one                      accepting PJM’s and ISO–NE’s reactive
                                                  support the Commission’s proposal to                    interconnection customer to another.                   power requirements for non-
                                                  create comparable reactive power                        Specifically, if a System Impact Study                 synchronous generators,49 the
                                                  requirements for non-synchronous and                    does not show that an earlier                          Commission adopts in this Final Rule
                                                  synchronous generators.37 While the                     interconnecting wind generator needs to                reactive power requirements for newly
                                                  Public Interest Organizations support                   provide reactive power, but, as a result               interconnecting non-synchronous
                                                  the removal of the exemptions for wind                  of the combination of existing and new                 generators, as discussed in greater detail
                                                  generators from the reactive power                      wind generators, a System Impact Study                 below. We find the continued
                                                  requirement, they ask that the                          for a later interconnecting wind                       exemptions from the reactive power
                                                  Commission not impose unduly                            generator does make that showing, the                  requirement in the pro forma LGIA and
                                                  burdensome requirements on non-                         newer interconnecting wind generator                   the pro forma SGIA for newly
                                                  synchronous generators.38                               would have the entire burden of                        interconnecting wind generators to be
                                                     18. Commenters argue that it is more                 supplying reactive power instead of                    unjust, unreasonable, and unduly
                                                  effective to have a standard reactive                   sharing equally with the other wind                    discriminatory and preferential.
                                                  power requirement for wind generators                   generators creating the need for reactive                 22. Non-synchronous generators other
                                                  than requiring transmission providers to                power.43 Further, commenters assert                    than wind generators currently are not
                                                  show through a System Impact Study                      that requiring transmission providers to               exempt from the reactive power
                                                  the need for reactive power from an                     show through a System Impact Study                     requirement in the pro forma LGIA and
                                                  interconnecting wind generator on a                     the need for reactive power from                       pro forma SGIA,50 although the
                                                  case-by-case basis because a System                     interconnecting wind generators leads                  Commission has treated other types of
                                                  Impact Study may not reflect the future                 to delays and increased costs in                       non-synchronous generators in the same
                                                  needs of the transmission system.39                     processing interconnection requests.44                 manner as wind generators on a case-by-
                                                  CAISO explains that deficiencies in                     Commenters argue that a uniform                        case basis.51 We proposed in the
                                                  reactive power support may only                         reactive power requirement for non-                    NOPR 52 to apply the Final Rule to all
                                                  become apparent when there are high                     synchronous generators may result in                   non-synchronous generators, and
                                                  levels of variable energy resources and                 reduced costs for wind development by                  received no adverse comments. This
                                                  low demand, or when certain                             allowing standardization of components                 Final Rule will apply to all newly
                                                  transmission infrastructure or                          and equipment.45 Additionally, ISO–NE
                                                  synchronous generators are out of                       argues that the difficulty in                             48 CAISO Comments at 1–2; ISO–NE Comments at

                                                                                                          demonstrating a need for reactive power                6; NEPOOL Initial Comments at 4.
                                                  service.40 Because System Impact                                                                                  49 On April 15, 2016, after issuing the NOPR and
                                                  Studies do not study all conditions,                    through a System Impact Study has
                                                                                                                                                                 receiving comments, the Commission approved
                                                  CAISO contends they may not capture                     resulted in some wind generators not                   ISO–NE’s proposal to eliminate the exemptions for
                                                  these deficiencies before a wind                        being required to install reactive power               wind generators from the reactive power
                                                  generator interconnects to the                          equipment and, consequently, not being                 requirement. ISO New England Inc., 155 FERC ¶
                                                                                                          able to deliver real power during certain              61,031 (2016). The Commission previously
                                                  transmission system.41 Therefore,                                                                              accepted PJM’s similar proposal. See PJM
                                                  CAISO, as well as the ISO/RTO Council,                  system conditions as a result of                       Interconnection, L.L.C., 151 FERC ¶ 61,097 (2015).
                                                                                                          insufficient reactive power capability.46                 50 Order Nos. 2003, 661, and 2006 explicitly

                                                     34 CAISO Comments at 2–5; ISO/RTO Council            According to ISO–NE., this situation has               exempted only wind generators from the reactive
                                                  Comments at 5; ISO–NE Comments at 9; NERC               resulted in transmission system                        power requirement. See Order No. 661, FERC Stats.
                                                                                                                                                                 & Regs. ¶ 31,186 at P 106 (‘‘While we are not
                                                  Comments at 5–6; Six Cities Comments at 3–4.            operators needing to curtail wind                      applying the Final Rule Appendix G to non-wind
                                                     35 CAISO Comments at 2–3; EEI Comments at 4–
                                                                                                          generators as a result of unstudied real-              technologies, we may do this in the future, or take
                                                  5; ITC Comments at 1–2; SCE Comments at 2;
                                                  SDG&E Comments at 2.
                                                                                                          time system characteristics.47                         other generic or case-specific actions, if another
                                                     36 CAISO Comments at 3; ISO/RTO Council                 20. Several independent system                      technology emerges for which a different set of
                                                                                                                                                                 interconnection requirements is necessary.’’).
                                                  Comments at 5; MISO Comments at 2–3; NaturEner          operators (ISOs) and regional                             51 See Nevada Power Co., 130 FERC ¶ 61,147, at
                                                  Comments at 2; NERC Comments at 9; SCE                  transmission organizations (RTOs) have                 P 27 (2010) (‘‘[C]onsistent with our requirements for
                                                  Comments at 2.                                          been developing new reactive power
                                                     37 CAISO Comments at 3; EEI Comments at 6–7;
                                                                                                                                                                 all wind facilities in Order No. 661, the
                                                  EPSA Comments at 3; Idaho Power Comments at 1;
                                                                                                          requirements and procedures to address                 Commission will require based on the facts of this
                                                                                                                                                                 case, that, before Nevada Power may require El
                                                  Indicated NYTOs Comments at 2; ISO/RTO Council                                                                 Dorado’s solar facility to be capable of providing
                                                                                                            42 CAISO Comments at 4; ISO/RTO Council
                                                  Comments at 4; ISO–NE Comments at 7–8; ITC
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                                                                                                                                                                 reactive power, Nevada Power must show, through
                                                  Comments at 1; Lincoln Comments at 1–2; MISO            Comments at 5.
                                                                                                                                                                 a system impact study, that such a requirement is
                                                  Comments at 1–2; NEPOOL Initial Comments at 6;            43 ISO/RTO Council Comments at 5; Union of
                                                                                                                                                                 necessary to ensure the safety or reliability of the
                                                  SCE Comments at 2; SDG&E Comments at 3.                 Concerned Scientists Comments at 4–5.                  grid.’’); id. P 24 (‘‘We agree . . . that this is not the
                                                     38 Public Interest Organizations Comments at 1.        44 ISO–NE Comments at 2, 4, 10; NEPOOL Initial
                                                                                                                                                                 appropriate proceeding in which to make a generic
                                                     39 CAISO Comments at 4–5; EEI Comments at 5–         Comments at 5.                                         determination on whether to extend to solar
                                                  6; ISO/RTO Council Comments at 5; ISO–NE                  45 Indicated NYTOs Comments at 2; Joint NYTOs
                                                                                                                                                                 generators wind power’s exemption from the
                                                  Comments at 2.                                          Comments at 2.                                         requirement to provide reactive power support.’’).
                                                     40 CAISO Comments at 4.                                46 ISO–NE Comments at 5.                                52 E.g., NOPR, FERC Stats. & Regs. ¶ 32,712 at P
                                                     41 Id.                                                 47 Id. at 6.                                         17.



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                                                  40798              Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations

                                                  interconnecting non-synchronous                            25. The Commission also is concerned                interconnecting non-synchronous
                                                  generators that have not yet executed a                 that, as the penetration of non-                       generators to design their Generating
                                                  Facilities Study Agreement as of the                    synchronous generators continues to                    Facilities to maintain a composite
                                                  effective date of this Final Rule.                      grow, exempting a class of generators                  power delivery at continuous rated
                                                     23. Older wind turbine generators                    from providing reactive power could                    power output at the Point of
                                                  consumed reactive power, but, because                   create reliability concerns, especially if             Interconnection at a power factor within
                                                  they did not use inverters like other                   those generators represent a substantial               the range of 0.95 leading to 0.95
                                                  non-synchronous generators, they                        amount of total generation in a                        lagging.60 Further, the Commission
                                                  lacked the capability to produce and                    particular region, or if many of the                   proposed to require that the reactive
                                                  control reactive power without the use                  resources that currently provide reactive              power capability installed by non-
                                                  of costly equipment.53 Based on                         power are retired from operation. In                   synchronous generators be dynamic.61
                                                  technological improvements since the                    addition, as noted above, maintaining
                                                                                                                                                                 2. Comments
                                                  Commission created the exemptions for                   the exemptions for wind generators
                                                  wind generators, requiring newly                        places an undue burden on synchronous                     27. Several commenters support the
                                                  interconnecting wind generators to                      generators to supply reactive power                    Commission’s proposal to measure the
                                                  provide reactive power is not the                       without a reasonable technological or                  reactive power requirement at the Point
                                                  obstacle to the development of wind                     cost-based distinction between                         of Interconnection.62 Commenters note
                                                  generation that it was when the                         synchronous and non-synchronous                        that measuring the reactive power
                                                  Commission issued Order Nos. 2003,                      generators.58 Therefore, the Commission                requirement at the Point of
                                                  661, and 2006.54 In particular, the wind                concludes that the continued                           Interconnection is consistent with the
                                                  turbines being installed today are                      exemptions from the reactive power                     current requirement in the pro forma
                                                  generally Type III and Type IV inverter-                requirement for newly interconnecting                  LGIA for measuring the reactive power
                                                  based turbines,55 which are capable of                  wind generators are unjust,                            requirement where a transmission
                                                  producing and controlling dynamic                       unreasonable, and unduly                               provider’s System Impact Study shows
                                                  reactive power, which was not the case                  discriminatory and preferential. For                   the need for reactive power from an
                                                  in 2005 when the Commission                             these reasons, the Commission revises                  interconnecting wind generator.63
                                                  exempted wind generators from the                       the pro forma LGIA, Appendix G to the                  Midwest Energy argues that
                                                  reactive power requirement in Order                     pro forma LGIA, and the pro forma                      transmission providers are only
                                                  No. 661.56                                              SGIA to eliminate the exemptions for                   concerned with power factor and
                                                     24. We therefore conclude that                       wind generators from the reactive power                voltage at the Point of Interconnection.64
                                                  improvements in technology, and the                     requirement.59                                         CAISO asserts that measuring the
                                                  corresponding declining costs for newly                                                                        reactive power requirement at the Point
                                                                                                          B. Power Factor Range, Point of                        of Interconnection gives interconnection
                                                  interconnecting wind generators to                      Measurement, and Dynamic Reactive
                                                  provide reactive power, make it unjust,                                                                        customers flexibility in how they design
                                                                                                          Power Capability Requirements                          their generator projects to meet the
                                                  unreasonable, and unduly
                                                  discriminatory and preferential to                      1. NOPR Proposal                                       reactive power requirement.65 CAISO
                                                  exempt such non-synchronous                                                                                    states that inverter manufacturers
                                                                                                             26. The Commission proposed in the
                                                  generators from the reactive power                                                                             informed CAISO that current inverters
                                                                                                          NOPR as part of the reactive power
                                                  requirement when other types of                                                                                used by most non-synchronous
                                                                                                          requirements for non-synchronous
                                                  generators are not exempt. Further,                                                                            generators are capable of producing 0.95
                                                                                                          generators to require all newly
                                                  requiring all newly interconnecting non-                                                                       leading and 0.95 lagging reactive power
                                                  synchronous generators to design their                     58 See PJM Interconnection, L.L.C., 151 FERC ¶
                                                                                                                                                                 at full real power output at the
                                                  Generating Facilities to maintain the                   61,097 at P 7; Payment for Reactive Power,             generator’s Point of Interconnection.66
                                                  required power factor range ensures                     Commission Staff Report, Docket No. AD14–7, app.       NextEra acknowledges that the common
                                                                                                          1 (Apr. 22, 2014).                                     approach within ISOs/RTOs is to
                                                  they are subject to comparable                             59 The Final Rule does not revise any regulatory
                                                                                                                                                                 measure reactive power at the Point of
                                                  requirements as other generators.57                     text. The Final Rule revises the pro forma LGIA and
                                                                                                          pro forma SGIA in accordance with section              Interconnection, but suggests that if
                                                     53 Order No. 661, FERC Stats. & Regs. ¶ 31,186 at    35.28(f)(1) of the Commission’s regulations, which     reactive power is measured at the Point
                                                  PP 50–51.                                               provides: ‘‘Every public utility that is required to   of Interconnection, then the
                                                     54 As discussed above, in exempting wind             have on file a non-discriminatory open access          Commission should maintain the
                                                                                                          transmission tariff under this section must amend
                                                  generators from the reactive power requirement, the
                                                                                                          such tariff by adding the standard interconnection     flexibility for non-synchronous
                                                  Commission sought to avoid creating an obstacle to                                                             generators to meet that requirement
                                                                                                          procedures and agreement and the standard small
                                                  the development of wind generation. For example,
                                                  in Order No. 661, the Commission was concerned
                                                                                                          generator interconnection procedures and               using static reactive power devices if
                                                                                                          agreement required by Commission rulemaking            agreed to by the transmission provider,
                                                  with ‘‘remov[ing] unnecessary obstacles to the          proceedings promulgating and amending such
                                                  increased growth of wind generation.’’ Id. P 50.        interconnection procedures and agreements, or          as provided for in Appendix G to the
                                                     55 A Type III wind turbine is a non-synchronous
                                                                                                          such other interconnection procedures and              pro forma LGIA.67 NaturEner asserts
                                                  wound-rotor generator that has a three phase AC         agreements as may be required by Commission
                                                  field applied to the rotor from a partially-rated
                                                                                                                                                                 that, depending on the length of the
                                                                                                          rulemaking proceedings promulgating and
                                                  power-electronics converter. A Type IV wind             amending the standard interconnection procedures
                                                                                                                                                                 collector system, transformer substation
                                                  turbine is an AC generator in which the stator          and agreement and the standard small generator         characteristics, and the length of the
                                                  windings are connected to the power system              interconnection procedures and agreement.’’ 18
                                                  through a fully-rated power-electronics converter.      CFR 35.28(f)(1) (2015). See Integration of Variable      60 NOPR,    FERC Stats. & Regs. ¶ 32,712 at P 16.
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                                                  Both Type III and Type IV wind turbines have            Energy Resources, Order No. 764, FERC Stats. &           61 Id. P 14.
                                                  inherent reactive power capabilities.                   Regs. ¶ 31,331, at PP 343–345 (adopting this             62 CAISO Comments at 6; EEI Comments at 8;
                                                     56 Id. PP 50–51.
                                                                                                          regulatory text effective September 11, 2012), order   Indicated NYTOs Comments at 4; Midwest Energy
                                                     57 See, e.g., Sw. Power Pool, Inc., 119 FERC ¶       on reh’g and clarification, Order No. 764–A, 141       Comments at 9; NERC Comments at 9.
                                                  61,199, at P 29 (‘‘Providing reactive power within      FERC ¶ 61,232 (2012), order on clarification and         63 CAISO Comments at 6; EEI Comments at 7.
                                                  the [standard power factor range] is an obligation      reh’g, Order No. 764–B, 144 FERC ¶ 61,222 (2013).        64 Midwest Energy Comments at 9.
                                                  of a generator, and is as much an obligation of a       While not revising regulatory text, the Commission
                                                                                                                                                                   65 CAISO Comments at 6.
                                                  generator as, for example, operating in accordance      is using the process provided for rulemaking
                                                                                                                                                                   66 Id. at 3.
                                                  with Good Utility Practice.’’), order on reh’g, 121     proceedings, as defined in 5 U.S.C. 551(4)–(5)
                                                  FERC ¶ 61,196 (2007).                                   (2012).                                                  67 NextEra Comments at 10–11.




