81_FR_5974 81 FR 5951 - Offer Caps in Markets Operated by Regional Transmission Organizations and Independent System Operators

81 FR 5951 - Offer Caps in Markets Operated by Regional Transmission Organizations and Independent System Operators

DEPARTMENT OF ENERGY
Federal Energy Regulatory Commission

Federal Register Volume 81, Issue 23 (February 4, 2016)

Page Range5951-5965
FR Document2016-01813

The Federal Energy Regulatory Commission is proposing to revise its regulations to require that each regional transmission organization (RTO) and independent system operator (ISO) cap each resource's incremental energy offer to the higher of $1,000/MWh or that resource's verified cost-based incremental energy offer.

Federal Register, Volume 81 Issue 23 (Thursday, February 4, 2016)
[Federal Register Volume 81, Number 23 (Thursday, February 4, 2016)]
[Proposed Rules]
[Pages 5951-5965]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-01813]


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DEPARTMENT OF ENERGY

Federal Energy Regulatory Commission

18 CFR Part 35

[Docket No. RM16-5-000]


Offer Caps in Markets Operated by Regional Transmission 
Organizations and Independent System Operators

AGENCY: Federal Energy Regulatory Commission, Energy.

ACTION: Notice of proposed rulemaking.

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SUMMARY: The Federal Energy Regulatory Commission is proposing to 
revise its regulations to require that each regional transmission 
organization (RTO) and independent system operator (ISO) cap each 
resource's incremental energy offer to the higher of $1,000/MWh or that 
resource's verified cost-based incremental energy offer.

DATES:  Comments are due April 4, 2016.

ADDRESSES: Comments, identified by docket number, may be filed in the 
following ways:
     Electronic Filing through http://www.ferc.gov. Documents 
created electronically using word processing software should be filed 
in native applications or print-to-PDF format and not in a scanned 
format.
     Mail/Hand Delivery: Those unable to file electronically 
may mail or hand-deliver comments to: Federal Energy Regulatory 
Commission, Secretary of the Commission, 888 First Street NE., 
Washington, DC 20426.
    Instructions: For detailed instructions on submitting comments and 
additional information on the rulemaking process, see the Comment 
Procedures Section of this document.

FOR FURTHER INFORMATION CONTACT: 
Emma Nicholson (Technical Information), Office of Energy Policy and 
Innovation, Federal Energy Regulatory Commission, 888 First Street NE., 
Washington, DC 20426, (202) 502-8846, [email protected].
Pamela Quinlan (Technical Information), Office of Energy Market 
Regulation, Federal Energy Regulatory Commission, 888 First Street NE., 
Washington, DC 20426, (202) 502-6179, [email protected].
Anne Marie Hirschberger (Legal Information), Office of the General 
Counsel, Federal Energy Regulatory Commission, 888 First Street NE., 
Washington, DC 20426, (202) 502-8387, [email protected].

SUPPLEMENTARY INFORMATION: 

Table of Contents


 
                                                         Paragraph Nos.
 
I. Background........................................                 6.
    A. Offer Caps and Market Power Mitigation in RTOs/                8.
     ISOs............................................
    B. Offer Cap Waivers and Tariff Changes..........                12.
    C. Comments About Offer Caps.....................                18.
        1. Need To Modify the Offer Cap..............                19.
        2. Role of the Offer Cap in Market Power                     23.
         Mitigation..................................
        3. Alternative Offer Cap Designs.............                27.
        4. RTO/ISO Seams and the Offer Cap...........                38.
        5. Other Considerations......................                40.
II. Need for Reform and Commission Proposal..........                42.
    A. Need for Reform...............................                43.

[[Page 5952]]

 
    B. Alternative Offer Cap Proposals Discussed in                  49.
     Comments........................................
    C. Commission Proposal...........................                52.
        1. Offer Cap Structure.......................                53.
        2. Cost-Based Incremental Energy Offer                       56.
         Verification................................
        3. Resource Neutrality.......................                69.
        4. Seams Issues..............................                70.
        5. Other Considerations......................                72.
        6. Comments Sought on This Proposal..........                73.
III. Compliance......................................                74.
IV. Information Collection Statement.................                76.
V. Regulatory Flexibility Act Certification..........                80.
VI. Environmental Analysis...........................                82.
VII. Comment Procedures..............................                83.
VIII. Document Availability..........................                87.
Appendix A:..........................................
List of Short Names/Acronyms of Commenters...........
 


    1. In this Notice of Proposed Rulemaking (NOPR), the Federal Energy 
Regulatory Commission (Commission) is proposing to revise its 
regulations to require that each regional transmission organization 
(RTO) and independent system operator (ISO) cap each resource's 
incremental energy offer \1\ to the higher of $1,000/MWh or that 
resource's verified cost-based incremental energy offer. Under this 
proposal, verified cost-based incremental energy offers above $1,000/
MWh would be used for purposes of calculating Locational Marginal 
Prices (LMPs).
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    \1\ The incremental energy offer is the portion of a resource's 
energy supply offer that varies with the output of the generator.
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    2. The Commission preliminarily finds that the offer cap \2\ on 
incremental energy offers (offer cap) may no longer be just and 
reasonable for several reasons. The offer cap may unjustly prevent a 
resource from recouping its costs by not permitting that resource to 
include all of its short-run marginal costs within its energy supply 
offer (supply offer). The offer cap may result in unjust and 
unreasonable rates because it can suppress LMPs to a level below the 
marginal cost of production. Further, because of the offer cap, a 
resource with short-run marginal costs above that cap may choose not to 
offer its supply to the RTO/ISO, even though the market may be willing 
to purchase that supply.\3\ Finally, when several resources have short-
run marginal costs above the offer cap but are unable to reflect those 
costs within their incremental energy offers due to the offer cap, the 
RTO/ISO is not able to dispatch the most efficient set of resources 
because it will not have access to the underlying costs associated with 
the multiple incremental energy offers above the offer cap.
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    \2\ The offer cap for purposes of this NOPR refers to the $/MWh 
limit on day-ahead and real-time incremental energy offers, and not 
any limits or penalty rates that may apply in the capacity or 
ancillary services markets.
    \3\ Resources that are subject to must-offer requirements, such 
as resources with a capacity supply obligation, are required to 
submit a supply offer to the energy market. Many resources are 
subject to must-offer requirements in either the day-ahead or real-
time markets. The proposed reform would ensure that such a resource 
has an economic incentive that matches its tariff obligation. It 
would also provide an economic incentive to those resources that are 
not subject to a must-offer requirement.
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    3. To remedy these potential problems associated with the offer 
cap, the Commission proposes to require that each RTO/ISO cap each 
resource's incremental energy offer to the higher of $1,000/MWh or an 
incremental energy offer based on that resource's short-run marginal 
cost (cost-based incremental energy offer). Under the proposal, the 
costs underlying each cost-based incremental energy offer above $1,000/
MWh must be verified before that offer could be used for purposes of 
calculating LMPs. Under this proposal, the Market Monitoring Unit or 
the RTO/ISO, as prescribed in the RTO/ISO tariff and consistent with 
Order No. 719,\4\ must verify the costs within a cost-based incremental 
energy offer.\5\ The proposed offer cap would be resource neutral, that 
is, any resource, regardless of fuel-type, would be eligible to submit 
a cost-based incremental energy offer above $1,000/MWh.
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    \4\ Wholesale Competition in Regions with Organized Electric 
Markets, Order No. 719, FERC Stats. & Regs. ] 31,281, at PP 370-375 
(2008), order on reh'g, Order No. 719-A, FERC Stats. & Regs. ] 
31,292 (2009), order on reh'g, Order No. 719-B, 129 FERC ] 61,252 
(2009). See also 18 CFR 35.28(g)(3)(iii)(B) (2015).
    \5\ Pursuant to 18 CFR 35.28(g)(3)(iii)(B), either the internal 
or external market monitor can ``provide the inputs required to 
conduct prospective mitigation . . . including, but not limited to 
reference levels, identification of system constraints, and cost 
calculations.'' 18 CFR 35.28(g)(3)(iii)(B) (2015). However, 
prospective mitigation may only be carried out by an internal market 
monitor if the RTO/ISO has a hybrid Market Monitoring Unit 
structure. 18 CFR 35.28(g)(3)(iii)(D) (2015).
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    4. The Commission proposes to make a generic change to the offer 
cap applicable to all RTOs/ISOs through a rulemaking to avoid 
exacerbating seams issues. Seams issues could arise if one RTO/ISO has 
an offer cap that materially differed from a neighboring RTO/ISO's 
offer cap. Different offer caps in neighboring RTOs/ISOs could result 
in flows that depend on the level of the two offer caps as opposed to 
economics or reliability needs.
    5. The Commission seeks comment on these proposed reforms sixty 
(60) days after publication of this NOPR in the Federal Register.

I. Background

    6. On June 19, 2014, the Commission initiated the price formation 
proceeding.\6\ In initiating that proceeding, the Commission stated 
that there may be opportunities for the RTOs/ISOs to improve the energy 
and ancillary service price formation process. Staff conducted outreach 
and convened technical workshops on the following four general issues: 
(1) Use of uplift payments; (2) offer price mitigation and offer caps; 
(3) scarcity and shortage pricing; and (4) operator actions that affect 
prices.\7\ During the fall of 2014, Commission staff convened three 
technical workshops and Commission staff issued reports on these 
topics. At the October 28, 2014 technical workshop, Commission staff 
explored, among other topics, the $1,000/MWh offer cap, including the 
purpose of the offer cap and the role it plays in market power 
mitigation.\8\

[[Page 5953]]

While this action proposes to address mitigation relevant to energy 
offers above $1,000/MWh in RTO/ISO markets, the Commission has also 
instructed staff to undertake a more comprehensive review of the market 
power mitigation rules in the RTO/ISO markets.
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    \6\ Price Formation in Energy and Ancillary Services Markets 
Operated by Regional Transmission Organizations and Independent 
System Operators, Notice, Docket No. AD14-14-000 (June 19, 2014) 
(Price Formation Notice).
    \7\ Id. at 1, 3-4.
    \8\ See Supplemental Notice of Workshop on Price Formation: 
Scarcity and Shortage Pricing, Offer Mitigation, and Offer Caps in 
RTO and ISO Markets, Docket No. AD14-14-000 (Oct. 10, 2014).
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    7. Two of the Commission's goals in the price formation proceeding 
are relevant here. First, clearing prices in the energy and ancillary 
services markets should ideally ``reflect the true marginal cost of 
production, taking into account all physical system constraints.'' \9\ 
Second, LMPs should ``ensure that all suppliers have an opportunity to 
recover their costs.'' \10\ Establishing LMPs that accurately reflect 
the marginal cost of production is a central goal of the price 
formation effort. This goal is important because LMPs are an effective 
way to communicate information to market participants about the cost of 
providing the next unit of energy. In the short-run, accurate price 
signals from LMPs are particularly important during high price periods 
because they provide a signal to customers to reduce consumption and a 
signal to suppliers to increase production or to offer new supplies to 
the market. In the long-run, accurate price signals from LMPs are 
important because they inform investment decisions. It is also 
important that RTOs/ISOs give resources the opportunity to recover 
their costs because failing to do so may discourage resources from 
participating in RTO/ISO energy markets. Adequate investment in 
resources and participation of resources in RTO/ISO energy markets are 
necessary to ensure economic and reliable energy for consumers.
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    \9\ Price Formation Notice at 2.
    \10\ See Price Formation in Energy and Ancillary Servs. Mkts. 
Operated by Reg'l Transmission Orgs. & Indep. Sys. Operators, 153 
FERC ] 61,221, at P 2 (2015); see also Price Formation Notice at 2.
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A. Offer Caps and Market Power Mitigation in RTOs/ISOs

    8. Supply offers in day-ahead and real-time energy markets consist 
of both physical components and financial components. The physical 
components of a supply offer describe the resource's physical operating 
parameters, such as its minimum and maximum operating limits in a given 
day-ahead or real-time interval, and are denominated in MW, MWh, time, 
or some combination thereof. The financial components of a supply offer 
are denominated in dollars (e.g., $/start and $/MWh) and represent the 
costs underlying a resource's offer to supply electricity in a given 
interval. The key financial components of a supply offer are the start-
up cost, no-load cost, and incremental energy offers. A resource 
includes its costs that vary with output in its incremental energy 
offer, which typically consists of a supply curve made up of multiple 
(price, quantity) pairs that indicate the price, expressed in $/MWh, 
that a resource is willing to accept to produce a given quantity of 
energy.\11\
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    \11\ RTOs/ISOs typically restrict incremental energy supply 
curves to ten price and quantity pairs (i.e., ($/MWh, MW)).
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    9. The LMP reflects the marginal cost of serving load at a specific 
location, given the set of generators that are dispatched and the 
limitations of the transmission system.\12\ The LMP is calculated by an 
RTO/ISO as the sum of three components: An energy charge, a congestion 
charge, and a charge for transmission losses. The energy and congestion 
components of the LMP are established based on several factors, 
including the marginal resource's incremental energy offer, 
specifically the $/MWh price associated with the MW output of the 
marginal resource.
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    \12\ See Federal Energy Regulatory Commission, Division of 
Energy Market Oversight Office of Enforcement, Energy Primer, at 60 
(Nov. 2015), http://www.ferc.gov/market-oversight/guide/energy-primer.pdf.
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    10. All six Commission-jurisdictional RTOs/ISOs have imposed a 
$1,000/MWh cap on incremental energy offers.\13\ The offer cap remains 
at $1,000/MWh in all RTOs/ISOs except PJM because, as discussed further 
below, the Commission recently approved PJM's proposal to raise the 
offer cap on cost-based offers in PJM to $2,000/MWh.\14\ In each RTO/
ISO, a resource's incremental energy offer is subject not only to the 
offer cap, but also to market power mitigation provisions.\15\ The 
Market Monitoring Unit for each RTO/ISO currently oversees, and in some 
cases implements, the market power mitigation provisions. In general, 
when a resource's incremental energy offer is mitigated, that offer is 
replaced with an estimate of a competitive offer or an estimate of that 
resource's short-run marginal cost.\16\ In most instances, once 
mitigated, a resource's offer is eligible to set LMP.\17\ Mechanically, 
the RTOs/ISOs have adopted mitigation rules that either develop a proxy 
for a competitive offer or explicitly estimate short-run marginal cost. 
Because we expect that a competitive offer will closely track a 
resource's short-run marginal cost, both methods for mitigating offers 
should arrive at roughly the same result. The Market Monitoring Units 
in CAISO, MISO, ISO-NE., and NYISO typically mitigate the resource's 
incremental energy offer to the proxy of a competitive offer that is 
calculated by the Market Monitoring Unit.\18\ However, these RTOs/ISOs 
also have provisions whereby the Market Monitoring Unit, often after 
consultation with the resource itself, can estimate the resource's 
short-run marginal cost, which will form the basis of that resource's 
mitigated incremental energy offer. In PJM and SPP, resource owners 
develop cost-based incremental energy offers consistent with the 
requirements of these RTOs' tariffs and business practice manuals and 
those cost-based offers are subject to review by the Market Monitoring 
Unit.\19\
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    \13\ See, e.g., California Independent System Operator 
Corporation (CAISO), eTariff, 39.6.1.1 (11.0.0); ISO New England 
Inc. (ISO-NE), Transmission, Markets and Services Tariff, Market 
Rule 1, III.1.10.1A(d)(ix), III,1.10.IA(c)(iv), III.2.6(b)(i), and 
III.A.15.1(b) (27.0.0); Midcontinent Independent System Operator, 
Inc. (MISO), FERC Electric Tariff, 39.2.5 (35.0.0), 39.2.5A 
(34.0.0), 39.2.5B (34.0.0), 40.2.5 (35.0.0), 40.2.6 (35.0.0) and 
40.2.7 (33.0.0); New York Independent System Operator, Inc. (NYISO), 
NYISO Tariffs, NYISO Markets and Services Tariff, 21.4 and 21.5.1 
(7.0.0); PJM Interconnection, L.L.C. (PJM), Intra-PJM Tariffs, OATT, 
Tariff Operating Agreement, Attachment K, Appendix, 1.10.1A(d) 
(24.0.0); Southwest Power Pool, Inc. (SPP), OATT, Sixth Revised 
Volume No. 1, Attachment AE, Section 4.1.1 (2.0.0).
    \14\ PJM Interconnection L.L.C., 153 FERC ] 61,289, at P 25 
(2015) (PJM 2015/16 Offer Cap Order). The tariff provisions related 
to the offer cap do not have a sunset date.
    \15\ See 18 CFR 35.28(g)(3)(iii)(B)-(D) (2015).
    \16\ The RTOs/ISOs use different terms for a mitigated offer. 
ISO-NE., MISO, and NYISO mitigate supply offers to a ``Reference 
Level.'' See ISO-NE., Transmission Markets and Services Tariff, 
Market Rule 1, III.A.7.2; MISO FERC Electric Tariff, 64.1.4 
(30.0.0); NYISO, NYISO Tariffs, NYISO Markets and Services Tariff, 
23.3.1.4 (11.0.0). CAISO mitigates supply offers to ``Default Energy 
Bids.'' See CAISO, eTariff, 39.7.1 (11.0.0). PJM mitigates supply 
offers to a ``cost-based offer.'' See PJM Operating Agreement, 
Schedule 1, 1.10.1A (24.0.0) and 6.4.1 (7.0.0). SPP mitigates supply 
offers to a ``Mitigated Energy Bid.'' See SPP OATT, Sixth Revised 
Volume No. 1, Attachment AF, 3.2 (7.0.0). For purposes of this NOPR, 
the offers RTOs/ISOs use for purposes of mitigation will be referred 
to as ``cost-based offers.''
    \17\ There are exceptions to this eligibility, for instance, 
when a resource is committed outside of the market clearing process.
    \18\ See supra n.16.
    \19\ PJM resources develop cost-based offers pursuant to PJM 
Manual 15: Cost Development Guidelines. SPP resources develop 
Mitigated Energy Bids pursuant to SPP's Mitigated Offer Guidelines 
in the SPP Market Protocols.
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    11. While the offer cap restricts incremental energy offers, the 
offer cap does not limit LMPs to the level of the offer cap (be it 
$1,000/MWh or $2,000/MWh) because the congestion and loss components of 
the LMP can cause the LMP to exceed the offer cap. Scarcity pricing and 
emergency purchases can

[[Page 5954]]

also cause LMPs to exceed the offer cap even though incremental energy 
offers are limited by the offer cap.