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                                                                     Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations                                             40799

                                                  Interconnection Customer                                of Interconnection would reset the costs               sufficient reactive power is provided to
                                                  Interconnection Facilities from the                     for non-synchronous generators to a                    the transmission system.79
                                                  generator terminals to the Point of                     level higher than that which the                          31. As to the Commission’s proposal
                                                  Interconnection, it may not be possible                 Commission considered in approving                     to require fully dynamic reactive power
                                                  for non-synchronous generators to meet                  PJM’s independent entity variation.73 In               capability, commenters in support argue
                                                  the 0.95 leading to 0.95 lagging reactive               addition to equipment investment,                      that requiring dynamic reactive power
                                                  power requirement at the Point of                       AWEA and LSA contend that, in many                     capability allows generators to operate
                                                  Interconnection without installing                      situations, providing excess reactive                  across a broader range of operating
                                                  additional equipment.68                                 power at the generator terminals to meet               conditions than allowing static reactive
                                                     28. On the other hand, some                          the reactive power requirement at the                  power devices.80 ISO–NE asserts that
                                                  commenters disagree with the NOPR                       Point of Interconnection would result in               requiring fully dynamic reactive power
                                                  proposal and argue that the reactive                    a large decrease in real power output,                 capability is consistent with the historic
                                                  power requirement should be measured                    and accompanying lost opportunity                      requirement that synchronous
                                                  at the generator terminals rather than at               costs and lost zero-emission, zero-fuel                generators provide dynamic reactive
                                                  the Point of Interconnection for non-                   cost energy.74 Similarly, NaturEner                    power.81 ISO–NE contends that
                                                  synchronous generators. They assert                     argues that the proposed power factor                  generators are more effective at
                                                  that measuring at the Point of                          range of 0.95 leading to 0.95 lagging is               providing dynamic reactive power
                                                  Interconnection would result in                         only reasonable if the reactive power                  compared to transmission
                                                  significantly higher costs for non-                     requirement is measured at the                         infrastructure.82
                                                  synchronous generators than measuring                   generator terminals.75 NaturEner                          32. Conversely, other commenters
                                                  at the generator terminals. They also                   contends that measuring the reactive                   disagree with the proposal to require
                                                  argue that, because of the often                        power requirement at the generator                     fully dynamic reactive power capability.
                                                  significant distance between non-                       terminals will result in sufficient                    SDG&E contends that such a
                                                  synchronous generator terminals and                     voltage control at the Point of                        requirement is not necessary and that
                                                  the Point of Interconnection, measuring                 Interconnection.76 Alternatively,                      allowing non-synchronous generators to
                                                  the reactive power requirement for non-                 NaturEner also suggests that it would be               use static reactive power devices to
                                                  synchronous generators at the generator                 reasonable to require a power factor                   meet the reactive power requirement
                                                  terminals would result in a reactive                    range of 0.95 leading to 0.95 lagging at               will provide flexibility to generator
                                                  power requirement that is comparable to                 the generator substation.77 Finally,                   developers and keep costs at a
                                                  measuring at the Point of                               NaturEner argues that any additional                   reasonable level.83 SDG&E suggests that
                                                  Interconnection for synchronous                         reactive power needs could be                          the dynamic reactive power capability
                                                  generators.69 AWEA and LSA contend                      determined in a System Impact Study.78                 requirement only be for 0.985 leading to
                                                  that synchronous and non-synchronous                       30. While CAISO allows synchronous                  0.985 lagging reactive power
                                                  generators are not similarly situated due               generators to provide reactive power at                capability.84 Other commenters assert
                                                  to the fact that non-synchronous                        the generator terminals, CAISO does not                that the existing pro forma LGIA and
                                                  generators are typically located                        support providing this option to non-                  pro forma SGIA neither define
                                                  geographically and electrically farther                 synchronous generators. CAISO argues                   ‘‘dynamic’’ reactive power capability,
                                                  from the Point of Interconnection than                  that measuring the reactive power                      nor specify a mix of static versus
                                                  synchronous generators.70 Therefore,                    requirement at the generator terminals is              dynamic reactive power capability that
                                                  AWEA and LSA request that non-                          inappropriate for non-synchronous                      a generator must maintain, and that the
                                                  synchronous generators have the option                  generators because non-synchronous                     Commission should not specify such a
                                                  to meet the reactive power requirement                  generators often use multiple                          mix in this proceeding.85 Rather, AWEA
                                                  at the generator terminals, even if the                 transformers, collection circuits, and                 and LSA argue that it would be
                                                  requirement at that point is more                       substations to transmit real power                     discriminatory to require non-
                                                  stringent (e.g., 0.95 leading to 0.90                   across lengthy Interconnection                         synchronous generators to maintain
                                                  lagging) than at the Point of                           Customer Interconnection Facilities                    fully dynamic reactive power capability
                                                  Interconnection.71 AWEA and LSA note                    from the generator terminal to the Point               because their configuration results in
                                                  that they supported the independent                     of Interconnection, reducing the amount                significant loss of dynamic reactive
                                                  entity variation from Order No. 661 in                  of reactive power that reaches the                     power from the generator terminal to the
                                                  PJM in part because the reactive power                  transmission system. In contrast, CAISO                Point of Interconnection. Instead,
                                                  requirement is measured at the                          explains that the configuration of                     AWEA and LSA argue that static
                                                  generator terminals.72                                  synchronous generators typically                       reactive power devices are necessary
                                                     29. Some commenters argue that, due                  involves a single transformer and short                and effective to supplement the
                                                  to the configuration of typical non-                    Interconnection Customer                               dynamic reactive power capability of
                                                  synchronous generators, additional                      Interconnection Facilities from the                    the generator to provide reactive power
                                                  investment is required to supplement                    generator terminal to the Point of                     at the Point of Interconnection.86
                                                  the inherent dynamic reactive power                     Interconnection, making measuring the                     33. NextEra argues that if the
                                                  capability of the generators to meet the                reactive power requirement at the                      proposed reactive power requirement is
                                                  reactive power requirement at the Point                 generator terminals for synchronous
                                                  of Interconnection; therefore, they assert              generators appropriate for ensuring that                79 CAISO       Comments at 6–7.
                                                  that requiring measurement at the Point                                                                         80 EEI    Comments at 8; ISO–NE Comments at 8.
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                                                                                                            73 AWEA and LSA Comments at 10–12; NextEra              81 ISO–NE Comments at 8.

                                                    68 NaturEner   Comments at 3.                         Comments at 9; Union of Concerned Scientists              82 Id. at 9.
                                                    69 AWEA and LSA Comments at 12; Joint NYTOs           Comments at 3–4.                                          83 SDG&E Comments at 3–4.
                                                                                                            74 AWEA and LSA Comments at 11.
                                                  Comments at 3–4; Public Interest Organizations                                                                    84 Id. at 4.
                                                  Comments at 2; Union of Concerned Scientists              75 NaturEner Comments at 3.                             85 AWEA and LSA Comments at 8; EEI Comments
                                                  Comments at 3.                                            76 Id. at 3–4.
                                                                                                                                                                 at 8; Midwest Energy Comments at 5; NextEra
                                                    70 AWEA and LSA Comments at 12.                         77 Id. at 3.                                         Comments at 6.
                                                    71 Id. at 10, 12–13.                                    78 Id. at 4; see also Midwest Energy Comments at        86 AWEA and LSA Comments at 9; see also
                                                    72 Id. at 10–11.                                      10.                                                    Midwest Energy Comments at 6.



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                                                  40800              Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations

                                                  for fully dynamic reactive power                        the ability of a transmission provider to              require that all newly interconnecting
                                                  capability, then measuring the                          establish different requirements is                    non-synchronous generators provide
                                                  requirement at the generator terminals                  limited to establishing a different power              reactive power as a condition of
                                                  for non-synchronous generators is                       factor range, and not to the other                     interconnection. By requiring all newly
                                                  required to ensure comparable treatment                 reactive power requirements.                           interconnecting non-synchronous
                                                  to synchronous generators.87 NextEra                       35. Non-synchronous generators may                  generators to provide reactive power, we
                                                  contends that the cost of providing                     meet the dynamic reactive power                        are increasing the amount of reactive
                                                  reactive power is manageable at the                     requirement by utilizing a combination                 power available to meet transmission
                                                  Point of Interconnection if the flexibility             of the inherent dynamic reactive power                 system needs, and, at the same time,
                                                  provided in section 9.6.1 of the pro                    capability of the inverter, dynamic                    balancing the costs to non-synchronous
                                                  forma LGIA is maintained and the                        reactive power devices (e.g., Static VAR               generators of providing that reactive
                                                  reactive power requirement can be met                   Compensators), and static reactive                     power by measuring the requirements at
                                                  with static reactive power devices, but                 power devices (e.g., capacitors) to make               the high-side of the generator
                                                  that the requirement could be cost-                     up for losses. In developing this reactive             substation.
                                                  prohibitive if non-synchronous                          power requirement for non-synchronous                     38. Similarly, in Order No. 661, the
                                                  generators are required to install                      generators, the Commission is balancing                Commission was not convinced that
                                                  dynamic reactive power devices.88                       the costs to newly-interconnecting non-                dynamic reactive power capability was
                                                  Commenters request that the                             synchronous generators of providing                    needed from every wind generator, and
                                                  Commission clarify that it did not                      reactive power with the benefits to the                so adopted the case-by-case approach.94
                                                  intend to specify that a non-                           transmission system of having another
                                                                                                                                                                 However, with the increasing
                                                  synchronous generator must meet the                     source of reactive power.
                                                                                                             36. Although the Commission in the                  penetration of wind generation and
                                                  reactive power requirement with only                                                                           retirement of traditional synchronous
                                                  dynamic reactive power capability.89                    NOPR considered measuring the
                                                                                                          reactive power requirements for non-                   generators, which provided dynamic
                                                  Specifically, NextEra argues that the                                                                          reactive power capability to the
                                                  Commission should not remove                            synchronous generators at the Point of
                                                                                                          Interconnection, we are persuaded by                   transmission system, we now find it is
                                                  paragraph A.ii of Appendix G to the pro                                                                        necessary to require dynamic reactive
                                                  forma LGIA because it provides                          commenters’ arguments that requiring
                                                                                                          fully dynamic reactive power capability                power capability from all new
                                                  important provisions regarding the
                                                                                                          at the Point of Interconnection may                    generators. The dynamic reactive power
                                                  types of devices that can be used to
                                                                                                          result in significantly increased costs for            capability may be achieved at the high-
                                                  meet the reactive power requirement.90
                                                                                                          non-synchronous generators in meeting                  side of the generator substation at lower
                                                  3. Commission Determination                             the reactive power requirements.92                     cost compared to dynamic reactive
                                                     34. We will require the reactive power               These added costs will ultimately be                   power at the Point of Interconnection by
                                                  requirements in the pro forma LGIA and                  borne by customers, whether through                    systems using a combination of dynamic
                                                  pro forma SGIA for non-synchronous                      reactive power payments in regions that                capability from the inverters plus static
                                                  generators to be measured at the high-                  compensate for reactive power                          reactive power devices to make up for
                                                  side of the generator substation. Newly                 capability, or through elevated prices for             losses. Therefore, this Final Rule gives
                                                  interconnecting non-synchronous                         capacity or energy in regions that do not              non-synchronous generators the
                                                  generators will be required to design                   compensate for reactive power                          flexibility to use static reactive power
                                                  their Generating Facilities to maintain a               capability. In contrast, measuring the                 devices to make up for losses that occur
                                                  composite power delivery at continuous                  reactive power requirements at the high-               between the inverters and the high-side
                                                  rated power output at the high-side of                  side of the generator substation, rather               of the generator substation, so long as
                                                  the generator substation. At that point,                than at the Point of Interconnection,                  the generators maintain 0.95 leading to
                                                  the non-synchronous generator must                      will be less expensive for non-                        0.95 lagging dynamic reactive power
                                                  provide dynamic reactive power within                   synchronous generators because a                       capability at the high-side of the
                                                  the power factor range of 0.95 leading to               greater amount of the inherent dynamic                 generator substation.
                                                  0.95 lagging, unless the transmission                   reactive power capability of the                          39. While measuring the reactive
                                                  provider has established a different                    inverters associated with non-                         power requirements at the Point of
                                                  power factor range that applies to all                  synchronous generators will be                         Interconnection would provide the
                                                  non-synchronous generators in the                       available at the high-side of the                      greatest amount of reactive power to the
                                                  transmission provider’s control area on                 generator substation than at the Point of              transmission system, the costs
                                                  a comparable basis.91 To ensure there is                Interconnection.                                       associated with providing that level of
                                                  no undue discrimination, we clarify that                   37. In adopting the Point of                        reactive power do not justify the added
                                                                                                          Interconnection as the point of                        benefit to the transmission system.95 In
                                                    87 NextEra  Comments at 9–10.                         measurement for large wind plants in
                                                    88 Id.at 9; NextEra Supplemental Comments at 4.       Order No. 661, the Commission                            94 Id. P 66.
                                                    89 AWEA and LSA Comments at 9; Midwest
                                                                                                          balanced the case-by-case reactive                       95 See  ISO New England Inc., Tariff Filing,
                                                  Energy Comments at 6; NextEra Comments at 7.                                                                   Transmittal Letter, Docket No. ER16–946–000, at 17
                                                    90 NextEra Comments at 8.
                                                                                                          power requirement with the needs of
                                                                                                                                                                 (filed Feb. 16, 2016) (‘‘[T]he proposed requirements
                                                    91 Under these provisions, transmission providers     the transmission system.93 Here, we                    provide for the reactive capability to be measured
                                                  may establish a different power factor range for        remove the case-by-case approach, and                  at the high-side of the station transformer rather
                                                  synchronous or non-synchronous generators as long                                                              than at the Point of Interconnection to account for
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                                                  as the requirement applies to all generators in each      92 See, e.g., NaturEner Comments at 3 (‘‘Based on    the long generator leads through which many wind
                                                  class on a comparable basis. See Order No. 2003,        the above technological and cost-based reasons,        generators are interconnecting to the New England
                                                  FERC Stats. & Regs. ¶ 31,146 at P 542 (‘‘We adopt       NaturEner believes the +/- 0.95 requirement is         system—as long as approximately 50–80 miles
                                                  the power factor requirement of 0.95 leading to 0.95    reasonable if the Proposed Rule is refined to          between the generator collector transformer and the
                                                  lagging because it is a common practice in some         measure the requirement at the wind turbine            Point of Interconnection. There is no benefit to the
                                                  NERC regions. If a Transmission Provider wants to       terminals (or as an alternative at the wind farm       generator, and little benefit to the system, to force
                                                  adopt a different power factor requirement, Final       substation), and not at the Point of                   the generator to provide voltage support all the way
                                                  Rule LGIA Article 9.6.1 permits it to do so as long     Interconnection.’’).                                   to a Point of Interconnection that is very remote,
                                                  as the power factor requirement applies to all            93 Order No. 661, FERC Stats. & Regs. ¶ 31,186 at    and it is not necessarily even achievable to
                                                  generators on a comparable basis.’’).                   P 59.                                                  effectively transfer such quantities of reactive



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                                                                     Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations                                                 40801

                                                  fact, one of the reasons for undertaking                C. Real Power Output Level                             reactive power can be reduced when
                                                  this rulemaking proceeding was the                                                                             individual generators within the plant
                                                                                                          1. NOPR Proposal
                                                  Commission recognized that the cost of                                                                         are not producing real power, such that
                                                  providing reactive power may no longer                     41. The NOPR proposed to require                    the 10 percent operating threshold is
                                                  present an obstacle to the development                  newly interconnecting non-synchronous                  insufficient.105
                                                  of wind generation. On the other hand,                  generators to design their Generating                     44. Other commenters oppose the 10
                                                  measuring the reactive power                            Facilities to maintain the required                    percent exemption, arguing that it is not
                                                  requirements at the Generating Facilities               power factor range only when the                       necessary given the technology available
                                                  would likely result in very little reactive             generator’s real power output exceeds                  to non-synchronous generators.106
                                                  power being provided to the                             10 percent of its nameplate capacity.97                These commenters contend that some
                                                  transmission system but would be                        The proposed pro forma LGIA would                      inverters can produce reactive power at
                                                  relatively inexpensive to implement for                 state: ‘‘Non-synchronous generators                    zero real power output.107 Additionally,
                                                  the non-synchronous generator. The                      shall only be required to maintain the                 ISO–NE argues that requiring non-
                                                  high-side of the generator substation                   above power factor when their output is                synchronous generators to be capable of
                                                  represents a middle ground. It is located               above 10 percent of the Generating                     providing reactive power at all output
                                                  beyond the low voltage collector                        Facility Capacity.’’ 98 The Commission                 levels will further technological
                                                  systems where significant reactive                      stated its understanding that the                      development and advancement.108 ISO–
                                                  power losses occur, resulting in more                   inverters used by non-synchronous                      NE asserts that if the Commission
                                                  reactive power provided to the                          generators were not capable of                         adopts the 10 percent exemption, it
                                                  transmission system than a requirement                  producing reactive power when                          should limit the exemption to only
                                                  at the Generating Facilities, while being               operating below 10 percent of                          wind generators because non-
                                                  less expensive to implement than a                      nameplate capacity.99                                  synchronous generators other than wind
                                                  requirement at the Point of                             2. Comments                                            generators have not had an exemption
                                                  Interconnection. We find that measuring                                                                        from the reactive power requirement
                                                                                                             42. Several commenters support the                  and it is inappropriate to create a new
                                                  the reactive power requirements at the                  10 percent exemption given current
                                                  high-side of the generator substation                                                                          exemption for these generators.109
                                                                                                          inverter technology.100 EEI notes that                    45. MISO requests that non-
                                                  reasonably balances the need for                        the Commission uses both ‘‘generator
                                                  reactive power for the transmission                                                                            synchronous generators be required to
                                                                                                          nameplate capacity’’ and ‘‘Generator                   produce reactive power at low and zero-
                                                  system with the costs to non-                           Facility Capacity’’ in reference to the 10
                                                  synchronous generators of providing                                                                            voltage conditions to ensure the
                                                                                                          percent exemption, and requests that                   robustness of the transmission
                                                  reactive power.                                         the Commission clarify that the correct
                                                     40. We find establishing dynamic                                                                            system.110 Similarly, Midwest Energy
                                                                                                          term is ‘‘Generator Facility                           argues that the Commission has not
                                                  reactive power requirements at the high-                Capacity.’’ 101 The ISO/RTO Council                    fully considered the high levels of
                                                  side of the generator substation                        states that its ISO/RTO members do not                 reactive power generated by lightly
                                                  preferable to the suggestion in the                     uniformly agree that the 10 percent                    loaded interconnection facilities
                                                  comments that, at relative equal cost,                  exemption is appropriate and want to be                associated with non-synchronous
                                                  reactive power could be provided at the                 able to establish rules based on their                 generators.111 Midwest Energy explains
                                                  Point of Interconnection as long as the                 individual situations.102 Similarly, the               that its largest events of excess reactive
                                                  inherent dynamic reactive power                         Indicated NYTOs support the                            power production have occurred when
                                                  produced by the generator can be                        Commission allowing regional variation                 non-synchronous generators are
                                                  enhanced with static reactive power                     on the 10 percent exemption within a                   producing less than 10 percent of their
                                                  capability. By establishing dynamic                     reasonable range based on existing                     nameplate capacity. Midwest Energy
                                                  reactive power requirements at the high-                regional requirements (up to an                        asserts that it may be necessary for non-
                                                  side of the generator substation, non-                  exemption for below 25 percent real                    synchronous generators to install static
                                                  synchronous generators will be able to                  power output).103                                      inductors to absorb reactive power in
                                                  provide faster responding and more                         43. AWEA and LSA and the Joint                      these situations. Therefore, according to
                                                  continuously variable reactive power                    NYTOs argue that the 10 percent                        Midwest Energy, requiring non-
                                                  capability than if they provide static                  exemption should be increased to 25                    synchronous generators to provide
                                                  reactive power capability at the Point of               percent, consistent with what the                      reactive power at all levels of real power
                                                  Interconnection. In addition, requiring                 Commission approved in PJM.104                         output would prevent potential high
                                                  dynamic reactive power capability                       AWEA and LSA assert that the ability of                voltage reliability concerns.112
                                                  allows generators to operate across a                   non-synchronous generators to provide                     46. AWEA and LSA request
                                                  broader range of operating conditions                                                                          clarification regarding the proposal in
                                                  than allowing static reactive power                        97 NOPR, FERC Stats. & Regs. ¶ 32,712 at P 15
                                                                                                                                                                 the NOPR that non-synchronous
                                                  enhancements.96                                         (citing Order No. 661, FERC Stats. & Regs. ¶ 31,186
                                                                                                          at P 46).                                              generators be required to maintain a
                                                                                                             98 Id. P 16. The Commission proposed similar        ‘‘composite power delivery at
                                                  power over such distances.’’); see also NextEra
                                                  Supplemental Comments at 3–4.
                                                                                                          revisions to the pro forma SGIA: ‘‘Non-synchronous     continuous rated power output at the
                                                     96 EEI Comments at 8; ISO–NE Comments at 8; see
                                                                                                          generators shall only be required to maintain the      Point of Interconnection at a power
                                                                                                          above power factor when their output is above 10
                                                  also ISO New England Inc., Tariff Filing,               percent of the generator nameplate capacity.’’ Id.
                                                  Transmittal Letter, Docket No. ER16–946–000, at 19         99 Id. P 15 (citing Order No. 661, FERC Stats. &
                                                                                                                                                                   105 AWEA      and LSA Comments at 13.
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                                                  (filed Feb. 16, 2016) (‘‘[I]n New England’s             Regs. ¶ 31,186 at P 46).                                 106 ISO–NE     Comments at 13; Midwest Energy
                                                  experience, the implementation of the reactive             100 EEI Comments at 9; NaturEner Comments at 4;     Comments at 9; MISO Comments at 3.
                                                  power exemption has disadvantaged wind                                                                           107 ISO–NE Comments at 14; NaturEner
                                                                                                          NERC Comments at 10; SCE Comments at 3;
                                                  generators seeking to interconnect, putting burdens                                                            Comments at 4.
                                                                                                          NextEra Comments at 11.
                                                  on the study process not experienced for                   101 EEI Comments at 9–10.                             108 ISO–NE Comments at 14.
                                                  conventional generators and compromising their                                                                   109 Id. at 14–15.
                                                                                                             102 ISO/RTO Council Comments at 3.
                                                  ability to operate through various system conditions
                                                                                                             103 Indicated NYTOs Comments at 4.                    110 MISO Comments at 3.
                                                  once interconnected, a situation that leads system
                                                                                                             104 AWEA and LSA Comments at 13; Joint NYTOs          111 Midwest Energy Comments at 2–3.
                                                  operators to curtail wind farm output for system
                                                  reliability reasons.’’).                                Comments at 3.                                           112 Id. at 8.