B. Offer Cap Waivers and Tariff Changes

    12. The $1,000/MWh offer cap dates back to 1999 when PJM first 
launched its market.\20\ According to PJM's market monitor, PJM's offer 
cap was then set to a level that stakeholders considered ``beyond the 
possible pale'' of a resource's short-run marginal cost.\21\ PJM states 
that its $1,000/MWh offer cap was never intended to limit incremental 
energy offers below a resource's marginal cost to produce energy.\22\
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    \20\ See Docket Nos. OA97-261-000 and ER97-1082-000 (Apr. 1, 
1997); Pennsylvania-New Jersey-Maryland Interconnection, 81 FERC ] 
61,257 (1997).
    \21\ Scarcity and Shortage Pricing, Offer Mitigation and Offer 
Caps Workshop, Docket No. AD14-14-000, Tr. 209:18-22 (Oct. 28, 
2014).
    \22\ PJM Comments at 2. All comments cited herein were submitted 
in Docket No. AD14-14-000 on or about March 6, 2015.
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    13. Extreme weather during the winter of 2013/14, dubbed the 
``Polar Vortex,'' caused PJM and NYISO to request tariff waivers 
associated with the $1,000/MWh offer cap. During the Polar Vortex, 
various weather-related conditions led to a significant increase in the 
price of natural gas.\23\ Natural gas prices at two key pricing points 
in PJM rose above $120 per million British Thermal Units (MMBtu), which 
could have caused some PJM resources with must-offer requirements to 
operate at a loss because their short-run marginal costs were above the 
$1,000/MWh offer cap.\24\
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    \23\ See, e.g., FERC Staff, Commission and Industry Actions 
Relevant to Winter 2013-14 Weather Events (Oct. 16, 2014), https://www.ferc.gov/media/news-releases/2014/2014-4/10-16-14-A-4-presentation.pdf.
    \24\ PJM Interconnection, L.L.C., 146 FERC ] 61,041, at P 2, 
order on reh'g, 149 FERC ] 61,059 (2014). For example, a natural gas 
resource with a heat rate of 8,350 Btu/kWh could have short-run 
marginal fuel costs above $1,000/MWh if the natural gas price 
exceeds $120/MMBtu.
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    14. In response, on January 23, 2014, PJM filed concurrently two 
tariff waiver requests related to its offer cap. In its first request, 
which the Commission granted for the January 24-February 10, 2014 
period, PJM requested that certain resources with cost-based offers 
above $1,000/MWh receive uplift payments to recoup those costs.\25\ In 
its second request, which the Commission granted for the February 11-
March 31, 2014 period, PJM requested that certain resources be allowed 
to submit cost-based offers in excess of $1,000/MWh and cost-based 
offers were used for purposes of calculating LMPs.\26\
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    \25\ Id. P 1.
    \26\ PJM Interconnection, L.L.C., 146 FERC ] 61,078, at PP 3-4 
(2014).
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    15. Similarly, high natural gas prices in New York prompted NYISO 
to file a waiver request related to its offer cap.\27\ Natural gas 
prices at the Transco Zone 6 NY hub in New York rose above $120/MMBtu 
in January 2014. In response, NYISO requested that resources be 
permitted to recover any unrecovered costs above $1,000/MWh through 
uplift payments. The Commission granted NYISO's requested waiver for 
the January 22-February 28, 2014 period.\28\
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    \27\ N.Y. Indep. Sys. Operator, Inc., 146 FERC ] 61,061, at PP 
2-4 (2014).
    \28\ Id. P 24.
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    16. In the following winter of 2014/15, citing concerns about the 
potential for a repeat of the high natural gas prices experienced 
during the Polar Vortex, PJM and MISO submitted fillings to allow 
recovery of costs above $1,000/MWh during the winter months. Both PJM 
\29\ and MISO \30\ expressed concerns that the $1,000/MWh offer cap 
could prevent a resource from recouping its short-run marginal costs. 
The Commission accepted tariff provisions that temporarily raised PJM's 
offer cap on cost-based offers to $1,800/MWh during the January 16-
March 31, 2015 period.\31\ The Commission granted a waiver that 
permitted resources in MISO to include incremental energy costs in 
excess of $1,000/MWh in the no-load component of their supply offers 
during the December 20, 2014-April 30, 2015 period.\32\ When accepting 
PJM's proposal and granting MISO's waiver request, the Commission 
reasoned that market conditions during the previous 2013/14 winter 
demonstrated that the $1,000/MWh offer cap could prevent resources from 
submitting incremental energy offers that reflect their marginal costs 
and could therefore force resources to offer to sell electricity below 
cost.\33\ Tariff provisions related to the offer cap in both MISO and 
PJM reverted back to their original form in spring 2015.
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    \29\ PJM Interconnection L.L.C., 150 FERC ] 61,020, at P 5 
(2015) (PJM 2014/15 Offer Cap Order).
    \30\ Midcontinent Indep. Sys. Operator, Inc., 150 FERC ] 61,083, 
at P 3 (2015) (MISO 2014/15 Offer Cap Order).
    \31\ PJM 2014/15 Offer Cap Order, 150 FERC ] 61,020.
    \32\ MISO 2014/15 Offer Cap Order, 150 FERC ] 61,083.
    \33\ See PJM 2014/15 Offer Cap Order, 150 FERC ] 61,020 at P 34; 
MISO 2014/15 Offer Cap Order, 150 FERC ] 61,083 at P 17.
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    17. For the winter of 2015/16, PJM \34\ and MISO \35\ again filed 
requests to modify their respective offer caps. The Commission accepted 
tariff revisions in PJM that would raise the offer cap on cost-based 
offers to $2,000/MWh for purposes of calculating LMPs going 
forward.\36\ In accepting the changes, the Commission reasoned that 
PJM's proposal would send transparent market signals, promote efficient 
resource selection, and address the risks caused by high natural gas 
prices while protecting consumers by requiring cost verification of 
incremental energy offers above $1,000/MWh.\37\ The Commission granted 
MISO's request to waive provisions related to the offer cap for the 
January 1, 2016-April 30, 2016 period. The MISO waiver for the winter 
of 2015/16 was virtually identical to the waiver for the winter of 
2014/15 and allowed MISO resources to include incremental energy costs 
in excess of $1,000/MWh in the no-load component of their offers.\38\
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    \34\ PJM, Proposed Tariff Revisions, Docket No. ER16-76-000 
(filed Oct. 14, 2015).
    \35\ MISO, Request for Waiver, Docket No. ER16-248-000 (filed 
Nov. 2, 2015).
    \36\ PJM 2015/16 Offer Cap Order, 153 FERC ] 61,289 at P 25. The 
tariff provisions related to the offer cap do not have a sunset 
date.
    \37\ Id. PP 25-26. Resources can submit cost-based offers above 
$2,000/MWh and PJM will use such offers for merit order dispatch, 
but incremental energy offers used for purposes of calculating LMP 
are capped at $2,000/MWh.
    \38\ Midcontinent Indep. Sys. Operator, Inc., 154 FERC ] 61,006 
(2015) (MISO 2015/16 Offer Cap Order).
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C. Comments About Offer Caps

    18. In its January 2015 notice inviting post-technical workshop 
comments in the price formation proceeding, the Commission asked 
specific questions about the $1,000/MWh offer cap and asked 
stakeholders to comment on various alternative offer cap designs.\39\ 
Comments about the $1,000/MWh offer cap focus on the need to modify the 
offer cap, the role that the offer cap plays in market power 
mitigation, alternative offer cap designs, potential seams issues, and 
other considerations.
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    \39\ Price Formation in Energy and Ancillary Services Markets 
Operated by Regional Transmission Organizations and Independent 
System Operators, Notice Inviting Post-Technical Workshop Comments, 
Docket No. AD14-14-000, at 2-3 (Jan. 16, 2015). A list of commenters 
and the abbreviated names the Commission will use for them in this 
document appears in Appendix A.
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1. Need To Modify the Offer Cap
    19. Commenters differ about the need to raise or remove the $1,000/
MWh offer cap. Several commenters argue that the $1,000/MWh offer cap 
should be raised or removed entirely, given recent occurrences of high 
natural gas prices.

[[Page 5955]]

Some commenters cite the recent offer cap waiver orders as evidence 
that the current offer cap is not just and reasonable.\40\ Several 
commenters reference the Polar Vortex in the winter of 2013/14, when 
resources experienced marginal production costs in excess of $1,000/
MWh, as evidence that the current offer cap is inappropriate.\41\ For 
example, OMS states that it is appropriate to consider an upward 
revision or removal of the offer cap to ensure supply adequacy during 
extreme events such as those that occurred during the winter of 2013/
14.\42\
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    \40\ ANGA Comments at 2; Brookfield Comments at 7; EPSA Comments 
at 24; Entergy Nuclear Power Marketing Comments at 11-12; Exelon 
Comments at 10-11; PJM Comments at 2-3; PJM Power Providers Comments 
at 2-4; SPP Comments at 1; Western Power Trading Forum Comments at 
5-6.
    \41\ EPSA Comments at 21-24; Exelon Comments at 10-12; OMS 
Comments at 2; PJM Comments at 2-3; PJM Power Providers Comments at 
2.
    \42\ OMS Comments at 2.
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    20. Several commenters also assert that the offer cap distorts 
price signals and creates market inefficiencies.\43\ Commenters state 
that the offer cap artificially suppresses clearing prices.\44\ Some 
commenters believe that the offer cap restricts market participants 
from receiving appropriate compensation for costs incurred 
legitimately.\45\
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    \43\ PJM Utilities Coalition Comments at 3-4; Western Power 
Trading Forum Comments at 5.
    \44\ Direct Energy Comments at 2; EPSA Comments at 21.
    \45\ ANGA Comments at 2-3; Xcel Comments at 2.
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    21. Several commenters stress that the offer cap should be high 
enough to ensure that resources can reflect their actual costs in 
supply offers.\46\ EPSA maintains that the offer cap was never intended 
to suppress marginal cost bidding.\47\ MISO states that the offer cap 
should be modified to ensure that all resources are able to recover at 
least the costs they incur to produce energy.\48\ MISO and PJM contend 
that an offer cap that prevents resource cost recovery can increase the 
likelihood that resources will be unavailable to system operators.\49\ 
SPP and Western Power Trading Forum state that raising the offer cap 
might reduce out-of-market operator actions and uplift.\50\
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    \46\ ANGA Comments at 2; Brookfield Comments at 7; Entergy 
Nuclear Power Marketing Comments at 11-12; ISO-NE Comments at 5; IRC 
Comments at 2-3; MISO Comments at 4; PJM Comments at 2; PJM Power 
Providers Group Comments at 2-4; Potomac Economics Comments at 3; 
Powerex Comments at 29-30; PSEG Companies Comments at 5-6; Western 
Power Trading Forum Comments at 5-6.
    \47\ EPSA Comments at 21-22.
    \48\ MISO Comments at 4.
    \49\ Id.; PJM Comments at 2.
    \50\ SPP Comments at 1; Western Power Trading Forum Comments at 
5-6.
---------------------------------------------------------------------------

    22. Some commenters oppose modifying the $1,000/MWh offer cap.\51\ 
CAISO, ISO-NE, and NYISO assert that, because resource marginal costs 
are well below $1,000/MWh, there is no evidence that the $1,000/MWh 
offer cap should be raised in their respective markets.\52\ CAISO 
opposes any effort to increase the offer cap until sufficient benefits 
are identified.\53\ NCPA, PG&E, and SCE state that the current offer 
cap ensures just and reasonable rates and mitigates market power in 
CAISO.\54\ NCPA and SCE state that the offer cap is sufficient in CAISO 
because generators there have never experienced costs above $1,000/
MWh.\55\ SCE adds that the marginal cost of the least efficient CAISO 
resource at the highest natural gas price seen in the region is only 
$390/MWh.\56\ APPA and NRECA assert that there is insufficient 
justification to remove offer caps nationwide.\57\
---------------------------------------------------------------------------

    \51\ APPA and NRECA Comments at 30; CAISO Comments at 3; ELCON 
Comments at 6.
    \52\ CAISO Comments at 3; ISO-NE Comments at 3 & n.2; NYISO 
Comments at 4.
    \53\ CAISO Comments at 3.
    \54\ NCPA Comments at 2; PG&E Comments at 3; SCE Comments at 3; 
see also California State Water Project Comments at 2; New York 
Transmission Owners Comments at 2.
    \55\ NCPA Comments at 2-3; SCE Comments at 2.
    \56\ SCE Comments at 2. According to SCE, the $390/MWh figure 
assumes a heat rate of 17,000 Btu/kWh, slightly higher than the 
least efficient unit in CAISO, and a natural gas price of $23/MMBtu.
    \57\ APPA and NRECA Comments at 32.
---------------------------------------------------------------------------

2. Role of the Offer Cap in Market Power Mitigation
    23. At the October 28, 2014 price formation technical workshop, 
several market monitors discussed the backstop role that the $1,000/MWh 
offer cap plays in market power mitigation. NYISO's internal market 
monitor stated that the offer cap provided a ``backstop'' assurance to 
protect consumers in the event that NYISO's market mitigation measures 
fail.\58\ Similarly, ISO-NE's internal market monitor stated that the 
offer cap is a device that limits the potential damage to consumers or 
the market in the event that market power mitigation measures are 
unsuccessful.\59\ CAISO's internal market monitor stated that the offer 
cap primarily functions as a ``damage control cap'' but also noted that 
the offer cap affects the penalty prices of constraints in CAISO's 
market software.\60\ Potomac Economics, which serves as an external 
market monitor for MISO, ISO-NE., and NYISO, stated that the offer cap 
is too high to address general market power concerns, but explained 
that the offer cap addresses gaming strategies that market participants 
may engage in to collect undue uplift payments.\61\
---------------------------------------------------------------------------

    \58\ Scarcity and Shortage Pricing, Offer Mitigation and Offer 
Caps Workshop, Docket No. AD14-14-000, Tr. 205:6-15 (Oct. 28, 2014).
    \59\ Id. at 206:24-207:7.
    \60\ Id. at 210:14-23.
    \61\ Id. at 211:25-212:14.
---------------------------------------------------------------------------

    24. In response to the Commission's request for comments on price 
formation topics, several commenters suggest that the offer cap's 
purpose has been supplanted by improvements in market monitoring and 
mitigation and the Commission's enforcement activity.\62\ Wisconsin 
Electric asserts that the offer cap is irrelevant because RTO/ISO 
market monitors have effective mitigation measures in place and can 
refer suspected manipulation to the Commission's Office of 
Enforcement.\63\ Direct Energy states that an offer cap is not 
necessary when resources cannot exercise market power because 
competition will discipline offers.\64\ GDF SUEZ argues that offer caps 
are the least efficient method of protection against uncompetitive 
offers because offer caps are indifferent to the specifics of a supply 
offer and do not reflect potentially changed circumstances since the 
offer cap level was established over ten years ago.\65\
---------------------------------------------------------------------------

    \62\ ANGA Comments at 2-3; Entergy Nuclear Power Marketing 
Comments at 11; EPSA Comments at 22-23; Exelon Comments at 11-12; 
Wisconsin Electric Comments at 2-3; Xcel Comments at 2.
    \63\ Wisconsin Electric Comments at 2.
    \64\ Direct Energy Comments at 2.
    \65\ GDF SUEZ Comments at 3.
---------------------------------------------------------------------------

    25. Several other commenters assert that the offer cap is a 
backstop measure to protect consumers against the exercise of market 
power during tight system conditions.\66\ Other commenters emphasize 
the importance of strengthening market monitoring and mitigation 
provisions if offer caps are eliminated or increased.\67\ ISO-NE 
asserts that while the offer cap has become less important with market 
power mitigation, the offer cap still serves as a ``fail-safe'' 
mechanism to protect consumers in the unlikely event that the market is 
not competitive and market power mitigation fails to assure competitive 
supply offers.\68\ OMS warns that any effort to raise or remove the 
offer cap must be based on the Commission's confidence not only in the 
ability of RTO/ISO market power mitigation provisions to prevent

[[Page 5956]]

generator market power abuses, but also in whether the prices of input 
costs were developed in a competitive market.\69\
---------------------------------------------------------------------------