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                                                  40802                Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations

                                                  factor within the range of 0.95 leading                     percent exemption in PJM, several                      such non-synchronous generators would
                                                  to 0.95 lagging.’’ 113 AWEA and LSA                         commenters indicate that non-                          be based on the cost of providing
                                                  argue that this language can be                             synchronous generators are capable of                  reactive power, but noted that the cost
                                                  interpreted as either requiring non-                        providing reactive power at all levels of              to a wind generator of providing
                                                  synchronous generators to provide                           real power output.120 Although the                     reactive power may not be easily
                                                  reactive power proportionate to the                         Commission approved a 25 percent                       estimated using existing methods that
                                                  actual output of the generator, or to                       exemption in PJM, that was pursuant to                 are applied to synchronous
                                                  provide reactive power within the full                      a section 205 filing with broad                        generators.123 Therefore, the
                                                  power factor range based on the                             stakeholder support. We now act on a                   Commission sought comment on
                                                  maximum output of the generator no                          more comprehensive record and take                     whether these existing methods are
                                                  matter the actual output of the                             action generically to apply to all                     appropriate for wind generators and, if
                                                  generator.114 AWEA and LSA contend                          transmission providers.121 Moreover,                   not, what alternatives would be
                                                  that the first interpretation—a reactive                    while not all non-synchronous                          appropriate.124
                                                  power requirement proportionate to                          generators are currently designed to
                                                                                                                                                                     2. Comments
                                                  actual output—is the most reasonable                        maintain reactive power capability at all
                                                  interpretation.115 NERC asserts that the                    levels of real power output, modern                       51. Several commenters support the
                                                  second interpretation is correct.116                        inverters can be designed to provide this              Commission’s proposal to require
                                                                                                              capability. We agree with ISO–NE’s                     transmission providers to compensate
                                                  3. Commission Determination                                 comments that imposing this                            non-synchronous generators for reactive
                                                     47. We will not adopt the 10 percent                     requirement will help encourage further                power on a comparable basis as
                                                  exemption proposed in the NOPR in                           technological development, such that                   synchronous generators, provided that
                                                  this Final Rule and will instead require                    the bulk power system will ultimately                  non-synchronous generators provide
                                                  all newly interconnecting non-                              receive higher quality and more reliable               comparable reactive power service.125
                                                  synchronous generators to design their                      reactive power service from all                        Other commenters seek clarification, or
                                                  Generating Facilities to meet the                           generators.                                            ask that the Commission outline
                                                  reactive power requirements at all levels                      49. As for AWEA and LSA’s and                       principles for compensation.126 Other
                                                  of real power output, as is already                         NERC’s requested clarifications, we                    commenters argue that the Commission
                                                  required of synchronous generators.117                      clarify that the amount of reactive                    should not mandate a uniform approach
                                                  Although several commenters support                         power required from non-synchronous                    to reactive power compensation.127
                                                  the 10 percent exemption,118 and some                       generators should be proportionate to                  Finally, while some commenters ask
                                                  commenters support increasing that                          the actual output of the generator, such               that the Commission address the issue
                                                  threshold to 25 percent,119 we find, on                     that a 100 MW generator would be                       of reactive power compensation, they
                                                  balance, that requiring non-synchronous                     required to provide approximately 33                   assert that addressing reactive power
                                                  generators to provide reactive power at                     MVAR of reactive power when                            compensation in this rulemaking is
                                                  all levels of real power output                             operating at maximum output (100                       outside the scope of the proceeding.128
                                                  appropriately recognizes the capabilities                   MW), and approximately 3.3 MVAR                        3. Commission Determination
                                                  of existing non-synchronous generation                      when operating at 10 MW, and so on.
                                                  technologies and creates requirements                       This addresses some commenters’                           52. We will not change the
                                                  that are comparable to the existing                         concerns that sometimes not all non-                   Commission’s existing policies on
                                                  requirement for synchronous generators.                     synchronous generators at a particular                 compensation for reactive power.
                                                  Additionally, by maintaining the                            location are operating at a given time                 Sections 9.6.3 and 11.6 of the currently-
                                                  reactive power requirement at all output                    (e.g., only 50 of 100 wind turbines are                effective pro forma LGIA and sections
                                                  levels, non-synchronous generators will                     actually spinning or 1⁄3 of solar panels               1.8.2 and 1.8.3 of the currently-effective
                                                  mitigate potential over-voltage concerns                    are covered by clouds), without creating               pro forma SGIA provide that the
                                                  on lightly loaded Interconnection                           an unnecessary exemption for non-                      transmission provider must compensate
                                                  Customer Interconnection Facilities of a                    synchronous generators.                                the interconnecting generator for
                                                  non-synchronous generator when                                                                                     reactive power service when the
                                                                                                              D. Compensation                                        transmission provider requests that the
                                                  operating at low real power output.
                                                     48. While some commenters argue                          1. NOPR Proposal                                       interconnecting generator operate
                                                  that technical limitations exist that                          50. The Commission stated in the                    outside of the specified reactive power
                                                  prevent non-synchronous generators                          NOPR that non-synchronous generators                   range. These sections also provide that
                                                  from providing adequate reactive power                      are eligible for the same payments for                 if the transmission provider
                                                  at lower levels of real power output, and                   reactive power as all other generators,                   123 NOPR, FERC Stats. & Regs. ¶ 32,712 at P 12
                                                  note that the Commission approved a 25                      consistent with the compensation                       (citing Payment for Reactive Power, Commission
                                                                                                              provisions of the pro forma LGIA and                   Staff Report, Docket No. AD14–7, app. 2 (Apr. 22,
                                                     113 AWEA and LSA Comments at 5; NOPR, FERC
                                                                                                              pro forma SGIA.122 The Commission                      2014)).
                                                  Stats. & Regs. ¶ 32,712 at P 16.                            proposed that any compensation for                        124 Id. P 18 (citation omitted).
                                                     114 AWEA and LSA Comments at 5–7 (explaining                                                                       125 CAISO Comments at 9; EEI Comments at 10;
                                                  that the first interpretation will result in a triangular                                                          ISO/RTO Council Comments at 7; MISO Comments
                                                                                                                 120 ISO–NE Comments at 13; Midwest Energy
                                                  PQ curve, while the latter will result in a                                                                        at 3–4.
                                                  rectangular PQ curve); see also NERC Comments at            Comments at 9; MISO Comments at 3.
                                                                                                                                                                        126 ISO/RTO Council Comments at 7; SDG&E
                                                                                                                 121 As discussed below, to the extent an ISO or
                                                  9.
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                                                                                                              RTO seeks to maintain an existing exemption, it can    Comments at 4–5; AWEA and LSA Comments at 2–
                                                     115 AWEA and LSA Comments at 6.
                                                                                                              include such a request in its compliance filing as     5; Public Interest Organizations Comments at 2–3;
                                                     116 NERC Comments at 9.
                                                                                                              an independent entity variation and the                NextEra Comments at 14.
                                                     117 Section 9.6.1 of the pro forma LGIA and                                                                        127 Indicated NYTOs Comments at 4; ISO/RTO
                                                                                                              Commission will consider the request at that time
                                                  section 1.8.1 of the pro forma SGIA.                        based on the arguments provided.                       Council Comments at 7; SDG&E Comments at 4;
                                                     118 EEI Comments at 9; NaturEner Comments at 4;             122 NOPR, FERC Stats. & Regs. ¶ 32,712 at P 12      CAISO Comments at 8–9; Joint NYTOs Comments
                                                  NERC Comments at 10; SCE Comments at 3;                     (citing Order No. 2003–A, FERC Stats. & Regs.          at 4; SCE Comments at 3; Six Cities Comments at
                                                  NextEra Comments at 11.                                     ¶ 31,160 at P 416); see also sections 9.6.3 and 11.6   2, 5–6.
                                                     119 AWEA and LSA Comments at 13; Joint NYTOs             of the pro forma LGIA and sections 1.8.2 and 1.8.3        128 EPSA Comments at 6; NextEra Comments at

                                                  Comments at 3.                                              of the pro forma SGIA.                                 14.



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                                                                     Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations                                              40803

                                                  compensates its own or affiliated                       2. Comments                                             change to the status quo and would
                                                  generators for reactive power service                      54. CAISO and MISO support the                       render some investments made by non-
                                                  within the specified reactive power                     Commission’s proposed application of                    synchronous generators that have
                                                  range, it must compensate all generators                the new reactive power requirements to                  already received the results of their
                                                  for this service, and at what rate such                 new and existing non-synchronous                        System Impact Study, but have not yet
                                                  compensation should be provided.                        generators.132 CAISO contends that                      executed an interconnection agreement,
                                                  While the Commission asked for                          interconnection customers should be                     useless. According to NextEra, such a
                                                  comments on principles for                              required to adhere to the conditions of                 major shift could also impose delays
                                                  compensating non-synchronous                            interconnection at the time they execute                and additional costs related to the
                                                  generators for reactive power, the                      an interconnection agreement. CAISO                     redesign, purchase, and installation of
                                                  comments, aside from noting that the                    states that, in its own reactive power                  additional equipment.137 NextEra
                                                  current AEP methodology 129 does not                    stakeholder initiative, it proposed to                  contends that if the Commission allows
                                                                                                          apply a new reactive power requirement                  for the use of static reactive power
                                                  translate to non-synchronous
                                                                                                          to its April 2016 interconnection queue                 devices to supplement the dynamic
                                                  generation, did not provide a sufficient
                                                                                                          cluster and to all future clusters. CAISO               reactive power capability of non-
                                                  record for determining a new method.                                                                            synchronous generators at the Point of
                                                  Therefore, any non-synchronous                          explains that, depending on the timing
                                                                                                          of the Final Rule, the new reactive                     Interconnection, the Commission would
                                                  generator seeking reactive power                                                                                merely be formalizing what is already
                                                  compensation would need to propose a                    power requirements would apply to this
                                                                                                          same group of interconnecting                           common practice, and, therefore, that
                                                  method for calculating that                                                                                     the proposed application of the Final
                                                  compensation as part of its filing. We                  generators because they will not execute
                                                                                                          their interconnection agreements for at                 Rule would be reasonable. However, if
                                                  note, however, that Commission staff is                                                                         the Commission requires fully dynamic
                                                  convening a workshop to explore                         least one year after the study process
                                                                                                          begins. CAISO states that applying                      reactive power capability at the Point of
                                                  reactive power compensation issues in                                                                           Interconnection, NextEra asks that the
                                                                                                          reactive power requirements to these
                                                  the markets operated by ISOs/RTOs on                                                                            Final Rule not apply to non-
                                                                                                          interconnecting generators would
                                                  June 30, 2016.130                                                                                               synchronous generators that have
                                                                                                          ensure these generators do not lean on
                                                                                                                                                                  received their System Impact Study.138
                                                  E. Application of the Final Rule                        existing generators to provide reactive
                                                                                                                                                                    57. Some commenters also oppose the
                                                                                                          power.133                                               Commission’s proposal to apply the
                                                  1. NOPR Proposal                                           55. In contrast, some commenters
                                                                                                                                                                  reactive power requirements to existing
                                                                                                          argue that the Commission should not
                                                     53. As a transition mechanism, the                                                                           non-synchronous generators making
                                                                                                          apply the new reactive power
                                                  Commission proposed in the NOPR to                                                                              upgrades that require new
                                                                                                          requirements to generators that have
                                                  apply the reactive power requirements                                                                           interconnection requests.139 AWEA and
                                                                                                          begun or have already received their
                                                  in this Final Rule to all newly                                                                                 LSA assert that most upgrades do not
                                                                                                          System Impact Study, depending on the
                                                  interconnecting non-synchronous                                                                                 involve fundamental changes to the
                                                                                                          requirements of the Final Rule.134
                                                  generators that, as of the effective date                                                                       original technology, or to the hardware,
                                                                                                          AWEA and LSA contend that applying                      but instead simply involve software
                                                  of this Final Rule, either: (1) Have not                the proposed reactive power
                                                  executed an interconnection agreement;                                                                          upgrades.140 Lincoln argues that
                                                                                                          requirements to non-synchronous                         applying the new reactive power
                                                  or (2) requested that an interconnection                generators that have begun their System
                                                  agreement be filed unexecuted that is                                                                           requirements to wind generators making
                                                                                                          Impact Study, or that have been in the                  upgrades could result in financial
                                                  still pending before the Commission.                    interconnection queue for some period
                                                  The Commission also proposed to apply                                                                           detriment to entities that have
                                                                                                          of time without starting their System                   previously entered into binding
                                                  the reactive power requirements to all                  Impact Study, may result in sizable                     contracts to purchase wind generation
                                                  existing non-synchronous generators                     costs and fundamental unfairness.                       by exposing those entities to unforeseen
                                                  making upgrades that require new                        AWEA and LSA argue that such non-                       expenses not contemplated when they
                                                  interconnection requests after the                      synchronous generators may not have                     entered into the contracts.141 AWEA
                                                  effective date of the Final Rule. The                   been designed to meet the new reactive                  and LSA request that the new reactive
                                                  Commission stated that it did not                       power requirements and, therefore, may                  power requirements only apply to
                                                  believe it would be reasonable or                       incur substantial equipment costs to                    upgrades on a case-by-case basis,
                                                  necessary to require all existing wind                  meet those requirements.135                             depending on the outcome of the
                                                  generators to provide reactive power                       56. NextEra argues that the proposed                 relevant interconnection study, and
                                                  because not all such generators are                     application of the Final Rule to non-                   only to the incremental capacity
                                                  capable of providing reactive power                     synchronous generators that have not                    requested through the upgrade.142
                                                  without incurring substantial costs to                  yet executed an interconnection                         AWEA and LSA also request that the
                                                  install new equipment. However, the                     agreement is unreasonable if the                        Commission clarify what constitutes a
                                                  Commission proposed to require                          Commission requires fully dynamic                       ‘‘Material change’’ to a generator that
                                                  existing wind generators that make                      reactive power capability measured at                   would trigger a new interconnection
                                                  upgrades that require new                               the Point of Interconnection.136 NextEra                study.143
                                                  interconnection requests to conform to                  asserts that requiring fully dynamic                      58. SDG&E requests that the
                                                  the new reactive power requirements.131                 reactive power capability at the Point of               Commission clarify that the proposed
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                                                                                                          Interconnection would be a significant
                                                                                                                                                                   137 Id.  at 12–13.
                                                    129 See Am. Elec. Power Serv. Corp., Opinion No.
                                                                                                            132 CAISO   Comments at 5–6; MISO Comments at          138 Id.  at 12.
                                                  440, 88 FERC ¶ 61,141, at 61,456–57 (1999).
                                                    130 See Reactive Supply Compensation in Markets       5–6.                                                      139 AWEA and LSA Comments at 14; Lincoln

                                                  Operated by Regional Transmission Organizations
                                                                                                            133 CAISO  Comments at 5–6.                           Comments at 2.
                                                                                                            134 AWEA   and LSA Comments at 14; NextEra              140 AWEA and LSA Comments at 14.
                                                  and Independent System Operators, Notice of
                                                  Workshop, Docket No. AD16–17–000 (issued Mar.           Comments at 13.                                           141 Lincoln Comments at 2.

                                                  17, 2016).                                                135 AWEA and LSA Comments at 14–15.                     142 AWEA and LSA Comments at 14–15.
                                                    131 NOPR, FERC Stats. & Regs. ¶ 32,712 at P 17.         136 NextEra Comments at 11.                             143 Id. at 15.




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                                                  40804              Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations

                                                  reactive power requirements would                       especially concerned with applying new                 the interconnection process is early
                                                  apply to all non-synchronous generators                 reactive power requirements to non-                    enough in the development of a
                                                  and not to just wind generators.144                     synchronous generators that have                       generation project such that the project
                                                                                                          advanced in the interconnection process                developer likely has not purchased
                                                  3. Commission Determination
                                                                                                          in light of our decision to measure the                equipment to interconnect their project
                                                     59. We will apply the requirements of                reactive power requirements at the high-               because they have not yet reached an
                                                  this Final Rule to all newly                            side of the generator substation, rather               agreement with the transmission
                                                  interconnecting non-synchronous                         than at the Point of Interconnection.                  provider on the interconnection
                                                  generators that have not yet executed a                 Because the Point of Interconnection                   requirements of the project, which
                                                  Facilities Study Agreement 145 as of the                has been the industry standard under                   occurs after the completion of the
                                                  effective date of this Final Rule. We will              Appendix G to the pro forma LGIA,                      System Impact Study. In choosing to
                                                  not apply the requirements of this Final                non-synchronous generators that have                   apply the reactive power requirements
                                                  Rule to existing non-synchronous                        completed their System Impact Study                    of this Final Rule to projects that have
                                                  generators making upgrades to their                     may have relied on that standard in                    not executed a Facilities Study
                                                  Generating Facilities that require new                  designing their Generating Facilities,                 Agreement, the Commission is ensuring
                                                  interconnection requests. However,                      thereby creating an undue burden on                    that a majority of newly interconnecting
                                                  such a generator may be required to                     such generators.148                                    non-synchronous generators are subject
                                                  provide reactive power if a transmission                   61. To avoid these undue burdens, we                to the requirements of this Final Rule
                                                  provider determines through that                        will apply the requirements of this Final              without subjecting projects to additional
                                                  generator’s System Impact Study that a                  Rule to all newly interconnecting non-                 costs after the interconnection
                                                  reactive power requirement is necessary                 synchronous generators that have not                   requirements of the project have been
                                                  to ensure safety or reliability. The                    yet executed a Facilities Study                        established.151 Further, as discussed in
                                                  transition mechanism we establish in                    Agreement as of the effective date of this             the Commission’s determination in
                                                  this Final Rule allows non-synchronous                  Final Rule. Pursuant to the pro forma                  Section III.B, Power Factor Range, Point
                                                  generators currently in the process of                  Large Generator Interconnection                        of Measurement, and Dynamic Reactive
                                                  interconnecting to complete the                         Procedures and to the pro forma Small                  Power Capability Requirements, the new
                                                  interconnection process without                         Generator Interconnection Procedures,                  reactive power requirement for non-
                                                  unreasonable delay or expense.                          and simultaneous with the delivery of                  synchronous generators will be
                                                                                                          the System Impact Study, the                           measured at the high-side of the
                                                  a. Newly Interconnecting Non-                           transmission provider provides a draft                 generator substation and should not
                                                  Synchronous Generators                                  Facilities Study Agreement to an                       result in the increased costs of
                                                     60. While the Commission proposed                    interconnecting generator.149 The                      providing dynamic reactive power at the
                                                  in the NOPR to apply the requirements                   executing of the Facilities Study                      Point of Interconnection that would
                                                  of the Final Rule to all newly                          Agreement immediately follows the                      substantially affect the financial
                                                  interconnecting non-synchronous                         completion of the System Impact Study.                 viability of a non-synchronous generator
                                                  generators that have not yet executed an                The execution of the Facilities Study                  in the interconnection queue that
                                                  interconnection agreement as of the                     Agreement, and the subsequent                          AWEA and LSA raise in their
                                                  effective date of the Final Rule, or                    completion of the Facilities Study,                    comments.
                                                  requested that one be filed unexecuted                  represents the time in the                                62. In addition, using the execution of
                                                  that is still pending, we agree with                    interconnection process when the                       a Facilities Study Agreement as the
                                                  AWEA and LSA, and NextEra,146 that                      transmission provider and generator                    point in the interconnection process for
                                                  applying the Final Rule as proposed                     developer agree to the general technical               transitioning to the requirements of this
                                                  may unduly burden non-synchronous                       requirements that will be needed for the               Final Rule represents a clearly defined
                                                  generators that have completed their                    generator to reliably interconnect to the              point to avoid confusion in
                                                  System Impact Study. Such non-                          transmission system.150 This point in                  applicability. To further ensure clarity
                                                  synchronous generators may have                                                                                for newly interconnecting non-
                                                  already purchased equipment needed to                   expensive reactive power devices. AWEA and LSA         synchronous generators, we include in
                                                                                                          Comments at 15.                                        the revisions to section 9.6.1 to the pro
                                                  interconnect prior to executing an                         148 NextEra Comments at 12–13.
                                                  interconnection agreement (or                              149 Section 8.1 of the pro forma Large Generator
                                                                                                                                                                 forma LGIA and section 1.8.1 to pro
                                                  requesting that one be filed unexecuted                 Interconnection Procedures state that, simultaneous
                                                  that is still pending).147 We are                       with the delivery of the System Impact Study, the      attached to the pro forma Small Generator
                                                                                                          transmission provider must provide the                 Interconnection Procedures as Attachment 7
                                                                                                          interconnection customer with an Interconnection       provides the same.
                                                    144 SDG&E   Comments at 1, 3.                         Facilities Study Agreement. Likewise, section 3.5 of      151 See, e.g., Neptune Regional Transmission Sys.,
                                                    145 The  pro forma Large Generator                    the pro forma Small Generator Interconnection          LLC v. PJM Interconnection, L.L.C., 110 FERC
                                                  Interconnection Procedures contain a standard           Procedures state that a transmission provider must     ¶ 61,098, at P 23 (‘‘Each customer knows that
                                                  ‘‘Interconnection Facilities Study Agreement’’ as       provide an interconnection customer a Facilities       subsequent cost allocations will be determined by
                                                  Appendix 4. Similarly, the pro forma Small              Study Agreement along with the completed System        circumstances that are known as of the time its
                                                  Generator Interconnection Procedures contain a          Impact Study report.                                   System Impact Study is conducted. Projects may
                                                  standard ‘‘Facilities Study Agreement’’ as                 150 Section 7.3 of the pro forma Large Generator    drop out of the queue and customers may move up
                                                  Attachment 8.                                           Interconnection Procedures explains that the           the queue, but the cost allocation system insulates
                                                     146 AWEA and LSA Comments at 14; NextEra
                                                                                                          System Impact Study will ‘‘provide the                 an interconnection customer from costs arising from
                                                  Comments at 13.                                         requirements or potential impediments to providing     events occurring after its System Impact Study is
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                                                     147 AWEA and LSA explain that many non-              the requested interconnection service, including a     completed, other than costs arising from changes
                                                  synchronous generators will have already chosen         preliminary indication of the cost and length of       from higher-queued generators. . . . If an
                                                  their collector array cable and transformer or          time that would be necessary to correct any            interconnection customer were to be held
                                                  inverter before receiving an interconnection            problems identified in those analyses and              financially responsible for the costs of events
                                                  agreement. Rather than being able to choose             implement the interconnection,’’ along with ‘‘a list   occurring after its System Impact Study is
                                                  equipment that could reduce reactive losses, the        of facilities that are required as a result of the     completed it would be impossible for the customer
                                                  only compliance option for non-synchronous              Interconnection Request and a non-binding good         to make reasoned business decisions.’’), order on
                                                  generators that are ‘‘significantly advanced’’ in the   faith estimate of cost responsibility and a non-       reh’g, 111 FERC ¶ 61,455 (2005), aff’d sub nom.
                                                  interconnection process to meet the requirements of     binding good faith estimated time to construct.’’      Pub. Serv. Elec. and Gas Co. v. FERC, 485 F.3d 1164
                                                  the Final Rule would be to install potentially          Section 5.0 of the System Impact Study Agreement       (D.C. Cir. 2007).