    \66\ ISO-NE Comments at 4; MISO Comments at 5-6; New York 
Transmission Owners Comments at 2-3; NYISO Comments at 3; TAPS 
Comments at 10-11; California State Water Project Comments at 2-3.
    \67\ Direct Energy Comments at 2; MISO Comments at 9; NCPA 
Comments at 3; New York Transmission Owners Comments at 4; Wisconsin 
Electric Comments at 2-3.
    \68\ ISO-NE Comments at 4.
    \69\ OMS Comments at 2.
---------------------------------------------------------------------------

    26. Potomac Economics maintains that the offer cap is necessary to 
keep resources from exploiting any previously unknown flaws in market 
rules.\70\ Some commenters assert that due to load's inelastic demand 
for electricity, offer caps are necessary to protect consumers from 
excessive prices and to maintain confidence that rate structures are 
fair and nondiscriminatory.\71\ TAPS states that on normal days when 
there are no generators with marginal costs ``anywhere close to'' 
$1,000/MWh, there are still 3,000 to 4,000 MW offered at the offer 
cap.\72\ TAPS suggests that weakening the offer cap is particularly 
dangerous because energy markets cannot be halted, so if widespread 
abuse occurs, after-the-fact resettlements incur massive costs and 
diversion of resources.\73\ APPA and NRECA assert that the offer cap 
should only be increased if RTOs/ISOs can guarantee that all offers are 
cost-based in order to guarantee appropriate prices and prevent the 
need to re-run markets after-the-fact.\74\
---------------------------------------------------------------------------

    \70\ Potomac Economics Comments at 3-4.
    \71\ ELCON Comments at 6; TAPS Comments at 10-11.
    \72\ TAPS Comments at 12-13 (citing Scarcity and Shortage 
Pricing, Offer Mitigation and Offer Caps Workshop, Docket No. AD14-
14-000, Tr. 217:17-21 (Oct. 28, 2014)).
    \73\ TAPS Comments at 11 (citing Written Statement of Patrick T. 
Connors on Behalf of WPPI Energy and the Transmission Access Policy 
Study Group Regarding Impacts of Offer Caps and Market Power 
Mitigation, at 5 (Dec. 3, 2014)).
    \74\ APPA and NRECA Comments at 31-32.
---------------------------------------------------------------------------

3. Alternative Offer Cap Designs
    27. In its January 2015 notice inviting post-technical workshop 
comments in the price formation proceeding, the Commission sought 
comment on potential alternative offer cap designs, including (1) 
maintaining the $1,000/MWh offer cap and compensating resources for 
incremental energy costs above the $1,000/MWh offer cap through uplift; 
(2) adopting a floating offer cap that changes with natural gas prices; 
(3) raising the offer cap to a higher fixed level; and (4) allowing 
resources to submit cost-based offers above $1,000/MWh and allowing 
verified cost-based offers above $1,000/MWh to set LMP.
a. Maintain Current Offer Cap With Uplift
    28. Some commenters assert that infrequent events where production 
costs exceed $1,000/MWh can be addressed effectively through uplift 
payments without raising the offer cap or otherwise including such 
costs in the LMP.\75\ APPA and NRECA state they support generator 
recovery of legitimate and verified costs but assert that such costs 
should not necessarily be included in LMP.\76\ APPA and NRECA add that 
uplift will ensure cost recovery without risking market power abuse and 
what APPA and NRECA say would be the attendant increased unjust and 
unreasonable rates.\77\
---------------------------------------------------------------------------

    \75\ Id. at 29-31; California State Water Project Comments at 2-
3; New York Transmission Owners Comments at 2-3.
    \76\ APPA and NRECA Comments at 31.
    \77\ Id. at 31.
---------------------------------------------------------------------------

    29. APPA and NRECA assert that the market clearing process does not 
allow sufficient time to verify whether incremental energy offers above 
$1,000/MWh are in fact cost-based; thus, these commenters argue, such 
cost verification should occur after-the-fact, with costs in excess of 
the offer cap recovered through uplift.\78\ SCE and PG&E state that 
CAISO has tools to accommodate the rare instances when the $1,000/MWh 
offer cap is insufficient to recover a resource's costs.\79\
---------------------------------------------------------------------------

    \78\ Id. at 31-32.
    \79\ PG&E Comments at 3-4; SCE Comments at 3.
---------------------------------------------------------------------------

b. Floating Offer Cap
    30. Several commenters support a floating offer cap that changes 
with generator input costs, such as the price of natural gas. Calpine 
asserts that offer caps should be flexible and responsive to changes in 
natural gas prices,\80\ and recommends that the Commission encourage 
each RTO/ISO to implement a floating offer cap.\81\ Powerex suggests 
that the offer cap could equal the higher of $1,000/MWh or some 
multiple of a pre-defined regional natural gas index.\82\ SPP states 
that a seasonal fixed offer cap might be appropriate.\83\ Similarly, 
OMS maintains that the offer cap need not be constant throughout the 
year if resource costs vary throughout the year.\84\
---------------------------------------------------------------------------

    \80\ Calpine Comments at 4-6.
    \81\ Id. at 21.
    \82\ Powerex Comments at 30.
    \83\ SPP Comments at 1.
    \84\ OMS Comments at 3.
---------------------------------------------------------------------------

    31. ISO-NE and MISO, however, argue that a floating offer cap would 
be difficult to implement.\85\ ISO-NE opposes basing the offer cap on 
an index that attempts to track fuel prices, arguing that doing so 
would be complex and difficult to implement because intra-day natural 
gas indices are opaque and day-ahead natural gas indices, while 
arguably less opaque, can become ``stale'' during the operating 
day.\86\ MISO argues that although it may consider a floating offer cap 
in the longer term, a transition to such an offer cap would likely 
require substantial system changes.\87\ ISO-NE asserts that if the 
Commission is concerned that a fixed offer cap lacks flexibility, the 
Commission should revisit the offer cap over time as the markets for 
the major fuels used in power generation continue to evolve.\88\
---------------------------------------------------------------------------

    \85\ ISO-NE Comments at 4-6; MISO Comments at 5-7.
    \86\ ISO-NE Comments at 6.
    \87\ MISO Comments at 5-6.
    \88\ ISO-NE Comments at 6-7.
---------------------------------------------------------------------------

c. Higher Fixed Offer Cap
    32. Some commenters support raising the offer cap to a higher 
level. ANGA states that, at a minimum, the offer cap should be 
increased significantly to reduce unnecessary market distortions.\89\ 
Exelon argues that the current $1,000/MWh cap on market-based offers in 
PJM should be eliminated, but maintains that, if the offer cap remains 
in place, it should be raised to account for the highest reasonably 
expected offer, and that cost-based offers should be allowed to exceed 
the market-based offer cap.\90\
---------------------------------------------------------------------------

    \89\ ANGA Comments at 3.
    \90\ Exelon Comments at 12.
---------------------------------------------------------------------------

    33. If the Commission chooses to raise the offer cap, ISO-NE urges 
using a simple numerical value rather than a more complicated 
formula.\91\ ISO-NE is neutral on raising the offer cap but suggests 
that any changes to the offer cap level be made in a straightforward 
manner so that participants know with certainty what the offer cap will 
be when they make advance fuel-supply arrangements.\92\ MISO does not 
oppose raising the offer cap but favors a fixed offer cap to a floating 
offer cap in the short term.\93\ MISO states that a fixed offer cap 
simplifies the process of implementing related market mechanisms such 
as scarcity or shortage pricing, ancillary services, and transmission 
demand curves and notes that MISO's current market software systems 
were designed based upon a fixed offer cap.\94\
---------------------------------------------------------------------------

    \91\ ISO-NE Comments at 6.
    \92\ Id. at 3-4.
    \93\ MISO Comments at 4-5.
    \94\ Id. at 5.
---------------------------------------------------------------------------

    34. TAPS asserts that permanently increasing the offer cap to allow 
incremental energy offers above $1,000/MWh ``day-in and day-out'' would 
sacrifice the benefits of the current offer cap as a ``backstop'' 
protection against market power abuse to address ``extreme 
circumstances'' that rarely, if ever,

[[Page 5957]]

occur.\95\ APPA and NRECA argue that it is not necessary to increase 
the offer cap broadly because APPA and NRECA say there is no evidence 
that the $1,000/MWh offer cap is persistently flawed.\96\ APPA and 
NRECA add that resources' incremental energy offers only exceeded 
$1,000/MWh in PJM on ``just a few days in one month of one year.'' \97\
---------------------------------------------------------------------------

    \95\ TAPS Comments at 13.
    \96\ APPA and NRECA Comments at 30-31.
    \97\ Id. at 30-31.
---------------------------------------------------------------------------

d. Permitting Cost-Based Incremental Energy Offers Above $1,000/MWh
    35. Some commenters argue that cost-based incremental energy offers 
should not be capped.\98\ PJM states that cost-based offers should not 
be subject to offer caps because offer caps impose arbitrary 
limits.\99\ PJM suggests that one approach may be to set a market-based 
offer cap on an annual basis at some percentage above the highest cost-
based incremental energy offer from previous time periods.\100\ PJM 
Power Providers and PSEG Companies assert that cost-based offers should 
not be capped and should be eligible to set the LMP.\101\ APPA and 
NRECA state that if the Commission wishes to revise the offer cap, it 
should limit any increase in the offer cap to periods when production 
costs exceed $1,000/MWh and ensure that any changes to the offer cap 
are accompanied by assurances that protect consumers against market 
power abuse.\102\ Although TAPS does not support increasing the $1,000/
MWh offer cap, TAPS similarly states that if the Commission wants to 
take temporary or seasonal action, the Commission should at the very 
least require that any incremental energy offer above $1,000/MWh be 
verified by the market monitor to be cost-justified.\103\
---------------------------------------------------------------------------

    \98\ Direct Energy Comments at 2; Exelon Comments at 12; PJM 
Comments at 3; PJM Power Providers Comments at 3-4; PSEG Companies 
Comments at 5.
    \99\ PJM Comments at 2-3.
    \100\ Id. at 4.
    \101\ PJM Power Providers Comments at 4; PSEG Companies Comments 
at 6.
    \102\ APPA and NRECA Comments at 30-32.
    \103\ TAPS Comments at 13-14.
---------------------------------------------------------------------------

    36. APPA and NRECA, CAISO and NCPA, however, argue that cost-based 
incremental offers must be verified before the market clears in order 
to avoid potentially disruptive after-the-fact corrections to clearing 
prices, and these commenters raise concerns that it is not feasible to 
do so.\104\ CAISO does not believe there is a firm basis to verify the 
natural gas price included in supply offers because market participants 
might not purchase natural gas before submitting offers and because 
natural gas quotes might not be available. CAISO also states that 
natural gas prices and quotes may be subject to manipulation, thereby 
making fuel cost verification difficult.\105\ CAISO requests that if 
the Commission directs RTOs/ISOs to pay resources uplift for fuel costs 
above the offer cap, then only incremental fuel costs associated with 
the incremental energy offer be reimbursable. In contrast, CAISO states 
that costs such as natural gas pooling, imbalance penalties, or risk 
premiums should be recovered through capacity payments.\106\
---------------------------------------------------------------------------

    \104\ APPA and NRECA Comments at 32; CAISO Comments at 6-7, NCPA 
Comments at 2.
    \105\ CAISO Comments at 4-6.
    \106\ Id. at 6.
---------------------------------------------------------------------------

    37. TAPS contends that advance review and verification of cost-
based incremental offers should be possible for most generators.\107\ 
Direct Energy states that RTOs/ISOs have sufficient time to verify 
natural gas costs in the day-ahead and real-time markets and suggests 
that LMPs can be ``flagged'' and revised after-the-fact should the 
RTOs/ISOs have any concerns.\108\
---------------------------------------------------------------------------

    \107\ TAPS Comments at 14-15.
    \108\ Direct Energy Comments at 3-4.
---------------------------------------------------------------------------

4. RTO/ISO Seams and the Offer Cap
    38. Most commenters state that offer caps should be the same for 
each RTO/ISO, to minimize potential seams issues.\109\ IRC, PJM, and 
PSEG Companies assert that transmission congestion and other market-to-
market coordination will be disrupted if offer caps differ across 
markets.\110\ ISO-NE and NYISO contend that different offer caps in 
neighboring markets could create perverse interchange flows resulting 
from the level of the offer caps instead of based on economic merit or 
reliability needs.\111\ NYISO states that materially different offer 
caps between regions that depend on the same natural gas supply could 
require out-of-market operator actions to avoid reliability issues when 
natural gas prices are high.\112\ MISO maintains that consistent offer 
caps across RTOs/ISOs will also establish consistent shortage pricing 
between neighboring RTOs/ISOs.\113\
---------------------------------------------------------------------------

    \109\ Brookfield Comments at 8; Calpine Comments at 5; EEI 
Comments at 9; EPSA Comments at 21; Exelon Comments at 13-14; IRC 
Comments at 2; ISO-NE Comments at 6-7; MISO Comments at 8; New York 
Transmission Owners Comments at 3-4; NYISO Comments at 4; PJM 
Comments at 4; PJM Power Providers Comments at 5-6; PJM Utilities 
Coalition Comments at 6; PSEG Companies Comments at 6-7; Potomac 
Economics Comments at 5; Western Power Trading Forum Comments at 6; 
Wisconsin Electric Comments at 4.
    \110\ IRC Comments at 2; PJM Comments at 4; PSEG Companies 
Comments at 6-7.
    \111\ ISO-NE Comments at 7; NYISO Comments at 5.
    \112\ NYISO Comments at 4-5.
    \113\ MISO Comments at 8.
---------------------------------------------------------------------------

    39. In contrast, APPA and NRECA and NCPA state that offer cap 
levels should be set according to the needs of each individual RTO/
ISO.\114\ APPA and NRECA assert that the Commission should only 
consider raising the offer cap on a region-by-region basis where the 
evidence demonstrates a need for a higher offer cap.\115\ Direct Energy 
and PJM Utilities Coalition, respectively, state that different offer 
caps may be appropriate if the RTOs/ISOs use the same methodology to 
determine the offer caps or where the different offer cap levels 
represent true differences in cost.\116\
---------------------------------------------------------------------------

    \114\ APPA and NRECA Comments at 29-30; NCPA Comments at 3.
    \115\ APPA and NRECA Comments at 32.
    \116\ Direct Energy Comments at 4; PJM Utilities Coalition 
Comments at 6.
---------------------------------------------------------------------------

5. Other Considerations
    40. CAISO and MISO note that the offer cap level impacts other 
market parameters that affect LMPs, such as penalty prices associated 
with violating thermal or operating constraints that are contained in 
the RTO/ISO software used to calculate LMPs. SCE explains that when 
CAISO relaxes a transmission constraint, it uses the offer cap to set 
the congestion price.\117\ CAISO states it would have to increase 
constraint penalty prices, currently set to levels above the offer cap, 
to ensure that the market operators would dispatch economic offers 
prior to relaxing transmission constraints.\118\ MISO notes that some 
market parameters may be intrinsically tied to the maximum LMP in the 
energy market, including transmission constraint demand curves, 
emergency or scarcity pricing regimes, and some pricing of ancillary 
services.\119\
---------------------------------------------------------------------------

    \117\ SCE Comments at 2.
    \118\ CAISO Comments at 5.
    \119\ MISO Comments at 5.
---------------------------------------------------------------------------

    41. IRC and New York Transmission Owners state that changing the 
offer cap could affect natural gas markets.\120\ New York Transmission 
Owners argue that allowing higher offers to set the LMP might increase 
the price generators will pay for spot natural gas beyond competitive 
levels since there is no mitigation procedure to test whether resources 
paid too much for natural gas.\121\ IRC states that the Commission 
should focus on ensuring transparency and flexibility in natural gas 
markets to

[[Page 5958]]

assist RTOs/ISOs with gas price verification and to ameliorate natural 
gas price spikes.\122\
---------------------------------------------------------------------------

    \120\ IRC Comments at 3; New York Transmission Owners Comments 
at 5.
    \121\ New York Transmission Owners Comments at 5.
    \122\ IRC Comments at 3.
---------------------------------------------------------------------------

II. Need for Reform and Commission Proposal

    42. In the following section, the Commission first explains the 
need to reform the current offer caps. The Commission next summarizes 
the alternative proposals that the Commission considered but declined 
to adopt. Finally, the Commission describes its proposal and the three 
requirements that underlie it.