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                                                                     Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations                                                    40805

                                                  forma SGIA this transition                               not involve fundamental changes to the                  provider’s System Impact Study shows
                                                  mechanism,152 which we require                           original technology, or to the hardware,                the need for reactive power as a result
                                                  transmission providers to adopt, as part                 but instead simply involve software                     of an upgrade, the transmission provider
                                                  of their compliance with this Final                      upgrades.158                                            should have the flexibility to require
                                                  Rule.153                                                    65. We recognize that there are a                    reactive power capability consistent
                                                     63. We also amend Appendix G to the                   variety of triggering points for a new                  with the needs identified in the study,
                                                  pro forma LGIA, which public utility                     interconnection request in the various                  including the ability to apply the
                                                  transmission providers are required to                   transmission provider regions, and the                  reactive power requirements of this
                                                  adopt, as part of their compliance with                  fact that an existing non-synchronous                   Final Rule to all of the generator’s
                                                  this Final Rule. Appendix G to the pro                   generator making an upgrade may not be
                                                                                                                                                                   capacity. Otherwise, allowing a
                                                  forma LGIA applies only to wind                          installing new equipment. We also
                                                                                                                                                                   transmission provider to apply the
                                                  generators.154 Those newly                               acknowledge, as the Commission did in
                                                  interconnecting wind generators that                     the NOPR, that not all existing wind                    reactive power requirements only to the
                                                  have executed a Facilities Study                         generators are capable of providing                     incremental capacity that results from
                                                  Agreement as of the effective date of this               reactive power without incurring                        an upgrade would undermine the
                                                  Final Rule will be subject to the                        substantial costs to install new                        Commission’s goal of ensuring adequate
                                                  amended Appendix G.155 If Appendix G                     equipment.159 Therefore, we will not                    reactive power support for the
                                                  is not applicable to any newly                           apply the requirements of this Final                    transmission system.162 Therefore, we
                                                  interconnecting wind generators, the                     Rule to existing non-synchronous                        will give transmission providers the
                                                  public utility transmission provider or                  generators making upgrades that require                 flexibility to apply the reactive power
                                                  RTO/ISO should remove Appendix G                         new interconnection requests.160 Rather,                requirements to all of an existing non-
                                                  from its LGIA as part of its compliance                  we will maintain the existing approach                  synchronous generator’s capacity when
                                                  filing. When all newly interconnecting                   in Appendix G to the pro forma LGIA                     that generator makes an upgrade that
                                                  wind generators that have executed                       for existing non-synchronous generators                 requires a new interconnection request,
                                                  Facilities Study Agreements as of the                    making upgrades to their Generating                     and the System Impact Study shows the
                                                  effective date of this Final Rule finalize               Facilities that require new                             need for reactive power.163
                                                  their LGIAs and Appendix G is no                         interconnection requests after the                         67. We require transmission providers
                                                  longer necessary, we encourage the                       effective date of this Final Rule,                      to propose, as part of their compliance
                                                  public utility transmission providers                    meaning that those upgrades will be
                                                                                                                                                                   with this Final Rule, tariff revisions
                                                  and RTOs/ISOs to file, or to include as                  exempt from the requirement to provide
                                                                                                                                                                   implementing the transition mechanism
                                                  part of, an FPA section 205 filing a                     reactive power unless the transmission
                                                  proposal to remove Appendix G from                       provider’s System Impact Study shows                    laid out above for existing non-
                                                  their LGIA.                                              that provision of reactive power by that                synchronous generators making
                                                                                                           generator is necessary to ensure safety                 upgrades to their Generating Facilities
                                                  b. Upgrades to Existing Non-                                                                                     that require new interconnection
                                                                                                           or reliability.
                                                  Synchronous Generators                                      66. We decline AWEA and LSA’s                        requests.
                                                     64. Some commenters raise concerns                    request that the reactive power                         F. Regional Flexibility
                                                  with applying the requirements of this                   requirement apply only to the
                                                  Final Rule to existing non-synchronous                   incremental capacity that results from                    68. Multiple commenters request that
                                                  generators making upgrades that require                  an upgrade in the event the System                      the Commission recognize independent
                                                  new interconnection requests.156                         Impact Study shows the need for                         entity variations for ISOs/RTOs and
                                                  Generally, such generators would                         reactive power.161 If a transmission                    regional differences for transmission
                                                  otherwise be exempt from the reactive                                                                            providers outside of ISOs/RTOs in
                                                  power requirement. Lincoln argues that                     158 AWEA      and LSA Comments at 14.
                                                                                                                                                                   evaluating compliance with the Final
                                                  the proposed application of the new                        159 NOPR,     FERC Stats. & Regs. ¶ 32,712 at P 17.
                                                                                                                                                                   Rule.164
                                                                                                              160 Given our determination not to adopt the
                                                  reactive power requirements to existing
                                                                                                           NOPR proposal, we find moot AWEA and LSA’s                69. We apply here all three of the
                                                  non-synchronous generators making                        request that the Commission clarify what
                                                  upgrades could expose entities with                      constitutes a ‘‘Material change’’ to a generator that
                                                                                                                                                                   methods for proposing variations
                                                  existing power purchase agreements to                    would trigger a new interconnection study. We note      adopted in Order No. 2003: (1)
                                                  unforeseen expenses.157 As noted by                      that, on May 13, 2016, Commission staff held a          Variations based on Regional Entity
                                                                                                           technical conference on generator interconnection       reliability requirements; (2) variations
                                                  AWEA and LSA, most upgrades that                         issues, exploring triggers for restudies, among other
                                                  require new interconnection requests do                  things. See Review of Generator Interconnection         that are ‘‘consistent with or superior to’’
                                                                                                           Agreements and Procedures, Supplemental Notice          the Final Rule; and (3) ‘‘independent
                                                    152 See infra P 74 (providing the amended text of      of Technical Conference, Docket Nos. RM16–12–
                                                                                                                                                                     162 NOPR, FERC Stats. & Regs. ¶ 32,712 at P 11
                                                  section 9.6.1 to the pro forma LGIA and section          000, RM15–21–000 (issued May 4, 2016); Review of
                                                  1.8.1 to the pro forma SGIA).                            Generator Interconnection Agreements and                (explaining the Commission’s concern that the
                                                    153 In West Deptford Energy, LLC v. FERC, 766          Procedures, Notice Inviting Post-Technical              growing penetration of wind generators increases
                                                                                                           Conference Comments, Docket Nos. RM16–12–000,           the potential for a deficiency in reactive power, and
                                                  F.3d 10, 20 (D.C. Cir. 2014), the court explained that
                                                                                                           RM15–21–000 (issued June 3, 2016) (Question 1.10:       resulting local reliability issues).
                                                  the tariff provisions in effect at the time an
                                                                                                           ‘‘Should interconnection procedures be more               163 As with the existing approach, should an
                                                  interconnection agreement is executed apply to that
                                                                                                           specific about what constitutes a material              existing non-synchronous generator disagree with
                                                  interconnection customer, ‘‘unless the amended
                                                                                                           modification to a generator interconnection request?
                                                  tariff has a grandfathering provision.’’                                                                         the transmission provider that the System Impact
                                                                                                           Is it clear to interconnection customers what types
                                                                                                                                                                   Study shows a need for reactive power as a result
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                                                    154 See Order No. 661, FERC Stats. & Regs.
                                                                                                           of modifications to their interconnection requests
                                                  ¶ 31,186, Appendix B (Appendix G—                        would and would not affect their place in the           of the upgrade, it may challenge the transmission
                                                  Interconnection Requirements for a Wind                  queue? Do transmission owners and RTO/ISOs              provider’s conclusion through dispute resolution or
                                                  Generating Plant).                                       exercise any level of discretion in determining         appeal to the Commission. See Order No. 661, FERC
                                                    155 See infra P 74 (providing the amended text of
                                                                                                           whether a customer has made a material                  Stats. & Regs. ¶ 31,186 at P 51.
                                                  paragraph A.ii of Appendix G to the pro forma            modification? What is the range and nature of that        164 EEI Comments at 11; Indicated NYTOs
                                                  LGIA).                                                   discretion? Please reference provisions in              Comments at 3; ISO–NE Comments at 11–12; ISO/
                                                    156 AWEA and LSA Comments at 14; Lincoln               interconnection procedures, as applicable, in your      RTO Council Comments at 3; Joint NYTOs
                                                  Comments at 2.                                           answer.’’).                                             Comments at 3; NEPOOL Initial Comments at 6;
                                                    157 Lincoln Comments at 2.                                161 AWEA and LSA Comments at 14–15.                  NEPOOL Supplemental Comments at 3–4.



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                                                  40806              Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations

                                                  entity variations’’ from ISOs/RTOs.165 If               Frequency and Voltage Ride Through                     using, for example, power electronics
                                                  a transmission provider seeks to justify                Capability of Small Generating                         designed to supply this level of reactive
                                                  variations from the requirements of this                Facilities, to consider these issues.169               capability (taking into account any
                                                                                                                                                                 limitations due to voltage level, real power
                                                  Final Rule, it may do so in its                            73. AWEA and LSA request that the
                                                                                                                                                                 output, etc.) or fixed and switched
                                                  compliance filing. A transmission                       Commission limit the reactive power                    capacitors, or a combination of the two. This
                                                  provider may propose to include                         requirements to a specific range of                    requirement shall only apply to newly
                                                  standards developed by NERC or a                        voltage at the Point of                                interconnecting non-synchronous generators
                                                  Regional Entity in its own standard                     Interconnection.170 NERC also                          that have not yet executed a Facilities Study
                                                  interconnection agreement. The                          recommends that the Commission                         Agreement as of the effective date of the
                                                  Commission is mindful of the work                       clarify the reactive power requirements                Final Rule establishing this requirement
                                                  being done by these organizations in                    by providing a reactive capability versus              (Order No. 827).
                                                  developing standards for the                            voltage characteristic diagram.171 We                    The Commission similarly revises
                                                  interconnection of non-synchronous                      find the request to specify a voltage                  section 1.8.1 of the pro forma SGIA to
                                                  generators, and we strongly encourage                   range for the reactive power                           read:
                                                  all interested parties to continue to                   requirements to be outside the scope of                   1.8.1 Power Factor Design Criteria
                                                  participate in developing these                         this proceeding. The existing pro forma                   1.8.1.1 Synchronous Generation. The
                                                  standards.                                              LGIA and pro forma SGIA do not                         Interconnection Customer shall design its
                                                  G. Miscellaneous Comments                               specify a voltage range for the reactive               Small Generating Facility to maintain a
                                                                                                          power requirement for synchronous                      composite power delivery at continuous
                                                     70. CAISO argues that the                            generators, and the Commission does                    rated power output at the Point of
                                                  Commission should allow transmission                    not have a sufficient record on which to               Interconnection at a power factor within the
                                                  providers to propose additional                                                                                range of 0.95 leading to 0.95 lagging, unless
                                                                                                          create such a requirement.                             the Transmission Provider has established
                                                  technical requirements for
                                                  interconnecting non-synchronous                         IV. Compliance and Implementation                      different requirements that apply to all
                                                  generators related to voltage support,                                                                         similarly situated synchronous generators in
                                                                                                             74. Section 35.28(f)(1) of the                      the control area on a comparable basis. [The
                                                  such as requiring automatic voltage                     Commission’s regulations requires every                requirements of this paragraph shall not
                                                  control.166 Transmission providers may                  public utility with a non-discriminatory               apply to wind generators.] (Bracketed text is
                                                  propose additional technical                            OATT on file to also have on file the pro              deleted.)
                                                  requirements, to the extent they believe                forma LGIA and pro forma SGIA                             1.8.1.2 Non-Synchronous Generation.
                                                  those are necessary, in a separate filing               ‘‘required by Commission rulemaking                    The Interconnection Customer shall design
                                                  pursuant to section 205 of the FPA.                     proceedings promulgating and                           its Small Generating Facility to maintain a
                                                     71. MATL requests clarification that                 amending such interconnection
                                                                                                                                                                 composite power delivery at continuous rated
                                                  the Commission will continue to accept                                                                         power output at the high-side of the
                                                                                                          procedures and agreements.’’ 172 The                   generator substation at a power factor within
                                                  tariff arrangements that require
                                                                                                          Commission hereby revises section 9.6.1                the range of 0.95 leading to 0.95 lagging,
                                                  customers on merchant transmission
                                                                                                          of the pro forma LGIA to read:                         unless the Transmission Provider has
                                                  lines to self-supply ancillary services.
                                                                                                            9.6.1 Power Factor Design Criteria                   established a different power factor range
                                                  MATL specifically requests that this                                                                           that applies to all similarly situated non-
                                                  clarification be included in the final                    9.6.1.1 Synchronous Generation.
                                                                                                          Interconnection Customer shall design the              synchronous generators in the control area
                                                  rule compliance obligation, and in                                                                             on a comparable basis. This power factor
                                                                                                          Large Generating Facility to maintain a
                                                  similar future proceedings.167 We clarify               composite power delivery at continuous                 range standard shall be dynamic and can be
                                                  that merchant transmission lines that                   rated power output at the Point of                     met using, for example, power electronics
                                                  have received exemptions from                           Interconnection at a power factor within the           designed to supply this level of reactive
                                                  providing ancillary services will not be                range of 0.95 leading to 0.95 lagging, unless          capability (taking into account any
                                                  affected by this Final Rule. Therefore,                 the Transmission Provider has established              limitations due to voltage level, real power
                                                  those entities that do not have reactive                different requirements that apply to all               output, etc.) or fixed and switched
                                                  power requirements in their                             synchronous generators in the Control Area             capacitors, or a combination of the two. This
                                                                                                          on a comparable basis. [The requirements of            requirement shall only apply to newly
                                                  Commission-approved OATTs will not                                                                             interconnecting non-synchronous generators
                                                  need to submit a compliance filing in                   this paragraph shall not apply to wind
                                                                                                          generators.] (Bracketed text is deleted.)              that have not yet executed a Facilities Study
                                                  response to this Final Rule.                                                                                   Agreement as of the effective date of the
                                                     72. SCE requests that the Commission                   9.6.1.2 Non-Synchronous Generation.
                                                                                                          Interconnection Customer shall design the              Final Rule establishing this requirement
                                                  expand the scope of the rulemaking                      Large Generating Facility to maintain a                (Order No. 827).
                                                  proceeding to include low voltage ride-                 composite power delivery at continuous rated             In addition, the Commission revises
                                                  through requirements for synchronous                    power output at the high-side of the                   paragraph A.ii of Appendix G to the pro
                                                  and non-synchronous Generating                          generator substation at a power factor within          forma LGIA, ‘‘Technical Standards
                                                  Facilities smaller than 20 MW.168 We                    the range of 0.95 leading to 0.95 lagging,
                                                                                                                                                                 Applicable to a Wind Generation Plant,’’
                                                  decline to expand the scope of the                      unless the Transmission Provider has
                                                                                                          established a different power factor range             as follows: 173
                                                  rulemaking proceeding to include low
                                                  voltage ride-through requirements for                   that applies to all non-synchronous                      The following reactive power requirements
                                                  synchronous and non-synchronous                         generators in the Control Area on a                    apply only to a newly interconnecting wind
                                                                                                          comparable basis. This power factor range              generating plant that has executed a
                                                  Generating Facilities smaller than 20
                                                                                                          standard shall be dynamic and can be met               Facilities Study Agreement as of the effective
                                                  MW. We note that the Commission has
                                                                                                                                                                 date of the Final Rule establishing the
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                                                  issued a Notice of Proposed                               169 See Requirements for Frequency and Voltage       reactive power requirements for non-
                                                  Rulemaking, Requirements for                            Ride Through Capability of Small Generating
                                                                                                          Facilities, Notice of Proposed Rulemaking, 81 FR         173 The full text of the pro forma LGIA will be
                                                    165 Order No. 2003, FERC Stats. & Regs. ¶ 31,146      15481 (Mar. 23, 2016), 154 FERC ¶ 61,222 (2016).       posted on the Commission’s internet page at: http://
                                                  at PP 824–827; see also Order No. 661, FERC Stats.        170 AWEA and LSA Comments at 7 (explaining
                                                                                                                                                                 www.ferc.gov/industries/electric/indus-act/gi/stnd-
                                                  & Regs. ¶ 31,186 at P 109.                              the range of voltage and providing a proposed Q–       gen.asp. The full text of the pro forma SGIA will
                                                     166 CAISO Comments at 8.                             V curve).                                              be posted on the Commission’s internet page at:
                                                     167 MATL Comments at 5.                                171 NERC Comments at 9–10.
                                                                                                                                                                 http://www.ferc.gov/industries/electric/indus-act/
                                                     168 SCE Comments at 4.                                 172 18 CFR 35.28(f)(1) (2015).                       gi/small-gen.asp.



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                                                                     Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations                                                 40807

                                                  synchronous generators in section 9.6.1 of              requirements of this Final Rule also do                 LGIA and pro forma SGIA in accordance
                                                  this LGIA (Order No. 827). A wind generating            not apply to existing non-synchronous                   with section 35.28(f)(1) of the
                                                  plant to which this provision applies shall             generators making upgrades to their                     Commission’s regulations.182 This Final
                                                  maintain a power factor within the range of             Generating Facilities that require new
                                                  0.95 leading to 0.95 lagging, measured at the                                                                   Rule requires each public utility
                                                  Point of Interconnection as defined in this
                                                                                                          interconnection requests.                               transmission provider to revise its pro
                                                  LGIA, if the Transmission Provider’s System
                                                                                                             76. In some cases, public utility                    forma LGIA and pro forma SGIA to: (1)
                                                  Impact Study shows that such a requirement              transmission providers may have                         Eliminate the exemptions for wind
                                                  is necessary to ensure safety or reliability.           provisions in the currently effective                   generators from the requirement to
                                                  The power factor range standard can be met              LGIAs and SGIAs in their OATTs
                                                                                                                                                                  provide reactive power; and (2) require
                                                  by using, for example, power electronics                related to the provision of reactive
                                                                                                                                                                  that all newly interconnecting non-
                                                  designed to supply this level of reactive               power by non-synchronous generators
                                                  capability (taking into account any                     that the Commission has deemed to be                    synchronous generators that have not
                                                  limitations due to voltage level, real power            consistent with or superior to the pro                  yet executed a Facilities Study
                                                  output, etc.) or fixed and switched capacitors          forma LGIA and pro forma SGIA. Where                    Agreement provide reactive power as a
                                                  if agreed to by the Transmission Provider, or           the relevant provisions of the pro forma                condition of interconnection as set forth
                                                  a combination of the two. The                                                                                   in their LGIA or SGIA as of the effective
                                                  Interconnection Customer shall not disable
                                                                                                          LGIA and pro forma SGIA are modified
                                                                                                          by this Final Rule, public utility                      date of this Final Rule. The reforms
                                                  power factor equipment while the wind plant
                                                  is in operation. Wind plants shall also be able         transmission providers must either                      adopted in this Final Rule require
                                                  to provide sufficient dynamic voltage support           comply with this Final Rule or                          filings of pro forma LGIAs and pro
                                                  in lieu of the power system stabilizer and              demonstrate that their previously-                      forma SGIAs with the Commission. The
                                                  automatic voltage regulation at the generator           approved LGIA and SGIA variations                       Commission anticipates the revisions
                                                  excitation system if the System Impact Study            continue to be consistent with or                       required by this Final Rule, once
                                                  shows this to be required for system safety             superior to the pro forma LGIA and pro                  implemented, will not significantly
                                                  or reliability.174                                      forma SGIA as modified by this Final                    change currently existing burdens on an
                                                     75. As in Order Nos. 2003 175 and                    Rule.                                                   ongoing basis. With regard to those
                                                  661,176 the Commission is requiring all                    77. In addition, some ISOs/RTOs may                  public utility transmission providers
                                                  public utility 177 transmission providers               have provisions in the currently                        that believe that they already comply
                                                  to adopt the requirements of this Final                 effective LGIAs and SGIAs in their                      with the revisions adopted in this Final
                                                  Rule as revisions (as discussed above) to               OATTs related to the provision of                       Rule, they can demonstrate their
                                                  the LGIA and SGIA in their OATTs                        reactive power by non-synchronous
                                                                                                                                                                  compliance in the filing required 90
                                                  within 90 days after the publication of                 generators that the Commission has
                                                                                                                                                                  days after the effective date of this Final
                                                  this Final Rule in the Federal                          accepted as an independent entity
                                                                                                          variation to the pro forma LGIA and pro                 Rule. The Commission will submit the
                                                  Register.178 Transmission providers that                                                                        proposed reporting requirements to
                                                  are not public utilities also must adopt                forma SGIA. Where the relevant
                                                                                                          provisions of the pro forma LGIA and                    OMB for its review and approval under
                                                  the requirements of this Final Rule as a
                                                                                                          pro forma SGIA are modified by this                     section 3507(d) of the Paperwork
                                                  condition of maintaining the status of
                                                  their safe harbor tariff or otherwise                   Final Rule, ISOs/RTOs must either                       Reduction Act.183
                                                  satisfying the reciprocity requirement of               comply with this Final Rule or                             80. While the Commission expects the
                                                  Order No. 888.179 As discussed above,                   demonstrate that their previously-                      revisions adopted in this Final Rule will
                                                  we are not requiring changes to                         approved LGIA and SGIA variations                       provide significant benefits, the
                                                  interconnection agreements already in                   continue to justify an independent                      Commission understands that
                                                  effect, but are applying the requirements               entity variation from the pro forma                     implementation can be a complex and
                                                  of this Final Rule to newly                             LGIA and pro forma SGIA as modified                     costly endeavor. The Commission
                                                  interconnecting non-synchronous                         by this Final Rule.                                     solicited comments on the accuracy of
                                                  generators that have not yet executed a                 V. Information Collection Statement                     provided burden and cost estimates and
                                                  Facilities Study Agreement. The                                                                                 any suggested methods for minimizing
                                                                                                             78. The following collection of
                                                                                                          information contained in this Final Rule                the respondents’ burdens. The
                                                     174 Section A.ii of Appendix G to the pro forma

                                                  LGIA.                                                   is subject to review by the Office of                   Commission did not receive any
                                                     175 Order No. 2003, FERC Stats. & Regs. ¶ 31,146     Management and Budget (OMB)                             comments concerning its burden or cost
                                                  at P 910.                                               regulations under section 3507(d) of the                estimates. Therefore, the Commission
                                                     176 Order No. 661, FERC Stats. & Regs. ¶ 31,186
                                                                                                          Paperwork Reduction Act of 1995.180                     retains the estimates proposed in the
                                                  at P 121.
                                                     177 For purposes of this Final Rule, a public        OMB’s regulations require approval of                   NOPR, with minor changes to reflect
                                                  utility is a utility that owns, controls, or operates   certain information collection                          updated estimates.
                                                  facilities used for transmitting electric energy in     requirements imposed by agency                             Burden Estimate: The Commission
                                                  interstate commerce, as defined by the FPA. See 16      rules.181 Upon approval of a collection
                                                  U.S.C. 824(e) (2012). A non-public utility that seeks                                                           believes that the burden estimates below
                                                  voluntary compliance with the reciprocity
                                                                                                          of information, OMB will assign an                      are representative of the average burden
                                                  condition of an OATT may satisfy that condition by      OMB control number and expiration                       on respondents. The estimated burden
                                                  filing an OATT, which includes the pro forma LGIA       date. Respondents subject to the filing                 and cost for the requirements adopted in
                                                  and pro forma SGIA.                                     requirements of this Final Rule will not
                                                     178 MISO requests that the Commission extend                                                                 this Final Rule follow.184
                                                                                                          be penalized for failing to respond to
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                                                  the requirements of this Final Rule to the MISO pro
                                                  forma Generator Interconnection Agreement and           this collection of information unless the
                                                  not just to the Commission’s pro forma LGIA and         collection of information displays a
                                                                                                                                                                    182 18 CFR 35.28(f)(1) (2015).
                                                  pro forma SGIA. MISO Comments at 4–6. As stated,        valid OMB control number.
                                                  each public utility transmission provider subject to                                                              183 44 U.S.C. 3507(d) (2012).
                                                                                                             79. The reforms adopted in this Final
                                                  this Final Rule is directed to adopt the requirements                                                             184 Commission staff estimates that industry is
                                                  of this Final Rule as revisions to the standard         Rule revise the Commission’s pro forma                  similarly situated in terms of hourly cost (wages
                                                  interconnection agreements in its OATT.                                                                         plus benefits). Based on the Commission’s average
                                                     179 Order No. 888, FERC Stats. & Regs. ¶ 31,036        180 44   U.S.C. 3507(d) (2012).                       cost (wages plus benefits) for 2015, $72/hour is
                                                  at 31,760–63.                                             181 5   CFR 1320.11 (2015).                           used.



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                                                  40808                   Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations

                                                                                                                FERC 516B REVISIONS IN FINAL RULE IN RM16–1
                                                                                                                                                                                                                                                  Total annual
                                                                                                                                                                   Annual                                                 Average
                                                                                                                                                                                                   Total                                          burden hours
                                                                                                                                 Number of                        number of                                             burden (hrs.)
                                                                                                                                                                                                number of                                           and total
                                                                                                                               respondents 185                 responses per                                            and cost ($)
                                                                                                                                                                                                responses                                          annual cost
                                                                                                                                                                 respondent                                             per response                   ($)

                                                                                                                                         (1)                            (2)                   (1) * (2) = (3)                   (4)               (3) * (4) = (5)

                                                  Conforming LGIA changes to incorporate revi-                                                      132                               1     132 ...................   7.5 ....................   990 hours.
                                                    sions.                                                                                                                                                            $540 .................     $71,280.
                                                  Conforming SGIA changes to incorporate revi-                                                      118                                1    118 ...................   7.5 ....................   885 hours.
                                                    sions.                                                                                                                                                            $540 .................     $63,720.