A. Need for Reform

    43. As stated above, five of the six Commission-jurisdictional 
RTOs/ISOs currently have a $1,000/MWh offer cap.\123\ As noted 
previously, PJM currently has a $2,000/MWh offer cap on cost-based 
incremental energy offers used for purposes of calculating LMPs.\124\ 
When the Commission first accepted these offer caps, the Commission did 
so, in many instances, as temporary measures until larger market 
reforms were implemented.\125\ The offer caps have persisted, and are 
now viewed as a component of the market power mitigation measures 
adopted by RTOs/ISOs.\126\ The Commission has reviewed the offer caps 
and preliminarily finds that the offer caps currently in effect in all 
RTOs/ISOs are unjust and unreasonable for several reasons.
---------------------------------------------------------------------------

    \123\ See supra P 10.
    \124\ See supra P 17.
    \125\ See, e.g., Midwest Indep. Transmission Sys. Operator, 
Inc., 108 FERC ] 61,163, at PP 380-381, order on reh'g, 109 FERC ] 
61,157 (2004), order on clarification, 111 FERC ] 61,367 (2005); 
N.Y. Indep. Sys. Operator, Inc., 97 FERC ] 61,095, at 61,496-97 
(2001); ISO New England, Inc., 97 FERC ] 61,090, at 61,471.
    \126\ See supra PP 23-26.
---------------------------------------------------------------------------

    44. First, the offer cap can prevent a resource from recouping its 
short-run marginal costs. With the current $1,000/MWh offer cap, a 
resource whose short-run marginal cost exceeds $1,000/MWh may operate 
at a loss. For example, in January 2014, resources in PJM faced high 
natural gas prices that caused their short-run marginal costs to exceed 
the $1,000/MWh offer cap in place at the time.\127\ Similarly, MISO 
states that high natural gas prices in January and March 2014 caused 
some MISO resources to experience costs in excess of the $1,000/MWh 
offer cap.\128\
---------------------------------------------------------------------------

    \127\ PJM 2014/15 Offer Cap Order, 150 FERC ] 61,020 at P 2.
    \128\ MISO 2014/15 Offer Cap Order, 150 FERC ] 61,083 at P 2.
---------------------------------------------------------------------------

    45. Second, the offer cap can impair price formation because it can 
result in LMPs that are suppressed below the marginal cost of 
production. An LMP that is less than the marginal cost of production 
may not be just and reasonable because it sends an inaccurate signal to 
load about the actual cost of producing the electricity, and to 
resources about the value of the next increment of supply. For example, 
if the marginal resource at a given location has a $1,100/MWh short-run 
marginal cost but faces a $1,000/MWh cap, that resource's incremental 
energy offer will be constrained to $1,000/MWh, and as a result, the 
energy component of LMP will be $100/MWh below the marginal cost of 
production. In a properly functioning market, the LMP should accurately 
reflect the costs of serving load and both customers and resources will 
be aware of that cost through an accurate and transparent price signal.
    46. Third, the offer cap may discourage resources from offering 
their supply to the RTO/ISO when their short-run marginal costs exceed 
the offer cap, even though market participants may be willing to 
purchase that supply. For example, a resource may not be subject to a 
must-offer requirement, and thus be under no obligation to offer its 
supply to the energy market and therefore simply decide not to offer 
its supply to the market if its short-run marginal cost exceeds the 
offer cap. Both PJM and MISO state that an offer cap that prevents cost 
recovery can reduce the likelihood that resources with short-run 
marginal costs above the cap will offer their supply to the RTO/
ISO.\129\
---------------------------------------------------------------------------

    \129\ MISO Comments at 4; PJM Comments at 2.
---------------------------------------------------------------------------

    47. Fourth and finally, if several resources have short-run 
marginal costs above $1,000/MWh, the $1,000/MWh offer cap requires 
those resources to submit incremental energy offers equal to $1,000/
MWh, even if the resources face different costs. Under this scenario, 
the $1,000/MWh offer cap will prevent the RTO/ISO from observing the 
cost differences among these resources and the RTO/ISO will not be able 
to select the most efficient resources because the resources with costs 
above $1,000/MWh were not able to submit incremental energy offers 
consistent with their short-run marginal cost. For these reasons, the 
Commission preliminarily finds that the current offer caps result in 
rates that are unjust and unreasonable. In addition, these reasons 
illustrate that the current offer caps may not achieve the price 
formation goals discussed above.
    48. The Commission considered several alternatives to achieve the 
price formation goals. On balance, the Commission has preliminarily 
determined that the alternative that best achieves the price formation 
goals is to retain the existing $1,000/MWh offer cap except in 
circumstances when a resource has verifiable short-run marginal costs 
in excess of $1,000/MWh. The discussion at the technical workshop and 
subsequent comments received suggest that the $1,000/MWh offer cap is 
appropriate in most circumstances and serves as an appropriate backstop 
to the existing market power mitigation rules. However, recent 
experience also suggests that some resources may face short-run 
marginal costs greater than $1,000/MWh and, in such infrequent 
circumstances, the $1,000/MWh offer cap inappropriately limits those 
resources' incremental energy offers and the resulting LMP. To the 
extent incremental energy offers can be verified, we believe a generic 
reform to allow offers and LMPs to exceed $1,000/MWh will enhance 
market efficiency and mitigate the potential for seams issues.

B. Alternative Offer Cap Proposals Discussed in Comments

    49. This section briefly discusses why the Commission has not 
proposed the other alternative offer cap designs. The Commission is not 
proposing the alternative that uses uplift payments to compensate 
resources with costs above the offer cap because, while uplift payments 
may ensure that a resource recoups its costs, such a proposal would not 
ensure that LMPs accurately reflect the marginal cost of production--a 
key goal of the price formation effort.\130\
---------------------------------------------------------------------------

    \130\ Price Formation in Energy and Ancillary Services Markets 
Operated by Regional Transmission Organizations and Independent 
System Operators, Notice Inviting Post-Technical Workshop Comments, 
Docket No. AD14-14-000, at 2 (Jan. 16, 2015).
---------------------------------------------------------------------------

    50. The Commission is not proposing a floating offer cap that would 
change with natural gas prices. This alternative proposal would be 
unduly preferential to natural gas-fueled resources and discriminatory 
towards resources that do not use natural gas as fuel because such a 
cap would only vary with the cost inputs of resources that use natural 
gas as fuel. As such, this alternative proposal could prevent a 
resource that does not use natural gas as a fuel to generate 
electricity from submitting a legitimate cost-based incremental energy 
offer if that offer is above the natural gas-based floating cap. 
Although natural gas fueled resources are currently the most likely 
resources to have short-run marginal costs above $1,000/MWh, this may 
not always be

[[Page 5959]]

the case. Furthermore, setting the offer cap for all resources based on 
the price of natural gas would allow non-natural gas resources to 
submit offers above $1,000/MWh and below the natural-gas based offer 
cap with no cost basis for doing so, thereby potentially allowing them 
to exercise market power when natural gas prices rise but when these 
resources' costs do not similarly rise.
    51. Finally, the Commission is not proposing to raise the offer cap 
to a higher fixed level. A higher fixed offer cap could still limit a 
resource's incremental energy offer below its short-run marginal cost 
and potentially suppress LMPs if that resource's costs rose above the 
fixed offer cap. Additionally, like the floating offer cap, a higher 
fixed offer cap could raise market power concerns.

C. Commission Proposal

    52. To remedy any potentially unjust and unreasonable rates, the 
Commission proposes, pursuant to section 206 of the Federal Power Act 
(FPA),\131\ to revise its regulations to require that each RTO/ISO cap 
a resource's incremental energy offer used for purposes of setting LMPs 
to the higher of $1,000/MWh or that resource's verified cost-based 
incremental energy offer. Under the proposal, consistent with Order No. 
719 \132\ and as prescribed in the RTO/ISO tariffs, the Market 
Monitoring Unit or the RTO/ISO would verify the costs within such a 
cost-based incremental energy offer before that offer could be used to 
calculate LMPs. The proposed offer cap would apply to incremental 
energy offers in both the day-ahead and real-time energy markets. Under 
the proposal, each RTO/ISO must comply with the following three 
requirements: an offer cap structure, cost-based incremental energy 
offer verification, and resource neutrality, discussed in detail below. 
The Commission would not prescribe the precise manner in which the RTO/
ISO must comply with the requirements in implementing the proposal. 
Each requirement, as established in the proposed regulations, is 
discussed in turn below.
---------------------------------------------------------------------------

    \131\ 16 U.S.C. 824e(b).
    \132\ Wholesale Competition in Regions with Organized Electric 
Markets, Order No. 719, FERC Stats. & Regs. ] 31,281, at PP 370-375 
(2008), order on reh'g, Order No. 719-A, FERC Stats. & Regs. ] 
31,292 (2009), order on reh'g, Order No. 719-B, 129 FERC ] 61,252 
(2009).
---------------------------------------------------------------------------

1. Offer Cap Structure
    53. The first proposed requirement is as follows:
    A resource's incremental energy offer used for purposes of 
calculating Locational Marginal Prices in energy markets must be capped 
at the higher of $1,000/MWh or that resource's cost-based incremental 
energy offer.
This requirement would ensure that a resource is given the opportunity 
to recoup its short-run marginal costs during intervals when those 
costs exceed $1,000/MWh because the resource could include such costs 
within its cost-based incremental energy offer. Additionally, this 
requirement would ensure that LMPs are no longer suppressed by the 
offer cap when marginal production costs exceed $1,000/MWh. This 
requirement would permit RTOs/ISOs to accept cost-based incremental 
energy offers above $1,000/MWh and use those offers in the market 
clearing process that calculates LMPs, but only when such offers are 
cost-based. Accordingly, all incremental energy offers above $1,000/MWh 
would be subject to market power mitigation and the attendant 
requirement that the offer be equal to the short-run marginal cost of 
the associated resource. Incremental energy offers at or below $1,000/
MWh will continue to be subject to existing market power mitigation 
provisions.
    54. The Commission preliminarily finds that it is necessary to 
permit resources to submit cost-based incremental energy offers above 
$1,000/MWh, because as PJM and MISO indicated in recent filings, the 
$1,000/MWh offer cap appears to have limited some resources' 
incremental energy offers to a level below their short-run marginal 
cost during intervals with high natural gas prices.\133\ In addition, 
allowing all resources to offer consistent with short-run marginal cost 
will enhance an RTO/ISO's ability to dispatch the lowest cost 
resources, particularly when multiple resources have short-run marginal 
cost greater than $1,000/MWh. Furthermore, allowing a resource to 
submit a cost-based incremental energy offer above $1,000/MWh would 
help ensure that resources with short-run marginal costs above $1,000/
MWh have an incentive to offer electricity into the market during high 
price periods, when their electricity may be needed. Allowing LMPs to 
reflect a given RTO/ISO's marginal cost of production could result in 
more economic power flows across seams because electricity would flow 
to where it is most valued.
---------------------------------------------------------------------------

    \133\ PJM 2015/16 Offer Cap Order, 153 FERC ] 61,289, at PP 2-3 
(2015); MISO, Transmittal at 4, Docket No. ER16-248-000 (filed Nov. 
2, 2015); MISO 2015/16 Offer Cap Order, 154 FERC ] 61,006.
---------------------------------------------------------------------------

    55. The Commission, however, does not propose to eliminate the 
$1,000/MWh offer cap entirely because the $1,000/MWh functions as a 
backstop for existing market power mitigation rules. Several market 
monitors at the Scarcity and Shortage Pricing, Offer Mitigation and 
Offer Caps Workshop held on October 28, 2014,\134\ as well as many 
commenters \135\ noted this function of the offer cap. For example, 
ISO-NE states that the $1,000/MWh offer cap still serves as a ``fail-
safe'' mechanism to protect consumers in the unlikely event that the 
market is not competitive and market power mitigation fails to assure 
competitive supply offers.\136\ Additionally, ISO-NE, NYISO, and CAISO 
indicate that the $1,000/MWh offer cap is currently above the short-run 
marginal cost of resources in those RTOs/ISOs (i.e., the offer cap does 
not currently force a resource to submit an incremental energy offer 
below its short-run marginal cost).\137\ Under this proposal, verified 
cost-based incremental energy offers are not capped. The Commission 
recently approved tariff revisions in PJM that required all incremental 
energy offers above $1,000/MWh to be cost-based and also placed a 
$2,000/MWh hard cap on cost-based incremental energy offers used for 
purposes of calculating LMPs.\138\ The Commission seeks comment on 
whether such a hard cap should be included in any final rule in this 
proceeding and, if so, whether the hard cap should equal $2,000/MWh or 
another value.
---------------------------------------------------------------------------

    \134\ Scarcity and Shortage Pricing, Offer Mitigation and Offer 
Price Caps Workshop, Docket No. AD14-14-000, Tr. 205:11-19, 206:24-
207:7, 210:14-211:8, 212:12-213:3 (Oct. 28, 2015).
    \135\ See supra PP 25-26.
    \136\ ISO-NE Comments at 4.
    \137\ CAISO Comments at 3; ISO-NE Comments at 3; NYISO Comments 
at 4.
    \138\ See supra n.36.
---------------------------------------------------------------------------

2. Cost-Based Incremental Energy Offer Verification
    56. The second proposed requirement is as follows:
    The costs underlying a resource's cost-based incremental energy 
offer above $1,000/MWh must be verified before that offer can be used 
for purposes of calculating Locational Marginal Prices. If a resource 
submits an incremental energy offer above $1,000/MWh and the costs 
underlying that offer cannot be verified before the market clearing 
process begins, that resource's incremental energy offer in excess of 
$1,000/MWh may not be used to calculate Locational Marginal Prices. In 
such circumstances a resource would be eligible for a make-whole 
payment if that resource clears the energy market and the resource's 
costs are verified after-the-fact.


[[Page 5960]]


This requirement would ensure that the proposal results in LMPs that 
reflect the marginal cost of production during intervals when the 
marginal resource's short-run marginal cost exceeds $1,000/MWh.
    57. The Commission preliminarily finds that verification of the 
costs underlying cost-based incremental energy offers above $1,000/MWh 
is warranted to reduce the potential exercise of market power. Without 
such verification, a resource may be able to submit an offer above 
$1,000/MWh not because its costs exceed $1,000/MWh, but rather because 
it recognizes that its energy is necessary to serve load and that it 
does not face competition from other resources. Using such an 
uncompetitive offer to calculate LMPs could result in unjust and 
unreasonable rates.
    58. Under the proposal, the Market Monitoring Unit or the RTO/ISO 
would be required to verify that each cost-based incremental energy 
offer above $1,000/MWh is in fact cost-based. The Market Monitoring 
Unit or the RTO/ISO would verify that a resource's cost-based offer is 
an accurate reflection of that resource's short-run marginal cost. The 
Commission notes that for purposes of mitigation, the RTO/ISO tariffs 
use different terminology to describe the market power mitigation 
process, short-run marginal costs, and mitigated offers.\139\ The 
Market Monitoring Units in some RTOs/ISOs currently have processes 
whereby the Market Monitoring Unit or the market participant itself can 
derive cost-based incremental energy offers that are specific to a 
given resource.\140\ Additionally, ISO-NE and NYISO currently have 
processes in place where a resource can contact, before the close of 
the day-ahead or real-time markets, the Market Monitoring Unit to 
update the resource's cost-based incremental energy offer (e.g., due to 
a change in fuel prices).\141\ These updates are subject to 
verification by the Market Monitoring Unit.
---------------------------------------------------------------------------

    \139\ See supra n.16.
    \140\ Id.
    \141\ ISO-NE, Markets and Services Tariff, Market Rule 1, 
III.A.3.1 (43.0.0); NYISO, NYISO Tariffs, NYISO Markets and Services 
Tariff, 23.3.1.4.6.7 (11.0.0). Resources in SPP may also contact the 
Market Monitoring Unit during the operating day and request a 
mitigation exception pursuant to SPP, OATT, Sixth Revised Volume No. 
1, Attachment AF, 3.8 (7.0.0). Additionally, in MISO resources may 
consult with the Market Monitoring Unit to change reference levels 
as soon as practicable. MISO, FERC Electric Tariff, 64.1.4.h 
(30.0.0).
---------------------------------------------------------------------------

    59. Under the proposal, the Market Monitoring Unit or the RTO/ISO 
must verify the costs within a cost-based incremental energy offer 
above $1,000/MWh before that offer is used for purposes of calculating 
LMPs. The Commission seeks comment regarding the Market Monitoring 
Unit's or the RTO/ISO's ability to timely verify the costs within 
incremental energy offers above $1,000/MWh prior to the day-ahead or 
real-time market clearing process, including whether the verification 
of physical offer components is also necessary. The Commission seeks 
comment on whether the Market Monitoring Unit or RTO/ISO may need 
additional information to ensure that all short-run marginal cost 
components that are difficult to quantify, such as certain opportunity 
costs, are accurately reflected in a resource's cost-based incremental 
energy offer. For example, cost-based offers in PJM include a ten 
percent adder, which may account for such cost components. To the 
extent that RTOs/ISOs currently include an adder above cost in cost-
based incremental energy offers, is such an adder appropriate for 
incremental energy offers above $1,000/MWh? The Commission also seeks 
comment on whether the Market Monitoring Unit or RTO/ISO may need 
additional information or new authority to require revisions or 
corrections to cost-based incremental energy offers to ensure that a 
cost-based incremental energy offer is an accurate reflection of a 
resource's short-run marginal cost.
    60. Under this proposal, each RTO/ISO would be required to include 
in its tariff a process by which the Market Monitoring Unit or RTO/ISO 
verifies the costs included in cost-based incremental energy offers 
above $1,000/MWh. To create such a verification process, the Commission 
expects that the Market Monitoring Unit or RTO/ISO would build on its 
existing mitigation processes for calculating or updating cost-based 
incremental energy offers. The Commission notes that the nature of 
before-the-fact and after-the-fact cost verification processes often 
differ. The Commission expects that a market participant that seeks to 
submit a cost-based incremental energy offer above $1,000/MWh must 
provide appropriate documentation to the Market Monitoring Unit or the 
RTO/ISO. The Market Monitoring Unit or RTO/ISO should then have a 
before-the-fact verification process that would allow for timely cost 
verification such that an offer submitted in a reasonable period of 
time could be used for purposes of calculating LMPs. As noted already, 
the Commission emphasizes that this before-the-fact verification should 
build upon existing procedures.
    61. Currently, RTOs/ISOs use different processes to develop and 
update offers for mitigation purposes. Under this proposal, the 
Commission would not require RTOs/ISOs to adopt the same approach to 
implement the cost-based incremental energy offer verification 
requirement.
    62. RTOs/ISOs also differ in how they define the components of 
cost-based incremental energy offers for purposes of mitigation.\142\ 
Each RTO/ISO has tariff provisions that set out the elements of a 
resource's short-run marginal cost for purposes of mitigation.\143\ The 
Commission expects each RTO/ISO to use the elements set forth in its 
tariff provisions for purposes of determining a resource's cost-based 
incremental energy offer. Thus, the Commission is not proposing to 
define the elements of a short-run marginal cost as part of this 
proceeding.
---------------------------------------------------------------------------

    \142\ For example, CAISO and PJM mitigate resources to cost-
based offers that include a ten percent adder, while the standard 
cost-based offers in MISO, ISO-NE, and NYISO do not include an adder 
above cost.
    \143\ See supra n.16
---------------------------------------------------------------------------

    63. Given that the verification process for cost-based incremental 
energy offers is intended to build on an RTO/ISO's existing mitigation 
processes, as proposed, external RTO/ISO resources (i.e., imports) 
would not be eligible to submit cost-based incremental energy offers 
above $1,000/MWh because RTO/ISO processes to develop cost-based 
incremental energy offers for mitigation purposes typically apply to 
internal resources alone. However, the Commission would consider RTO/
ISO proposals to develop cost-based incremental energy offers for 
external transactions in their respective compliance filings for any 
final rule in this proceeding.\144\ The Commission seeks comments on 
whether the offer cap proposal should apply to imports and whether a 
cost verification process for import transactions is feasible.
---------------------------------------------------------------------------

    \144\ Any proposal to develop cost-based incremental energy 
offers for external transactions could address external resources 
generically or address certain scheduling practices (e.g., dynamic 
or pseudo tie schedules).
---------------------------------------------------------------------------

    64. The Commission preliminarily finds that, as financial 
instruments, virtual transactions have no short-run marginal production 
costs and, thus, could not provide a cost-basis for a virtual 
transaction above $1,000/MWh. Accordingly, virtual transactions in 
RTOs/ISOs which currently limit virtual transaction bid/offer caps to 
existing incremental energy offer caps, could not exceed $1,000/MWh 
under the proposal.\145\ The Commission seeks

[[Page 5961]]

comment on whether prohibiting virtual transactions above $1,000/MWh 
could limit hedging opportunities, present opportunities for 
manipulation or gaming, create market inefficiencies, or have other 
undesirable consequences. Additionally, the Commission seeks comment on 
alternatives which would allow virtual increment offers and decrement 
bids to be submitted and cleared at prices above $1,000/MWh.\146\
---------------------------------------------------------------------------

    \145\ To the extent they currently exist, this proposal would 
not affect existing RTO/ISO tariff provisions that permit virtual 
transactions to exceed $1,000/MWh.
    \146\ The Commission found it just and reasonable for virtual 
increment offers and decrement bids in PJM to clear up to $2,700/
MWh, equal to the newly established energy and reserve market 
aggregate price cap. PJM Interconnection, L.L.C., 139 FERC ] 61,057, 
at PP 123-143 (2012).
---------------------------------------------------------------------------

    65. The cost-based incremental energy offer verification 
requirement also ensures that a resource with short-run marginal costs 
above $1,000/MWh recoups its costs in the event that the Market 
Monitoring Unit or RTO/ISO cannot verify that resource's costs prior to 
the market clearing process. The Commission emphasizes that RTOs/ISOs 
would be expected to adopt a verification process that allows timely 
submitted and appropriately documented cost-based incremental energy 
offers to be used to calculate LMPs; compensating resources through 
make-whole payments should be treated only as a backstop. Under this 
proposal, the RTO/ISO would adopt a procedure to include the offer, 
modified as discussed below, in its market clearing process. 
Accordingly, if such an offer clears the energy market, that resource 
may be entitled to a make-whole payment if the Market Monitoring Unit 
or RTO/ISO can verify after-the-fact that the resource's short-run 
marginal cost was above $1,000/MWh. The basis of the make-whole payment 
would be the difference between a given resource's energy market 
revenues and that resource's total offer costs, including the cost-
based incremental energy offer.\147\
---------------------------------------------------------------------------

    \147\ Under this proposal, any make-whole payments associated 
with such an after-the-fact cost verification would not be 
duplicative or overcompensate a resource for the costs included in 
its energy supply offer.
---------------------------------------------------------------------------

    66. The Commission's proposal would permit regional variation in 
the process for treating incremental energy offers above $1,000/MWh 
that the Market Monitoring Unit or RTO/ISO cannot verify prior to the 
start of the market clearing process. For example, the RTO/ISO could 
have procedures to change the incremental energy offer to $1,000/MWh 
and to mitigate that offer further to a level below $1,000/MWh pursuant 
to other applicable market power mitigation provisions. The Commission 
continues to find that regional variation is acceptable here because 
incremental energy offers are currently subject to the existing RTO/ISO 
mitigation procedures that vary across RTOs/ISOs to appropriately 
account for regional differences. Further, RTO/ISO mitigation 
procedures only affect resources within the RTO/ISO. However, as 
discussed below, the offer cap also affects inter-regional trading such 
that generic action is required to avoid exacerbating seams.
    67. Existing Commission regulations, as described below, already 
create a framework that ensures cost-based incremental energy offers 
submitted as part of a supply offer are based on legitimate costs.\148\ 
In existing mitigation processes, a resource must submit accurate cost 
information to the market monitor. In submitting a cost-based 
incremental energy offer above $1,000/MWh, a resource that 
misrepresents its costs would be in violation of the Commission's 
regulations requiring accurate statements. Section 35.41(b) of the 
Commission's regulations requires market participants to provide 
``accurate and factual information and not submit false or misleading 
information, or omit material information, in any communication with 
the Commission, Commission-approved market monitors . . . [or] 
Commission-approved independent system operators.'' \149\ Additionally, 
a resource that intentionally misrepresents its costs could violate the 
Commission's Anti-Manipulation Rule. That rule prohibits a market 
participant from intentionally making ``any untrue statement of a 
material fact or to omit[ting] to state a material fact necessary in 
order to make the statements made, in the light of the circumstances 
under which they were made, not misleading.'' \150\ Thus, any resource 
that misrepresents its costs may be in violation of the Commission's 
regulations, even if its offer does not clear the day-ahead or real-
time energy market.
---------------------------------------------------------------------------

    \148\ Several RTOs/ISOs also rely on procedures to temporarily 
strip resources of the opportunity to make fuel price related 
adjustments to their reference levels in the event after-the-fact 
verification processes fail to confirm the need for the reference 
level update. See ISO-NE., Transmission Markets and Services Tariff, 
Market Rule 1, III.A.3.4(c) (43.0.0); NYISO, NYISO Tariffs, NYISO 
Markets and Services Tariff, 23.3.1.4.6.8 (11.0.0).
    \149\ 18 CFR 35.41(b) (2015).
    \150\ 18 CFR 1c.2(a)(2) (2015).
---------------------------------------------------------------------------

    68. Some commenters express concern that verification of cost-based 
incremental energy offers prior to the market clearing process may 
require RTOs/ISOs to re-run the market if the Market Monitoring Unit or 
RTO/ISO initially accepts a cost-based incremental energy offer above 
$1,000/MWh and subsequently determines through an after-the-fact review 
that the offer that established the LMP was not in fact cost-
based.\151\ The Commission preliminarily finds that the verification 
requirement in this proposal addresses this concern because cost-based 
incremental energy offers above $1,000/MWh should result in LMPs that 
are appropriate because they will accurately reflect the marginal cost 
of production. Accordingly, such LMPs will not require recalculation 
after-the-fact.
---------------------------------------------------------------------------

    \151\ CAISO Comments at 6-7.
---------------------------------------------------------------------------

3. Resource Neutrality
    69. The third proposed requirement is as follows:
    All resources, regardless of type, are eligible to submit cost-
based incremental energy offers in excess of $1,000/MWh.
This requirement would ensure that the eligibility to submit cost-based 
incremental energy offers in excess of $1,000/MWh would not be applied 
in an unduly discriminatory or unduly preferential manner. During the 
Polar Vortex, natural gas prices reached levels that caused the short-
run marginal cost of natural gas-fueled resources that purchased gas on 
the natural gas spot market to exceed $1,000/MWh. However, limiting the 
opportunity to submit cost-based incremental energy offers in excess of 
$1,000/MWh to a particular resource type, such as natural-gas fueled 
resources, would be unduly preferential to those resources.\152\ Even 
though natural gas resources are currently most likely to have cost-
based incremental energy offers above $1,000/MWh, market conditions may 
change causing other resource types to have short-run marginal costs 
above $1,000/MWh. Accordingly, the Commission proposes that all 
resource types be eligible to submit a cost-based incremental energy 
offer above $1,000/MWh. The resource neutrality requirement is 
consistent with prior Commission orders related to the offer cap in PJM 
and MISO.\153\
---------------------------------------------------------------------------

    \152\ PJM 2014/15 Offer Cap Order, 150 FERC ] 61,020 at P 39.
    \153\ See MISO 2014/15 Offer Cap Order, 150 FERC ] 61,083 at P 
16; PJM 2014/15 Offer Cap Order, 150 FERC ] 61,020 at P 39; PJM 
2015/16 Offer Cap Order, 153 FERC ] 61,289; MISO 2015/16 Offer Cap 
Order, 154 FERC ] 61,006.
---------------------------------------------------------------------------

4. Seams Issues
    70. The Commission proposes to make a generic change to the offer 
cap applicable to all RTOs/ISOs through a rulemaking to avoid 
exacerbating seams issues. Seams issues could arise if one RTO/ISO has 
an offer cap that materially differed from a neighboring

[[Page 5962]]

RTO/ISO's offer cap. For example, NYISO states that offer caps that are 
materially different in neighboring RTOs/ISOs that rely on the same 
natural gas market could require out-of-market operator actions to 
avoid reliability concerns.\154\ ISO-NE and NYISO also note that 
different offer caps in neighboring RTOs/ISOs could result in flows 
that depend on the level of the two offer caps as opposed to economics 
or reliability needs.\155\ The Commission also has indicated in prior 
orders approving temporary waivers or tariff changes related to MISO 
and PJM's respective offer caps that the Commission would address seams 
issues related to the offer cap beyond the winter of 2014/15 in the 
price formation proceeding.\156\ Therefore, this proposal would revise 
the market rules in all RTOs/ISOs in a similar manner to ensure that 
market prices accurately reflect the marginal cost of production.
---------------------------------------------------------------------------

    \154\ NYISO Comments at 4-5.
    \155\ ISO-NE Comments at 7; NYISO Comments at 5.
    \156\ See PJM 2014/15 Offer Cap Order, 150 FERC ] 61,020 at P 
42; MISO 2014/15 Offer Cap Order, 150 FERC ] 61,083 at P 19.
---------------------------------------------------------------------------

    71. Some commenters have expressed concern that different offer 
caps in neighboring markets could create seams issues. The Commission 
acknowledges that the instant proposal could result in neighboring 
markets having different effective offer caps in a given interval 
because the marginal cost of production in one RTO/ISO may differ from 
other neighboring markets due to different resources with different 
short-run marginal costs being on the margin. Nonetheless, the 
Commission believes these differences will not adversely affect seams 
because these differences would be driven by actual costs and not by 
offer caps artificially suppressing LMPs. Therefore, the associated 
differences in LMPs will encourage efficient interchange transactions. 
The Commission seeks comment on this preliminary finding and other 
seams issues related to this proposal.
5. Other Considerations
    72. In several RTO/ISOs, factors affecting LMPs and other market 
outcomes depend on the offer cap. For example, CAISO's shortage pricing 
and penalty factors that apply when transmission constraints are 
relaxed are based on the $1,000/MWh offer cap.\157\ Such relationships 
may have to be revised because they may require that the value of the 
offer cap be known prior to the market clearing process. Under this 
proposal, the ultimate value of the offer cap may not be known in 
advance in periods when marginal production costs exceed $1,000/MWh. 
Accordingly, given this proposal, RTOs/ISOs may wish to revise certain 
market features that relate to or are affected by the offer cap. RTOs/
ISOs and their stakeholders may also wish to consider additional tariff 
revisions, such as changes to scarcity or shortage pricing, raising or 
removing caps on price-sensitive demand bids, and other means by which 
load can express its willingness to pay for electricity. Although they 
are not required to do so, the Commission would consider other market 
design changes, such as changes to scarcity or shortage pricing or 
other penalty prices, associated with adopting this proposal in the 
compliance filing.
---------------------------------------------------------------------------

    \157\ CAISO Comments at 8.
---------------------------------------------------------------------------

6. Comments Sought on This Proposal
    73. The Commission seeks comment on its proposal as described 
herein. Specifically, the Commission seeks comment on the following 
items: (1) Whether a hard cap on cost-based incremental energy offers 
used for purposes of calculating LMPs should be included in any final 
rule in this proceeding and, if so, whether the hard cap should equal 
$2,000/MWh or another value; (2) the ability to timely verify the costs 
within incremental energy offers above $1,000/MWh prior to the day-
ahead or real-time market clearing process, including whether the 
verification of physical offer components is also necessary; (3) 
whether the Market Monitoring Unit or RTO/ISO may need additional 
information to ensure that all short-run marginal cost components that 
are difficult to quantify, such as certain opportunity costs, are 
accurately reflected in a resource's cost-based incremental energy 
offer and to the extent that RTOs/ISOs currently include an adder above 
cost in cost-based incremental energy offers, whether such an adder is 
appropriate for incremental energy offers above $1,000/MWh; (4) whether 
the Market Monitoring Unit or RTO/ISO may need additional information 
or new authority to require revisions or corrections to a cost-based 
incremental energy offer to ensure that a resource's cost-based 
incremental energy offer is an accurate reflection of that resource's 
short-run marginal cost; (5) whether the proposal should apply to 
imports and whether a cost verification process for import transactions 
is feasible; (6) whether excluding virtual transactions above $1,000/
MWh could limit hedging opportunities, present opportunities for 
manipulation or gaming, create market inefficiencies, or have other 
undesirable consequences, and whether alternatives exist which would 
allow virtual increment offers and decrement bids to be submitted and 
cleared at prices above $1,000/MWh; and (7) the impact the proposal 
would have on seams. Comments must be submitted within sixty (60) days 
of publication of this NOPR in the Federal Register.

III. Compliance

    74. The Commission proposes to require that each RTO/ISO submit a 
compliance filing no later than four months from the effective date of 
the final rule in this proceeding to demonstrate that it meets the 
proposed requirements set forth in the final rule. The Commission will 
accept RTO/ISO proposals that satisfy the three requirements described 
above and notes that proposals may vary regionally based on the 
existing RTO/ISO tariff provisions that are used to develop cost-based 
incremental energy offers and to implement market power mitigation 
provisions that are to be used as a basis for implementing this 
proposal. As noted previously, the Commission is also willing to 
consider proposed revisions to other market design features that may 
require revision in light of this proposal, such as changes to scarcity 
or shortage pricing or other market parameters.
    75. To the extent that any RTO/ISO believes that it already 
complies with the reforms adopted in a final rule in this proceeding, 
the RTO/ISO would be required to demonstrate, in the compliance filing, 
how it complies.

IV. Information Collection Statement

    76. The Paperwork Reduction Act (PRA) \158\ requires each federal 
agency to seek and obtain Office of Management and Budget (OMB) 
approval before undertaking a collection of information directed to ten 
or more persons or contained in a rule of general applicability. OMB's 
regulations,\159\ in turn, require approval of certain information 
collection requirements imposed by agency rules. Upon approval of a 
collection(s) of information, OMB will assign an OMB control number and 
an expiration date. Respondents subject to the filing requirements of a 
rule will not be penalized for failing to respond to these 
collection(s) of information unless the collection(s) of information 
display a valid OMB control number.
---------------------------------------------------------------------------

    \158\ 44 U.S.C. 3501-3520.
    \159\ 5 CFR 1320 (2015).
---------------------------------------------------------------------------

    77. The reforms proposed in this NOPR would amend the Commission's 
regulations to improve the operation of organized wholesale electric 
power

[[Page 5963]]

markets operated by RTOs/ISOs. The Commission proposes to require that 
each RTO/ISO cap a resource's incremental energy offer used for 
purposes of calculating LMPs in energy markets to the higher of $1,000/
MWh or that resource's cost-based incremental energy offer, as verified 
by the Market Monitoring Unit or the RTO/ISO. The reforms proposed in 
this NOPR would require one-time filings of tariffs with the Commission 
and potential software upgrades to implement the reforms proposed in 
this NOPR. The Commission anticipates the reforms proposed in this 
NOPR, once implemented, would not significantly change currently 
existing burdens on an ongoing basis. With regard to those RTOs/ISOs 
that believe that they already comply with the reforms proposed in this 
NOPR, they could demonstrate their compliance in the compliance filing 
required four months after the effective date of the final rule in this 
proceeding. The Commission will submit the proposed reporting 
requirements to OMB for its review and approval under section 3507(d) 
of the Paperwork Reduction Act.\160\
---------------------------------------------------------------------------

    \160\ 44 U.S.C. 3507(d).
---------------------------------------------------------------------------

    78. While the Commission expects the adoption of the reforms 
proposed in this NOPR to provide significant benefits, the Commission 
understands implementation can be a complex endeavor. The Commission 
solicits comments on the accuracy of provided burden and cost estimates 
and any suggested methods for minimizing the respondents' burdens, 
including the use of automated information techniques. Specifically, 
the Commission seeks detailed comments on the potential cost and time 
necessary to implement aspects of the reforms proposed in this NOPR, 
including (1) software and business processes changes, including market 
power mitigation; (2) increased time spent validating cost-based 
incremental energy offers; and (3) processes for RTOs/ISOs to vet 
proposed changes amongst their stakeholders.
    Burden Estimate and Information Collection Costs: The Commission 
believes that the burden estimates below are representative of the 
average burden on respondents, including necessary communications with 
stakeholders. The estimated burden and cost for the requirements 
contained in this NOPR follow.\161\
---------------------------------------------------------------------------

    \161\ The RTOs and ISOs (CAISO, ISO-NE., MISO, NYISO, PJM, and 
SPP) are required to comply with the reforms proposed in this NOPR.