                                                       Total .............................................................    ............................   ............................   250 ...................   15 hours ...........       1,875 hours.
                                                                                                                                                                                                                      $1,080 ..............      $135,000.



                                                     Cost to Comply: The Commission has                                      requirements by contacting the                                            bulk power transmission and control, at
                                                  projected the total cost of compliance as                                  following: Federal Energy Regulatory                                      500 employees.188
                                                  follows: 186                                                               Commission, 888 First Street NE.,                                            85. The Commission estimates that
                                                     • Year 1: $135,000 ($1,080/utility).                                    Washington, DC 20426 [Attention: Ellen                                    the total number of public utility
                                                     • Year 2: $0.                                                           Brown, Office of the Executive Director],                                 transmission providers that would have
                                                     After implementation in Year 1, the                                     email: DataClearance@ferc.gov, phone:                                     to modify the LGIAs and SGIAs within
                                                  revisions adopted in this Final Rule                                                                                                                 their currently effective OATTs is 132.
                                                                                                                             (202) 502–8663, fax: (202) 273–0873.
                                                  would be complete.                                                                                                                                   Of these, the Commission estimates that
                                                     Title: FERC–516B, Electric Rate                                           82. Comments on the collection of                                       approximately 43 percent are small
                                                  Schedules and Tariff Filings.                                              information and the associated burden                                     entities (approximately 57 entities). The
                                                     Action: Revisions to an information                                     estimates in this Final Rule should be                                    Commission estimates the average total
                                                  collection.                                                                sent to the Commission in this docket                                     cost to each of these entities will be
                                                     OMB Control No.: TBD                                                    and may also be sent to the Office of                                     minimal, requiring on average 15 hours
                                                     Respondents for this Rulemaking:                                        Information and Regulatory Affairs,                                       or $1,080. According to SBA guidance,
                                                  Businesses or other for profit and/or                                      Office of Management and Budget, 725                                      the determination of significance of
                                                  not-for-profit institutions.                                               17th Street NW., Washington, DC 20503
                                                     Frequency of Information: One-time                                                                                                                impact ‘‘should be seen as relative to the
                                                                                                                             [Attention: Desk Officer for the Federal                                  size of the business, the size of the
                                                  during Year 1.
                                                     Necessity of Information: The                                           Energy Regulatory Commission], at the                                     competitor’s business, and the impact
                                                  Commission adopts revisions in this                                        following email address: oira_                                            the regulation has on larger
                                                  Final Rule to the pro forma LGIA and                                       submission@omb.eop.gov. Please                                            competitors.’’ 189 The Commission does
                                                  pro forma SGIA to improve the                                              reference the docket number of this                                       not consider the estimated burden to be
                                                  reliability of the bulk power system by                                    rulemaking in your submission.                                            a significant economic impact. As a
                                                  requiring all newly interconnecting non-                                                                                                             result, the Commission certifies that the
                                                                                                                             VI. Regulatory Flexibility Act                                            revisions adopted in this Final Rule will
                                                  synchronous generators to provide                                          Certification
                                                  reactive power as a condition of                                                                                                                     not have a significant economic impact
                                                  interconnection, and to ensure that all                                       83. The Regulatory Flexibility Act of                                  on a substantial number of small
                                                  generators are being treated in a not                                                                                                                entities.
                                                                                                                             1980 (RFA) 187 generally requires a
                                                  unduly discriminatory or preferential                                      description and analysis of rules that                                    VII. Environmental Analysis
                                                  manner.                                                                    will have significant economic impact
                                                     Internal Review: The Commission has                                                                                                                  86. The Commission is required to
                                                                                                                             on a substantial number of small                                          prepare an Environmental Assessment
                                                  reviewed the requirements in this Final                                    entities. The RFA does not mandate any
                                                  Rule and has determined that such                                                                                                                    or an Environmental Impact Statement
                                                                                                                             particular outcome in a rulemaking. It                                    for any action that may have a
                                                  revisions are necessary. These                                             only requires consideration of
                                                  requirements conform to the                                                                                                                          significant adverse effect on the human
                                                                                                                             alternatives that are less burdensome to                                  environment.190 As we stated in the
                                                  Commission’s need for efficient
                                                                                                                             small entities and an agency                                              NOPR, the Commission concludes that
                                                  information collection, communication,
                                                  and management within the energy                                           explanation of why alternatives were                                      neither an Environmental Assessment
                                                  industry. The Commission has assured                                       rejected.                                                                 nor an Environmental Impact Statement
                                                  itself, by means of internal review, that                                     84. The Small Business                                                 is required for the revisions adopted in
                                                  there is specific, objective support for                                   Administration (SBA) revised its size                                     this Final Rule under section
                                                  the burden estimates associated with the                                   standards (effective January 22, 2014)                                    380.4(a)(15) of the Commission’s
                                                  information collection requirements.                                       for electric utilities from a standard                                      188 13 CFR 121.201, Sector 22 (Utilities), NAICS
                                                     81. Interested persons may obtain                                       based on megawatt hours to a standard
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                                                                                                                                                                                                       code 221121 (Electric Bulk Power Transmission and
                                                  information on the reporting                                               based on the number of employees,                                         Control) (2015).
                                                                                                                             including affiliates. Under SBA’s                                           189 U.S. Small Business Administration, A Guide
                                                    185 Number   of Applicable Registered Entities.                                                                                                    for Government Agencies How to Comply with the
                                                                                                                             standards, some transmission owners
                                                    186 The  costs for Year 1 consist of filing revisions                                                                                              Regulatory Flexibility Act, at 18 (May 2012), https://
                                                  to the pro forma LGIA and pro forma SGIA with                              will fall under the following category                                    www.sba.gov/sites/default/files/advocacy/rfaguide_
                                                  the Commission within 90 days of the effective date                        and associated size threshold: Electric                                   0512_0.pdf.
                                                  of this Final Rule plus initial implementation. The                                                                                                    190 Regulations Implementing National

                                                  Commission does not expect any ongoing costs                                                                                                         Environmental Policy Act of 1969, Order No. 486,
                                                  beyond the initial compliance in Year 1.                                    187 5   U.S.C. 601–12 (2012).                                            FERC Stats. & Regs. ¶ 30,783 (1987).



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                                                                           Federal Register / Vol. 81, No. 121 / Thursday, June 23, 2016 / Rules and Regulations                                                40809

                                                  regulations, which provides a                                      www.ferc.gov) and in the Commission’s                  above, the requirements of this Final
                                                  categorical exemption for approval of                              Public Reference Room during normal                    Rule will apply only to newly
                                                  actions under sections 205 and 206 of                              business hours (8:30 a.m. to 5:00 p.m.                 interconnecting non-synchronous
                                                  the FPA relating to the filing of                                  Eastern time) at 888 First Street NE.,                 generators that have not yet executed a
                                                  schedules containing all rates and                                 Room 2A, Washington, DC 20426.                         Facilities Study Agreement. The
                                                  charges for the transmission or sale of                              88. From the Commission’s Home                       Commission has determined, with the
                                                  electric energy subject to the                                     Page on the Internet, this information is              concurrence of the Administrator of the
                                                  Commission’s jurisdiction, plus the                                available on eLibrary. The full text of                Office of Information and Regulatory
                                                  classification, practices, contracts and                           this document is available on eLibrary                 Affairs of OMB, that this Final Rule is
                                                  regulations that affect rates, charges,                            in PDF and Microsoft Word format for                   not a ‘‘major rule’’ as defined in section
                                                  classifications, and services.191 The                              viewing, printing, and/or downloading.                 351 of the Small Business Regulatory
                                                  revisions adopted in this Final Rule                               To access this document in eLibrary,                   Enforcement Fairness Act of 1996. This
                                                  update and clarify the application of the                          type the docket number of this                         Final Rule is being submitted to the
                                                  Commission’s standard interconnection                              document, excluding the last three                     Senate, House, Government
                                                  requirements to non-synchronous                                    digits, in the docket number field.                    Accountability Office, and Small
                                                  generators. Therefore, this Final Rule                               89. User assistance is available for                 Business Administration.
                                                  falls within the categorical exemptions                            eLibrary and the Commission’s Web site
                                                  provided in the Commission’s                                       during normal business hours from the                  List of Subjects in 18 CFR Part 35
                                                  regulations, and as a result neither an                            Commission’s Online Support at (202)                      Electric power rates, Electric utilities,
                                                  Environmental Impact Statement nor an                              502–6652 (toll free at 1–866–208–3676)                 Non-discriminatory open access
                                                  Environmental Assessment is required.                              or email at ferconlinesupport@ferc.gov,                transmission tariffs.
                                                                                                                     or the Public Reference Room at (202)
                                                  VIII. Document Availability                                                                                                 By the Commission.
                                                                                                                     502–8371, TTY (202) 502–8659. Email
                                                    87. In addition to publishing the full                           the Public Reference Room at                             Issued: June 16, 2016.
                                                  text of this document in the Federal                               public.referenceroom@ferc.gov.                         Kimberly D. Bose,
                                                  Register, the Commission provides all                                                                                     Secretary.
                                                  interested persons an opportunity to                               IX. Effective Date and Congressional
                                                  view and/or print the contents of this                             Notification                                             The following appendix will not
                                                  document via the Internet through the                                90. The Final Rule is effective                      appear in the Code of Federal
                                                  Commission’s Home Page (http://                                    September 21, 2016. However, as noted                  Regulations.

                                                                                                                       APPENDIX A—LIST OF COMMENTERS
                                                                                                                                       [RM16–1–000]

                                                  AWEA and LSA ..............................              American Wind Energy Association and Large-scale Solar Association.
                                                  CAISO .............................................      California Independent System Operator Corporation.
                                                  EEI ..................................................   Edison Electric Institute.
                                                  EPSA ...............................................     Electric Power Supply Association.
                                                  Idaho Power ....................................         Idaho Power Company.
                                                  Indicated NYTOs .............................            Consolidated Edison Company of New York, Inc.; Niagara Mohawk Power Corporation d/b/a National Grid;
                                                                                                              and Orange and Rockland Utilities, Inc.
                                                  ISO/RTO Council ............................             ISO/RTO Council.
                                                  ISO-NE ............................................      ISO New England Inc.
                                                  ITC ..................................................   International Transmission Company d/b/a ITC Transmission; Michigan Electric Transmission Company,
                                                                                                              LLC; ITC Midwest LLC; and ITC Great Plains, LLC.
                                                  Joint NYTOs ....................................         New York Power Authority; New York State Electric and Gas; Rochester Gas and Electric; and Central
                                                                                                              Hudson Gas and Electric.
                                                  Lincoln .............................................    City of Lincoln, Nebraska d/b/a Lincoln Electric System.
                                                  MATL ...............................................     MATL LLP.
                                                  Midwest Energy ..............................            Midwest Energy, Inc.
                                                  MISO ...............................................     Midcontinent Independent System Operator, Inc.
                                                  NaturEner ........................................       NaturEner USA, LLC and its subsidiaries.
                                                  NEPOOL .........................................         New England Power Pool Participants Committee.
                                                  NERC ..............................................      North American Electric Reliability Corporation.
                                                  NextEra ...........................................      NextEra Energy, Inc.
                                                  PG&E ..............................................      Pacific Gas and Electric Company.
                                                  Public Interest Organizations ..........                 Center for Rural Affairs; Clean Wisconsin; Great Plains Institute; Natural Resources Defense Council; Si-
                                                                                                              erra Club; Sustainable FERC Project; Western Grid Group; Wind on the Wires.
                                                  SCE .................................................    Southern California Edison Company.
                                                  SDG&E ............................................       San Diego Gas and Electric Company.
                                                  Six Cities .........................................     Cities of Anaheim, Azusa, Banning, Colton, Pasadena, and Riverside, California.
                                                  Union of Concerned Scientists .......                    Union of Concerned Scientists.
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                                                  [FR Doc. 2016–14764 Filed 6–22–16; 8:45 am]
                                                  BILLING CODE 6717–01–P




                                                    191 18   CFR 380.4(a)(15) (2015).



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Document Created: 2018-02-08 07:41:28
Document Modified: 2018-02-08 07:41:28
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 September 21, 2016.
ContactBrian Bak (Technical Information), Office of Energy Policy and Innovation, Federal Energy Regulatory Commission, 888 First Street NE., Washington, DC 20426, (202) 502-6574, [email protected]
FR Citation81 FR 40793 
CFR AssociatedElectric Power Rates; Electric Utilities and Non-Discriminatory Open Access Transmission Tariffs

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