                                                                        Software or Hardware Upgrades May Not Be Required
                                                                      [FERC-516, as modified by NOPR in Docket RM16-5-000]
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
                                                           Annual number
                                             Number of     of responses    Total number   Average burden (hours) & cost per response   Total annual burden hours & total annual      Cost per
                                            respondents   per respondent   of responses                                                                  cost                     respondent ($)
                                                     (1)             (2)     (1) x (2) =  (4).......................................  (3) x (4) = (5)...........................       (5) / (1)
                                                                                     (3)
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------
One-Time Tariff Filings (Year 1)........               6               1               6  500 hrs.; $36,000 \163\...................  3,000 hrs.; $216,000......................         $36,000
------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------------

    The Commission notes that these cost estimates below do not include 
costs for software or hardware or for increased time spent validating 
cost-based incremental energy offers above $1,000/MWh.\162\
---------------------------------------------------------------------------

    \162\ The Commission expects that the validation of cost-based 
incremental energy offers above $1,000/MWh would be an infrequent 
occurrence. To the extent that the Market Monitoring Unit or the 
RTO/ISO spends time validating these offers, the Commission 
estimates such time to be de minimis.
    \163\ The estimated hourly cost (salary plus benefits) provided 
in this section are based on the salary figures for May 2014 posted 
by the Bureau of Labor Statistics for the Utilities sector 
(available at http://www.bls.gov/oes/current/naics2_22.htm#13-0000) 
and scaled to reflect benefits using the relative importance of 
employer costs in employee compensation from March 2015 (available 
at http://www.bls.gov/news.release/ecec.nr0.htm). The hourly 
estimates for salary plus benefits are:
     Legal (code 23-0000), $129.87
     Computer and mathematical (code 15-0000), $58.25
     Information systems manager (code 11-3021), $94.55
     IT security analyst (code 15-1122), $63.55
     Auditing and accounting (code 13-2011), $51.11
     Information and record clerk (code 43-4199), $37.50
     Electrical Engineer (code 17-2071), $66.45
     Economist (code 19-3011), $73.04
     Management (code 11-0000), $78.04
    The average hourly cost (salary plus benefits), weighting all of 
these skill sets evenly, is $72.48. The Commission rounds it to $72 
per hour.
---------------------------------------------------------------------------

    Cost to Comply: The Commission has projected the total cost of 
compliance, all within four months of a Final Rule plus initial 
implementation, to be $216,000. After Year 1, the reforms proposed in 
this NOPR, once implemented, would not significantly change existing 
burdens on an ongoing basis.
    The Commission notes that these estimates do not include costs for 
software or hardware. Software or hardware upgrades may not be 
required.
    Title: FERC-516, Electric Rate Schedules and Tariff Filings.
    Action: Proposed revisions to an information collection.
    OMB Control No. 1902-0096.
    Respondents for this Rulemaking: RTOs/ISOs.
    Frequency of Information: One-time during.
    Necessity of Information: The Federal Energy Regulatory Commission 
proposes this rule to improve competitive wholesale electric markets in 
the RTO/ISO regions.
    Internal Review: The Commission has reviewed the proposed changes 
and has determined that such changes are necessary. These requirements 
conform to the Commission's need for efficient information collection, 
communication, and management within the energy industry. The 
Commission has specific, objective support for the burden estimates 
associated with the information collection requirements.
    79. Interested persons may obtain information on the reporting 
requirements by contacting the following: Federal Energy Regulatory 
Commission, 888 First Street NE., Washington, DC 20426 [Attention: 
Ellen Brown, Office of the Executive Director], email: 
[email protected], Phone: (202) 502-8663, fax: (202) 273-0873. 
Comments concerning the collection of information and the associated 
burden estimate(s), 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, phone: (202) 395-0710, fax (202) 395-
7285]. Due to security concerns, comments should be sent electronically 
to the following email address: [email protected]. Comments 
submitted to OMB should include FERC-516 and OMB Control No. 1902-0096.

[[Page 5964]]

V. Regulatory Flexibility Act Certification

    80. The Regulatory Flexibility Act of 1980 (RFA) \164\ 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.
---------------------------------------------------------------------------

    \164\ 5 U.S.C. 601-12.
---------------------------------------------------------------------------

    81. This rule would apply to six RTOs/ISOs (all of which are 
transmission organizations). The average estimated annual cost to each 
of the RTOs/ISOs is $36,000, all in Year 1. This one-time cost of 
filing and implementing these changes is not significant.\165\ 
Additionally, the RTOs/ISOs are not small entities, as defined by the 
RFA.\166\ This is because the relevant threshold between small and 
large entities is 500 employees and the Commission understands that 
each RTO/ISO has more than 500 employees. Furthermore, because of their 
pivotal roles in wholesale electric power markets in their regions, 
none of the RTOs/ISOs meet the last criterion of the two-part RFA 
definition a small entity: ``not dominant in its field of operation.'' 
As a result, the Commission certifies that the reforms proposed in this 
NOPR would not have a significant economic impact on a substantial 
number of small entities. The Commission does not expect other entities 
to incur compliance costs as a result of the reforms proposed in this 
NOPR, but seeks detailed comments on whether other entities, such as 
load-serving entities, would incur costs as a result of the reforms 
proposed in this NOPR.
---------------------------------------------------------------------------

    \165\ This estimate does not include costs for software or 
increased time spent validating cost-based incremental energy 
offers, for which the Commission requests comment. As stated above, 
the Commission expects that the validation of cost-based incremental 
energy offers above $1,000/MWh would be an infrequent occurrence. To 
the extent that the Market Monitoring Unit or the RTO/ISO spends 
time validating these offers, the Commission expects such time to be 
de minimis.
    \166\ The RFA definition of ``small entity'' refers to the 
definition provided in the Small Business Act, which defines a 
``small business concern'' as a business that is independently owned 
and operated and that is not dominant in its field of operation. The 
Small Business Administrations' regulations at 13 CFR 121.201 define 
the threshold for a small Electric Bulk Power Transmission and 
Control entity (NAICS code 221121) to be 500 employees. See 5 U.S.C. 
601(3), citing to Section 3 of the Small Business Act, 15 U.S.C. 
632.
---------------------------------------------------------------------------

VI. Environmental Analysis

    82. 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.\167\ The 
Commission concludes that neither an Environmental Assessment nor an 
Environmental Impact Statement is required for this NOPR under section 
380.4(a)(15) of the Commission's regulations, which provides a 
categorical exemption for approval of actions under sections 205 and 
206 of the FPA relating to the filing of schedules containing all rates 
and charges for the transmission or sale of electric energy subject to 
the Commission's jurisdiction, plus the classification, practices, 
contracts and regulations that affect rates, charges, classifications, 
and services.\168\
---------------------------------------------------------------------------

    \167\ Regulations Implementing the National Environmental Policy 
Act of 1989, Order No. 486, 52 FR 47,897 (Dec. 17, 1987), FERC 
Stats. & Regs. ] 30,783 (1987).
    \168\ 18 CFR 380.4(a)(15) (2015).
---------------------------------------------------------------------------

VII. Comment Procedures

    83. The Commission invites interested persons to submit comments on 
the matters and issues proposed in this notice to be adopted, including 
any related matters or alternative proposals that commenters may wish 
to discuss. Comments are due April 4, 2016. Comments must refer to 
Docket No. RM16-5-000, and must include the commenter's name, the 
organization they represent, if applicable, and their address.
    84. The Commission encourages comments to be filed electronically 
via the eFiling link on the Commission's Web site at http://www.ferc.gov. The Commission accepts most standard word processing 
formats. Documents created electronically using word processing 
software should be filed in native applications or print-to-PDF format 
and not in a scanned format. Commenters filing electronically do not 
need to make a paper filing.
    85. Commenters that are not able to file comments electronically 
must send an original of their comments to: Federal Energy Regulatory 
Commission, Secretary of the Commission, 888 First Street NE., 
Washington, DC 20426.
    86. All comments will be placed in the Commission's public files 
and may be viewed, printed, or downloaded remotely as described in the 
Document Availability section below. Commenters on this proposal are 
not required to serve copies of their comments on other commenters.

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].

List of Subjects in 18 CFR Part 35

    Electric power rates, Electric utilities, Non-discriminatory open 
access transmission tariffs.

    By direction of the Commission.

    Issued: January 21, 2016.
Nathaniel J. Davis, Sr.,
Deputy Secretary.

    In consideration of the foregoing, the Commission proposes to amend 
part 35, chapter I, title 18, Code of Federal Regulations, as follows:

[[Page 5965]]

PART 35--FILING OF RATE SCHEDULES AND TARIFFS

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

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

0
2. Amend Sec.  35.28 by adding paragraph (g)(9) to read as follows:


Sec.  35.28  Non-discriminatory open access transmission tariff.

* * * * *
    (g) * * *
    (9) Incremental energy offer caps. A resource's incremental energy 
offer used for purposes of calculating Locational Marginal Prices in 
energy markets must be capped at the higher of $1,000/MWh or that 
resource's cost-based incremental energy offer. The costs underlying a 
resource's cost-based incremental energy offer above $1,000/MWh must be 
verified before that offer can be used for purposes of calculating 
Locational Marginal Prices. If a resource submits an incremental energy 
offer above $1,000/MWh and the costs underlying that offer cannot be 
verified before the market clearing process begins, that resource's 
incremental energy offer in excess of $1,000/MWh may not be used to 
calculate Locational Marginal Prices. In such circumstances a resource 
would be eligible for a make-whole payment if that resource clears the 
energy market and the resource's costs are verified after-the-fact. All 
resources, regardless of type, are eligible to submit cost-based 
incremental energy offers in excess of $1,000/MWh.
    The following appendix will not appear in the Code of Federal 
Regulations.

Appendix A: List of Short Names/Acronyms of Commenters

------------------------------------------------------------------------
           Short name/acronym                       Commenter
------------------------------------------------------------------------
APPA and NRECA.........................  American Public Power
                                          Association and National Rural
                                          Electric Cooperative
                                          Association.
ANGA...................................  America's Natural Gas Alliance.
Brookfield.............................  Brookfield Renewable Energy
                                          Marketing LP.
California State Water Project.........  California Department of Water
                                          Resources State Water Project.
CAISO..................................  California Independent System
                                          Operator Corporation.
Calpine................................  Calpine Corporation.
Direct Energy..........................  Direct Energy Business
                                          Marketing, LLC, Direct Energy
                                          Business, LLC and affiliated
                                          companies.
EEI....................................  Edison Electric Institute.
EPSA...................................  Electric Power Supply
                                          Association.
ELCON..................................  Electricity Consumers Resource
                                          Council.
Entergy Nuclear Power Marketing........  Entergy Nuclear Power
                                          Marketing, LLC.
Exelon.................................  Exelon Corporation.
GDF SUEZ...............................  GDF SUEZ North America, Inc.
ISO-NE.................................  ISO New England, Inc.
IRC....................................  ISO/RTO Council.
MISO...................................  Midcontinent Independent System
                                          Operator, Inc.
NYISO..................................  New York Independent System
                                          Operator, Inc.
New York Transmission Owners...........  New York Transmission Owners
                                          (Central Hudson Gas & Electric
                                          Corporation, Consolidated
                                          Edison Company of New York,
                                          Inc., Power Supply of Long
                                          Island, New York Power
                                          Authority, New York State
                                          Electric & Gas Corporation,
                                          Niagara Mohawk Power
                                          Corporation d/b/a National
                                          Grid, Orange and Rockland
                                          Utilities, Inc., and Rochester
                                          Gas and Electric Corporation).
NCPA...................................  Northern California Power
                                          Agency.
OMS....................................  Organization of MISO States.
PG&E...................................  Pacific Gas and Electric
                                          Company.
PJM....................................  PJM Interconnection, L.L.C.
PJM Power Providers....................  PJM Power Providers Group.
PJM Utilities Coalition................  PJM Utilities Coalition
                                          (American Electric Power
                                          Service Corporation, the
                                          Dayton Power and Light
                                          Company, FirstEnergy Service
                                          Company, Buckeye Power, Inc.,
                                          and East Kentucky Power
                                          Cooperative).
Potomac Economics......................  Potomac Economics, Ltd.
Powerex................................  Powerex Corp.
PSEG Companies.........................  PSEG Companies (Public Service
                                          Electric and Gas Company, PSEG
                                          Power LLC and PSEG Energy
                                          Resources & Trade LLC).
SCE....................................  Southern California Edison
                                          Company.
SPP....................................  Southwest Power Pool, Inc.
TAPS...................................  Transmission Access Policy
                                          Study Group.
Western Power Trading Forum............  Western Power Trading Forum.
Wisconsin Electric.....................  Wisconsin Electric Power
                                          Company.
Xcel...................................  Xcel Energy Services Inc.
------------------------------------------------------------------------

[FR Doc. 2016-01813 Filed 2-3-16; 8:45 am]
 BILLING CODE 6717-01-P



                                                                                       Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules                                                                                         5951

                                                      Paragraph 5000              Class D Airspace.                              Paragraph 6005 Class E Airspace Areas                                      SUMMARY:    The Federal Energy
                                                                                                                                 Extending Upward From 700 Feet or More                                     Regulatory Commission is proposing to
                                                      AEA MD D Hagerstown, MD [Amended]
                                                                                                                                 Above the Surface of the Earth.                                            revise its regulations to require that each
                                                      Hagerstown Regional Airport-Richard A.
                                                                                                                                 *        *         *         *         *                                   regional transmission organization
                                                           Henson Field, MD
                                                        (Lat. 39°42′31″ N., long. 77°43′35″ W.)                                  AEA MD E5 Hagerstown, MD [Amended]                                         (RTO) and independent system operator
                                                        That airspace extending upward from the                                                                                                             (ISO) cap each resource’s incremental
                                                                                                                                 Hagerstown Regional Airport-Richard A.
                                                      surface to and including 3,200 feet MSL                                         Henson Field, MD
                                                                                                                                                                                                            energy offer to the higher of $1,000/
                                                      within a 4.1-mile radius of Hagerstown                                       (Lat. 39°42′31″ N., long. 77°43′35″ W.)                                  MWh or that resource’s verified cost-
                                                      Regional Airport-Richard A. Henson Field.                                  Hagerstown VOR                                                             based incremental energy offer.
                                                      This Class D airspace area is effective during                               (Lat. 39°41′52″ N., long. 77°51′21″ W.)                                  DATES: Comments are due April 4, 2016.
                                                      the specific dates and times established in                                St. Thomas VORTAC
                                                      advance by Notice to Airmen. The effective                                   (Lat. 39°56′00″ N., long. 77°57′03″ W.)                                  ADDRESSES: Comments, identified by
                                                      date and time will thereafter be continuously                              Hagerstown Regional Airport-Richard A.                                     docket number, may be filed in the
                                                      published in the Airport/Facility Directory.                                    Henson Field ILS Runway 27 Localizer                                  following ways:
                                                      Paragraph 6002              Class E Surface Area                             (Lat. 39°42′22″ N., long. 77°44′41″ W.)                                     • Electronic Filing through http://
                                                      Airspace.                                                                    That airspace extending upward from 700                                  www.ferc.gov. Documents created
                                                      *        *         *         *        *                                    feet above the surface within a 6.6-mile                                   electronically using word processing
                                                                                                                                 radius of the Hagerstown Regional Airport-                                 software should be filed in native
                                                      AEA MD E2 Hagerstown, MD [Amended]                                         Richard A. Henson Field and within 3.1
                                                                                                                                                                                                            applications or print-to-PDF format and
                                                      Hagerstown Regional Airport-Richard A.                                     miles each side of the Hagerstown VOR 237°
                                                                                                                                 radial and 057° radial extending from 9.6                                  not in a scanned format.
                                                           Henson Field, MD
                                                        (Lat. 39°42′31″ N., long.77°43′35″ W.)                                   miles southwest of the VOR to 2.7 miles                                       • Mail/Hand Delivery: Those unable
                                                        That airspace extending upward from the                                  northeast of the VOR and within 4.4 miles                                  to file electronically may mail or hand-
                                                      surface to and including 3,200 feet MSL                                    each side of the Hagerstown Regional                                       deliver comments to: Federal Energy
                                                      within a 4.1-mile radius of Hagerstown                                     Airport-Richard A. Henson Field ILS Runway                                 Regulatory Commission, Secretary of the
                                                      Regional Airport-Richard A. Henson Field.                                  27 localizer course extending from the                                     Commission, 888 First Street NE.,
                                                      This Class E2 airspace area is effective during                            localizer to 12.6 miles east of the localizer                              Washington, DC 20426.
                                                      the specific dates and times when the Class                                and within 4.4 miles each side of the St.
                                                                                                                                 Thomas VORTAC 141° radial extending from                                      Instructions: For detailed instructions
                                                      D airspace area, as published in the Airport/                                                                                                         on submitting comments and additional
                                                      Facility Directory, is not in effect.                                      the 6.6-mile radius to the St. Thomas
                                                                                                                                 VORTAC, excluding that portion within                                      information on the rulemaking process,
                                                      Paragraph 6004 Class E Airspace                                            Prohibited Area P–40.                                                      see the Comment Procedures Section of
                                                      Designated as an Extension to a Class D                                                                                                               this document.
                                                                                                                                   Issued in College Park, Georgia, on January
                                                      Surface Area.
                                                                                                                                 27, 2016.                                                                  FOR FURTHER INFORMATION CONTACT:
                                                      *        *         *         *        *                                    Ryan W. Almasy,                                                            Emma Nicholson (Technical
                                                      AEA MD E4 Hagerstown, MD [Amended]                                         Acting Manager, Operations Support Group,                                     Information), Office of Energy Policy
                                                      Hagerstown Regional Airport-Richard A.                                     Eastern Service Center, Air Traffic                                           and Innovation, Federal Energy
                                                           Henson Field, MD                                                      Organization.                                                                 Regulatory Commission, 888 First
                                                         (Lat. 39°42′31″ N., long. 77°43′35″ W.)                                 [FR Doc. 2016–02023 Filed 2–3–16; 8:45 am]                                    Street NE., Washington, DC 20426,
                                                      Hagerstown VOR                                                             BILLING CODE 4910–13–P                                                        (202) 502–8846,
                                                         (Lat. 39°41′52″ N., long. 77°51′21″ W.)                                                                                                               emma.nicholson@ferc.gov.
                                                      Hagerstown Regional Airport-Richard A.                                                                                                                Pamela Quinlan (Technical
                                                           Henson Field ILS Runway 27 Localizer                                  DEPARTMENT OF ENERGY                                                          Information), Office of Energy Market
                                                         (Lat. 39°42′22″ N., long. 77°44′41″ W.)
                                                                                                                                                                                                               Regulation, Federal Energy Regulatory
                                                         That airspace extending upward from the                                 Federal Energy Regulatory                                                     Commission, 888 First Street NE.,
                                                      surface within 2.7 miles each side of the                                  Commission
                                                      Hagerstown VOR 237° radial and 057° radial                                                                                                               Washington, DC 20426, (202) 502–
                                                      extending from 7.4 miles southwest of the                                                                                                                6179, pamela.quinlan@ferc.gov.
                                                                                                                                 18 CFR Part 35                                                             Anne Marie Hirschberger (Legal
                                                      VOR to 1.8 miles northeast of the VOR and
                                                      within 2.7 miles each side of the Hagerstown                               [Docket No. RM16–5–000]                                                       Information), Office of the General
                                                      VOR 082° radial extending from the 4.1-mile                                                                                                              Counsel, Federal Energy Regulatory
                                                      radius of Hagerstown Regional Airport-                                     Offer Caps in Markets Operated by                                             Commission, 888 First Street NE.,
                                                      Richard A. Henson Field to the VOR, and                                    Regional Transmission Organizations                                           Washington, DC 20426, (202) 502–
                                                      within 4 miles each side of the Hagerstown                                 and Independent System Operators
                                                      Regional Airport-Richard A. Henson Field
                                                                                                                                                                                                               8387,
                                                      ILS Runway 27 localizer course extending                                   AGENCY: Federal Energy Regulatory                                             annemarie.hirschberger@ferc.gov.
                                                      from the localizer to 11.8 miles east of the                               Commission, Energy.                                                        SUPPLEMENTARY INFORMATION:
                                                      localizer, excluding that portion within                                   ACTION: Notice of proposed rulemaking.
                                                      Prohibited Area P–40.                                                                                                                                 Table of Contents

                                                                                                                                                                                                                                                       Paragraph Nos.
asabaliauskas on DSK5VPTVN1PROD with PROPOSALS




                                                      I. Background ................................................................................................................................................................................                6.
                                                           A. Offer Caps and Market Power Mitigation in RTOs/ISOs ...............................................................................................                                                   8.
                                                           B. Offer Cap Waivers and Tariff Changes ............................................................................................................................                                    12.
                                                           C. Comments About Offer Caps ...........................................................................................................................................                                18.
                                                               1. Need To Modify the Offer Cap ..................................................................................................................................                                  19.
                                                               2. Role of the Offer Cap in Market Power Mitigation ..................................................................................................                                              23.
                                                               3. Alternative Offer Cap Designs ...................................................................................................................................                                27.
                                                               4. RTO/ISO Seams and the Offer Cap ...........................................................................................................................                                      38.
                                                               5. Other Considerations .................................................................................................................................................                           40.
                                                      II. Need for Reform and Commission Proposal ..........................................................................................................................                                       42.
                                                           A. Need for Reform ...............................................................................................................................................................                      43.



                                                 VerDate Sep<11>2014         16:55 Feb 03, 2016         Jkt 238001      PO 00000        Frm 00009       Fmt 4702       Sfmt 4702      E:\FR\FM\04FEP1.SGM              04FEP1


                                                      5952                           Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules

                                                                                                                                                                                                                                                      Paragraph Nos.

                                                            B. Alternative Offer Cap Proposals Discussed in Comments .............................................................................................                                                49.
                                                            C. Commission Proposal .......................................................................................................................................................                        52.
                                                                1. Offer Cap Structure ....................................................................................................................................................                       53.
                                                                2. Cost-Based Incremental Energy Offer Verification ..................................................................................................                                            56.
                                                                3. Resource Neutrality ...................................................................................................................................................                        69.
                                                                4. Seams Issues ...............................................................................................................................................................                   70.
                                                                5. Other Considerations .................................................................................................................................................                         72.
                                                                6. Comments Sought on This Proposal .........................................................................................................................                                     73.
                                                      III. Compliance .............................................................................................................................................................................               74.
                                                      IV. Information Collection Statement ..........................................................................................................................................                             76.
                                                      V. Regulatory Flexibility Act Certification .................................................................................................................................                               80.
                                                      VI. Environmental Analysis .........................................................................................................................................................                        82.
                                                      VII. Comment Procedures ............................................................................................................................................................                        83.
                                                      VIII. Document Availability .........................................................................................................................................................                       87.
                                                      Appendix A: .................................................................................................................................................................................
                                                      List of Short Names/Acronyms of Commenters.


                                                         1. In this Notice of Proposed                                          resources have short-run marginal costs                                    incremental energy offer above $1,000/
                                                      Rulemaking (NOPR), the Federal Energy                                     above the offer cap but are unable to                                      MWh.
                                                      Regulatory Commission (Commission) is                                     reflect those costs within their                                              4. The Commission proposes to make
                                                      proposing to revise its regulations to                                    incremental energy offers due to the                                       a generic change to the offer cap
                                                      require that each regional transmission                                   offer cap, the RTO/ISO is not able to                                      applicable to all RTOs/ISOs through a
                                                      organization (RTO) and independent                                        dispatch the most efficient set of                                         rulemaking to avoid exacerbating seams
                                                      system operator (ISO) cap each                                            resources because it will not have access                                  issues. Seams issues could arise if one
                                                      resource’s incremental energy offer 1 to                                  to the underlying costs associated with                                    RTO/ISO has an offer cap that
                                                      the higher of $1,000/MWh or that                                          the multiple incremental energy offers                                     materially differed from a neighboring
                                                      resource’s verified cost-based                                            above the offer cap.                                                       RTO/ISO’s offer cap. Different offer caps
                                                      incremental energy offer. Under this                                                                                                                 in neighboring RTOs/ISOs could result
                                                                                                                                   3. To remedy these potential problems                                   in flows that depend on the level of the
                                                      proposal, verified cost-based
                                                                                                                                associated with the offer cap, the                                         two offer caps as opposed to economics
                                                      incremental energy offers above $1,000/
                                                                                                                                Commission proposes to require that                                        or reliability needs.
                                                      MWh would be used for purposes of
                                                                                                                                each RTO/ISO cap each resource’s                                              5. The Commission seeks comment on
                                                      calculating Locational Marginal Prices
                                                                                                                                incremental energy offer to the higher of                                  these proposed reforms sixty (60) days
                                                      (LMPs).
                                                                                                                                $1,000/MWh or an incremental energy                                        after publication of this NOPR in the
                                                         2. The Commission preliminarily                                        offer based on that resource’s short-run                                   Federal Register.
                                                      finds that the offer cap 2 on incremental                                 marginal cost (cost-based incremental
                                                      energy offers (offer cap) may no longer                                   energy offer). Under the proposal, the                                     I. Background
                                                      be just and reasonable for several                                        costs underlying each cost-based                                              6. On June 19, 2014, the Commission
                                                      reasons. The offer cap may unjustly                                       incremental energy offer above $1,000/                                     initiated the price formation
                                                      prevent a resource from recouping its                                     MWh must be verified before that offer                                     proceeding.6 In initiating that
                                                      costs by not permitting that resource to                                  could be used for purposes of                                              proceeding, the Commission stated that
                                                      include all of its short-run marginal                                     calculating LMPs. Under this proposal,                                     there may be opportunities for the
                                                      costs within its energy supply offer                                      the Market Monitoring Unit or the RTO/                                     RTOs/ISOs to improve the energy and
                                                      (supply offer). The offer cap may result                                  ISO, as prescribed in the RTO/ISO tariff                                   ancillary service price formation
                                                      in unjust and unreasonable rates                                          and consistent with Order No. 719,4                                        process. Staff conducted outreach and
                                                      because it can suppress LMPs to a level                                   must verify the costs within a cost-based                                  convened technical workshops on the
                                                      below the marginal cost of production.                                    incremental energy offer.5 The proposed                                    following four general issues: (1) Use of
                                                      Further, because of the offer cap, a                                      offer cap would be resource neutral, that                                  uplift payments; (2) offer price
                                                      resource with short-run marginal costs                                    is, any resource, regardless of fuel-type,                                 mitigation and offer caps; (3) scarcity
                                                      above that cap may choose not to offer                                    would be eligible to submit a cost-based                                   and shortage pricing; and (4) operator
                                                      its supply to the RTO/ISO, even though                                                                                                               actions that affect prices.7 During the
                                                      the market may be willing to purchase                                                                                                                fall of 2014, Commission staff convened
                                                                                                                                resources that are not subject to a must-offer
                                                      that supply.3 Finally, when several                                       requirement.                                                               three technical workshops and
                                                                                                                                  4 Wholesale Competition in Regions with                                  Commission staff issued reports on
                                                        1 The incremental energy offer is the portion of a
                                                                                                                                Organized Electric Markets, Order No. 719, FERC                            these topics. At the October 28, 2014
                                                      resource’s energy supply offer that varies with the                       Stats. & Regs. ¶ 31,281, at PP 370–375 (2008), order
                                                      output of the generator.                                                  on reh’g, Order No. 719–A, FERC Stats. & Regs.
                                                                                                                                                                                                           technical workshop, Commission staff
                                                        2 The offer cap for purposes of this NOPR refers                        ¶ 31,292 (2009), order on reh’g, Order No. 719–B,                          explored, among other topics, the
                                                      to the $/MWh limit on day-ahead and real-time                             129 FERC ¶ 61,252 (2009). See also 18 CFR                                  $1,000/MWh offer cap, including the
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                                                      incremental energy offers, and not any limits or                          35.28(g)(3)(iii)(B) (2015).                                                purpose of the offer cap and the role it
                                                      penalty rates that may apply in the capacity or                             5 Pursuant to 18 CFR 35.28(g)(3)(iii)(B), either the
                                                      ancillary services markets.
                                                                                                                                                                                                           plays in market power mitigation.8
                                                                                                                                internal or external market monitor can ‘‘provide
                                                        3 Resources that are subject to must-offer                              the inputs required to conduct prospective
                                                                                                                                                                                                             6 Price Formation in Energy and Ancillary
                                                      requirements, such as resources with a capacity                           mitigation . . . including, but not limited to
                                                      supply obligation, are required to submit a supply                        reference levels, identification of system                                 Services Markets Operated by Regional
                                                      offer to the energy market. Many resources are                            constraints, and cost calculations.’’ 18 CFR                               Transmission Organizations and Independent
                                                      subject to must-offer requirements in either the day-                     35.28(g)(3)(iii)(B) (2015). However, prospective                           System Operators, Notice, Docket No. AD14–14–
                                                      ahead or real-time markets. The proposed reform                           mitigation may only be carried out by an internal                          000 (June 19, 2014) (Price Formation Notice).
                                                                                                                                                                                                             7 Id. at 1, 3–4.
                                                      would ensure that such a resource has an economic                         market monitor if the RTO/ISO has a hybrid Market
                                                      incentive that matches its tariff obligation. It would                    Monitoring Unit structure. 18 CFR 35.28(g)(3)(iii)(D)                        8 See Supplemental Notice of Workshop on Price

                                                      also provide an economic incentive to those                               (2015).                                                                    Formation: Scarcity and Shortage Pricing, Offer



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                                                                            Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules                                                          5953

                                                      While this action proposes to address                   supply electricity in a given interval.                   oversees, and in some cases
                                                      mitigation relevant to energy offers                    The key financial components of a                         implements, the market power
                                                      above $1,000/MWh in RTO/ISO                             supply offer are the start-up cost, no-                   mitigation provisions. In general, when
                                                      markets, the Commission has also                        load cost, and incremental energy offers.                 a resource’s incremental energy offer is
                                                      instructed staff to undertake a more                    A resource includes its costs that vary                   mitigated, that offer is replaced with an
                                                      comprehensive review of the market                      with output in its incremental energy                     estimate of a competitive offer or an
                                                      power mitigation rules in the RTO/ISO                   offer, which typically consists of a                      estimate of that resource’s short-run
                                                      markets.                                                supply curve made up of multiple                          marginal cost.16 In most instances, once
                                                         7. Two of the Commission’s goals in                  (price, quantity) pairs that indicate the                 mitigated, a resource’s offer is eligible to
                                                      the price formation proceeding are                      price, expressed in $/MWh, that a                         set LMP.17 Mechanically, the RTOs/
                                                      relevant here. First, clearing prices in                resource is willing to accept to produce                  ISOs have adopted mitigation rules that
                                                      the energy and ancillary services                       a given quantity of energy.11                             either develop a proxy for a competitive
                                                      markets should ideally ‘‘reflect the true                  9. The LMP reflects the marginal cost                  offer or explicitly estimate short-run
                                                      marginal cost of production, taking into                of serving load at a specific location,                   marginal cost. Because we expect that a
                                                      account all physical system                             given the set of generators that are                      competitive offer will closely track a
                                                      constraints.’’ 9 Second, LMPs should                    dispatched and the limitations of the                     resource’s short-run marginal cost, both
                                                      ‘‘ensure that all suppliers have an                     transmission system.12 The LMP is                         methods for mitigating offers should
                                                      opportunity to recover their costs.’’ 10                calculated by an RTO/ISO as the sum of                    arrive at roughly the same result. The
                                                      Establishing LMPs that accurately                       three components: An energy charge, a                     Market Monitoring Units in CAISO,
                                                      reflect the marginal cost of production                 congestion charge, and a charge for                       MISO, ISO–NE., and NYISO typically
                                                      is a central goal of the price formation                transmission losses. The energy and                       mitigate the resource’s incremental
                                                      effort. This goal is important because                  congestion components of the LMP are                      energy offer to the proxy of a
                                                      LMPs are an effective way to                            established based on several factors,                     competitive offer that is calculated by
                                                      communicate information to market                       including the marginal resource’s                         the Market Monitoring Unit.18 However,
                                                      participants about the cost of providing                incremental energy offer, specifically                    these RTOs/ISOs also have provisions
                                                      the next unit of energy. In the short-run,              the $/MWh price associated with the                       whereby the Market Monitoring Unit,
                                                      accurate price signals from LMPs are                    MW output of the marginal resource.                       often after consultation with the
                                                      particularly important during high price                   10. All six Commission-jurisdictional                  resource itself, can estimate the
                                                      periods because they provide a signal to                RTOs/ISOs have imposed a $1,000/                          resource’s short-run marginal cost,
                                                      customers to reduce consumption and a                   MWh cap on incremental energy                             which will form the basis of that
                                                      signal to suppliers to increase                         offers.13 The offer cap remains at                        resource’s mitigated incremental energy
                                                      production or to offer new supplies to                  $1,000/MWh in all RTOs/ISOs except                        offer. In PJM and SPP, resource owners
                                                      the market. In the long-run, accurate                   PJM because, as discussed further                         develop cost-based incremental energy
                                                      price signals from LMPs are important                   below, the Commission recently                            offers consistent with the requirements
                                                      because they inform investment                          approved PJM’s proposal to raise the                      of these RTOs’ tariffs and business
                                                      decisions. It is also important that                    offer cap on cost-based offers in PJM to                  practice manuals and those cost-based
                                                      RTOs/ISOs give resources the                            $2,000/MWh.14 In each RTO/ISO, a                          offers are subject to review by the
                                                      opportunity to recover their costs                      resource’s incremental energy offer is                    Market Monitoring Unit.19
                                                      because failing to do so may discourage                 subject not only to the offer cap, but also                  11. While the offer cap restricts
                                                      resources from participating in RTO/ISO                 to market power mitigation                                incremental energy offers, the offer cap
                                                      energy markets. Adequate investment in                  provisions.15 The Market Monitoring                       does not limit LMPs to the level of the
                                                      resources and participation of resources                Unit for each RTO/ISO currently                           offer cap (be it $1,000/MWh or $2,000/
                                                      in RTO/ISO energy markets are
                                                                                                                                                                        MWh) because the congestion and loss
                                                      necessary to ensure economic and                           11 RTOs/ISOs typically restrict incremental
                                                                                                                                                                        components of the LMP can cause the
                                                      reliable energy for consumers.                          energy supply curves to ten price and quantity pairs
                                                                                                              (i.e., ($/MWh, MW)).
                                                                                                                                                                        LMP to exceed the offer cap. Scarcity
                                                      A. Offer Caps and Market Power                             12 See Federal Energy Regulatory Commission,           pricing and emergency purchases can
                                                      Mitigation in RTOs/ISOs                                 Division of Energy Market Oversight Office of
                                                                                                              Enforcement, Energy Primer, at 60 (Nov. 2015),              16 The RTOs/ISOs use different terms for a
                                                         8. Supply offers in day-ahead and                    http://www.ferc.gov/market-oversight/guide/energy-        mitigated offer. ISO–NE., MISO, and NYISO
                                                      real-time energy markets consist of both                primer.pdf.                                               mitigate supply offers to a ‘‘Reference Level.’’ See
                                                      physical components and financial                          13 See, e.g., California Independent System            ISO–NE., Transmission Markets and Services Tariff,
                                                      components. The physical components                     Operator Corporation (CAISO), eTariff, 39.6.1.1           Market Rule 1, III.A.7.2; MISO FERC Electric Tariff,
                                                                                                              (11.0.0); ISO New England Inc. (ISO–NE),                  64.1.4 (30.0.0); NYISO, NYISO Tariffs, NYISO
                                                      of a supply offer describe the resource’s                                                                         Markets and Services Tariff, 23.3.1.4 (11.0.0).
                                                                                                              Transmission, Markets and Services Tariff, Market
                                                      physical operating parameters, such as                  Rule 1, III.1.10.1A(d)(ix), III,1.10.IA(c)(iv),           CAISO mitigates supply offers to ‘‘Default Energy
                                                      its minimum and maximum operating                       III.2.6(b)(i), and III.A.15.1(b) (27.0.0); Midcontinent   Bids.’’ See CAISO, eTariff, 39.7.1 (11.0.0). PJM
                                                      limits in a given day-ahead or real-time                Independent System Operator, Inc. (MISO), FERC            mitigates supply offers to a ‘‘cost-based offer.’’ See
                                                                                                              Electric Tariff, 39.2.5 (35.0.0), 39.2.5A (34.0.0),       PJM Operating Agreement, Schedule 1, 1.10.1A
                                                      interval, and are denominated in MW,                                                                              (24.0.0) and 6.4.1 (7.0.0). SPP mitigates supply
                                                                                                              39.2.5B (34.0.0), 40.2.5 (35.0.0), 40.2.6 (35.0.0) and
                                                      MWh, time, or some combination                          40.2.7 (33.0.0); New York Independent System              offers to a ‘‘Mitigated Energy Bid.’’ See SPP OATT,
                                                      thereof. The financial components of a                  Operator, Inc. (NYISO), NYISO Tariffs, NYISO              Sixth Revised Volume No. 1, Attachment AF, 3.2
                                                      supply offer are denominated in dollars                 Markets and Services Tariff, 21.4 and 21.5.1 (7.0.0);     (7.0.0). For purposes of this NOPR, the offers RTOs/
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                                                                                                              PJM Interconnection, L.L.C. (PJM), Intra-PJM              ISOs use for purposes of mitigation will be referred
                                                      (e.g., $/start and $/MWh) and represent                                                                           to as ‘‘cost-based offers.’’
                                                                                                              Tariffs, OATT, Tariff Operating Agreement,
                                                      the costs underlying a resource’s offer to              Attachment K, Appendix, 1.10.1A(d) (24.0.0);                17 There are exceptions to this eligibility, for

                                                                                                              Southwest Power Pool, Inc. (SPP), OATT, Sixth             instance, when a resource is committed outside of
                                                      Mitigation, and Offer Caps in RTO and ISO Markets,      Revised Volume No. 1, Attachment AE, Section              the market clearing process.
                                                      Docket No. AD14–14–000 (Oct. 10, 2014).                 4.1.1 (2.0.0).                                              18 See supra n.16.
                                                         9 Price Formation Notice at 2.                          14 PJM Interconnection L.L.C., 153 FERC ¶ 61,289,        19 PJM resources develop cost-based offers
                                                         10 See Price Formation in Energy and Ancillary       at P 25 (2015) (PJM 2015/16 Offer Cap Order). The         pursuant to PJM Manual 15: Cost Development
                                                      Servs. Mkts. Operated by Reg’l Transmission Orgs.       tariff provisions related to the offer cap do not have    Guidelines. SPP resources develop Mitigated
                                                      & Indep. Sys. Operators, 153 FERC ¶ 61,221, at P        a sunset date.                                            Energy Bids pursuant to SPP’s Mitigated Offer
                                                      2 (2015); see also Price Formation Notice at 2.            15 See 18 CFR 35.28(g)(3)(iii)(B)–(D) (2015).          Guidelines in the SPP Market Protocols.



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                                                      5954                  Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules

                                                      also cause LMPs to exceed the offer cap                 and cost-based offers were used for                       17. For the winter of 2015/16, PJM 34
                                                      even though incremental energy offers                   purposes of calculating LMPs.26                        and MISO 35 again filed requests to
                                                      are limited by the offer cap.                              15. Similarly, high natural gas prices              modify their respective offer caps. The
                                                                                                              in New York prompted NYISO to file a                   Commission accepted tariff revisions in
                                                      B. Offer Cap Waivers and Tariff Changes                                                                        PJM that would raise the offer cap on
                                                                                                              waiver request related to its offer cap.27
                                                         12. The $1,000/MWh offer cap dates                                                                          cost-based offers to $2,000/MWh for
                                                                                                              Natural gas prices at the Transco Zone
                                                      back to 1999 when PJM first launched                                                                           purposes of calculating LMPs going
                                                                                                              6 NY hub in New York rose above $120/                  forward.36 In accepting the changes, the
                                                      its market.20 According to PJM’s market                 MMBtu in January 2014. In response,                    Commission reasoned that PJM’s
                                                      monitor, PJM’s offer cap was then set to                NYISO requested that resources be                      proposal would send transparent market
                                                      a level that stakeholders considered                    permitted to recover any unrecovered                   signals, promote efficient resource
                                                      ‘‘beyond the possible pale’’ of a                       costs above $1,000/MWh through uplift                  selection, and address the risks caused
                                                      resource’s short-run marginal cost.21                   payments. The Commission granted                       by high natural gas prices while
                                                      PJM states that its $1,000/MWh offer                    NYISO’s requested waiver for the                       protecting consumers by requiring cost
                                                      cap was never intended to limit                         January 22–February 28, 2014 period.28                 verification of incremental energy offers
                                                      incremental energy offers below a                                                                              above $1,000/MWh.37 The Commission
                                                                                                                 16. In the following winter of 2014/
                                                      resource’s marginal cost to produce                                                                            granted MISO’s request to waive
                                                      energy.22                                               15, citing concerns about the potential
                                                                                                              for a repeat of the high natural gas                   provisions related to the offer cap for
                                                         13. Extreme weather during the                       prices experienced during the Polar                    the January 1, 2016–April 30, 2016
                                                      winter of 2013/14, dubbed the ‘‘Polar                                                                          period. The MISO waiver for the winter
                                                                                                              Vortex, PJM and MISO submitted
                                                      Vortex,’’ caused PJM and NYISO to                                                                              of 2015/16 was virtually identical to the
                                                                                                              fillings to allow recovery of costs above
                                                      request tariff waivers associated with                                                                         waiver for the winter of 2014/15 and
                                                                                                              $1,000/MWh during the winter months.                   allowed MISO resources to include
                                                      the $1,000/MWh offer cap. During the                    Both PJM 29 and MISO 30 expressed
                                                      Polar Vortex, various weather-related                                                                          incremental energy costs in excess of
                                                                                                              concerns that the $1,000/MWh offer cap                 $1,000/MWh in the no-load component
                                                      conditions led to a significant increase                could prevent a resource from recouping
                                                      in the price of natural gas.23 Natural gas                                                                     of their offers.38
                                                                                                              its short-run marginal costs. The
                                                      prices at two key pricing points in PJM                                                                        C. Comments About Offer Caps
                                                                                                              Commission accepted tariff provisions
                                                      rose above $120 per million British
                                                                                                              that temporarily raised PJM’s offer cap                   18. In its January 2015 notice inviting
                                                      Thermal Units (MMBtu), which could                                                                             post-technical workshop comments in
                                                                                                              on cost-based offers to $1,800/MWh
                                                      have caused some PJM resources with                                                                            the price formation proceeding, the
                                                                                                              during the January 16–March 31, 2015
                                                      must-offer requirements to operate at a                                                                        Commission asked specific questions
                                                                                                              period.31 The Commission granted a
                                                      loss because their short-run marginal                                                                          about the $1,000/MWh offer cap and
                                                      costs were above the $1,000/MWh offer                   waiver that permitted resources in
                                                                                                              MISO to include incremental energy                     asked stakeholders to comment on
                                                      cap.24                                                                                                         various alternative offer cap designs.39
                                                                                                              costs in excess of $1,000/MWh in the
                                                         14. In response, on January 23, 2014,                no-load component of their supply                      Comments about the $1,000/MWh offer
                                                      PJM filed concurrently two tariff waiver                                                                       cap focus on the need to modify the
                                                                                                              offers during the December 20, 2014–
                                                      requests related to its offer cap. In its                                                                      offer cap, the role that the offer cap
                                                                                                              April 30, 2015 period.32 When accepting
                                                      first request, which the Commission                                                                            plays in market power mitigation,
                                                                                                              PJM’s proposal and granting MISO’s                     alternative offer cap designs, potential
                                                      granted for the January 24–February 10,                 waiver request, the Commission
                                                      2014 period, PJM requested that certain                                                                        seams issues, and other considerations.
                                                                                                              reasoned that market conditions during
                                                      resources with cost-based offers above                                                                         1. Need To Modify the Offer Cap
                                                                                                              the previous 2013/14 winter
                                                      $1,000/MWh receive uplift payments to
                                                                                                              demonstrated that the $1,000/MWh                          19. Commenters differ about the need
                                                      recoup those costs.25 In its second
                                                                                                              offer cap could prevent resources from                 to raise or remove the $1,000/MWh offer
                                                      request, which the Commission granted
                                                                                                              submitting incremental energy offers                   cap. Several commenters argue that the
                                                      for the February 11–March 31, 2014
                                                                                                              that reflect their marginal costs and                  $1,000/MWh offer cap should be raised
                                                      period, PJM requested that certain                                                                             or removed entirely, given recent
                                                                                                              could therefore force resources to offer
                                                      resources be allowed to submit cost-                                                                           occurrences of high natural gas prices.
                                                      based offers in excess of $1,000/MWh                    to sell electricity below cost.33 Tariff
                                                                                                              provisions related to the offer cap in
                                                                                                                                                                       34 PJM, Proposed Tariff Revisions, Docket No.
                                                        20 See  Docket Nos. OA97–261–000 and ER97–
                                                                                                              both MISO and PJM reverted back to
                                                                                                                                                                     ER16–76–000 (filed Oct. 14, 2015).
                                                      1082–000 (Apr. 1, 1997); Pennsylvania-New Jersey-       their original form in spring 2015.                      35 MISO, Request for Waiver, Docket No. ER16–
                                                      Maryland Interconnection, 81 FERC ¶ 61,257                                                                     248–000 (filed Nov. 2, 2015).
                                                      (1997).                                                    26 PJM Interconnection, L.L.C., 146 FERC              36 PJM 2015/16 Offer Cap Order, 153 FERC
                                                        21 Scarcity and Shortage Pricing, Offer Mitigation
                                                                                                              ¶ 61,078, at PP 3–4 (2014).                            ¶ 61,289 at P 25. The tariff provisions related to the
                                                      and Offer Caps Workshop, Docket No. AD14–14–               27 N.Y. Indep. Sys. Operator, Inc., 146 FERC        offer cap do not have a sunset date.
                                                      000, Tr. 209:18–22 (Oct. 28, 2014).                                                                              37 Id. PP 25–26. Resources can submit cost-based
                                                        22 PJM Comments at 2. All comments cited herein
                                                                                                              ¶ 61,061, at PP 2–4 (2014).
                                                                                                                 28 Id. P 24.
                                                                                                                                                                     offers above $2,000/MWh and PJM will use such
                                                      were submitted in Docket No. AD14–14–000 on or                                                                 offers for merit order dispatch, but incremental
                                                                                                                 29 PJM Interconnection L.L.C., 150 FERC ¶ 61,020,
                                                      about March 6, 2015.                                                                                           energy offers used for purposes of calculating LMP
                                                        23 See, e.g., FERC Staff, Commission and Industry     at P 5 (2015) (PJM 2014/15 Offer Cap Order).           are capped at $2,000/MWh.
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                                                      Actions Relevant to Winter 2013–14 Weather Events          30 Midcontinent Indep. Sys. Operator, Inc., 150       38 Midcontinent Indep. Sys. Operator, Inc., 154
                                                      (Oct. 16, 2014), https://www.ferc.gov/media/news-       FERC ¶ 61,083, at P 3 (2015) (MISO 2014/15 Offer       FERC ¶ 61,006 (2015) (MISO 2015/16 Offer Cap
                                                      releases/2014/2014-4/10-16-14-A-4-                      Cap Order).                                            Order).
                                                      presentation.pdf.                                          31 PJM 2014/15 Offer Cap Order, 150 FERC              39 Price Formation in Energy and Ancillary
                                                        24 PJM Interconnection, L.L.C., 146 FERC
                                                                                                              ¶ 61,020.                                              Services Markets Operated by Regional
                                                      ¶ 61,041, at P 2, order on reh’g, 149 FERC ¶ 61,059        32 MISO 2014/15 Offer Cap Order, 150 FERC
                                                                                                                                                                     Transmission Organizations and Independent
                                                      (2014). For example, a natural gas resource with a                                                             System Operators, Notice Inviting Post-Technical
                                                      heat rate of 8,350 Btu/kWh could have short-run         ¶ 61,083.                                              Workshop Comments, Docket No. AD14–14–000, at
                                                      marginal fuel costs above $1,000/MWh if the                33 See PJM 2014/15 Offer Cap Order, 150 FERC ¶
                                                                                                                                                                     2–3 (Jan. 16, 2015). A list of commenters and the
                                                      natural gas price exceeds $120/MMBtu.                   61,020 at P 34; MISO 2014/15 Offer Cap Order, 150      abbreviated names the Commission will use for
                                                        25 Id. P 1.                                           FERC ¶ 61,083 at P 17.                                 them in this document appears in Appendix A.



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                                                                            Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules                                                    5955

                                                      Some commenters cite the recent offer                      22. Some commenters oppose                           general market power concerns, but
                                                      cap waiver orders as evidence that the                  modifying the $1,000/MWh offer cap.51                   explained that the offer cap addresses
                                                      current offer cap is not just and                       CAISO, ISO–NE, and NYISO assert that,                   gaming strategies that market
                                                      reasonable.40 Several commenters                        because resource marginal costs are well                participants may engage in to collect
                                                      reference the Polar Vortex in the winter                below $1,000/MWh, there is no                           undue uplift payments.61
                                                      of 2013/14, when resources experienced                  evidence that the $1,000/MWh offer cap                     24. In response to the Commission’s
                                                      marginal production costs in excess of                  should be raised in their respective                    request for comments on price
                                                      $1,000/MWh, as evidence that the                        markets.52 CAISO opposes any effort to                  formation topics, several commenters
                                                      current offer cap is inappropriate.41 For               increase the offer cap until sufficient                 suggest that the offer cap’s purpose has
                                                      example, OMS states that it is                          benefits are identified.53 NCPA, PG&E,                  been supplanted by improvements in
                                                      appropriate to consider an upward                       and SCE state that the current offer cap                market monitoring and mitigation and
                                                      revision or removal of the offer cap to                 ensures just and reasonable rates and                   the Commission’s enforcement
                                                      ensure supply adequacy during extreme                   mitigates market power in CAISO.54                      activity.62 Wisconsin Electric asserts
                                                                                                              NCPA and SCE state that the offer cap                   that the offer cap is irrelevant because
                                                      events such as those that occurred
                                                                                                              is sufficient in CAISO because                          RTO/ISO market monitors have effective
                                                      during the winter of 2013/14.42
                                                                                                              generators there have never experienced                 mitigation measures in place and can
                                                        20. Several commenters also assert                    costs above $1,000/MWh.55 SCE adds                      refer suspected manipulation to the
                                                      that the offer cap distorts price signals               that the marginal cost of the least                     Commission’s Office of Enforcement.63
                                                      and creates market inefficiencies.43                    efficient CAISO resource at the highest                 Direct Energy states that an offer cap is
                                                      Commenters state that the offer cap                     natural gas price seen in the region is                 not necessary when resources cannot
                                                      artificially suppresses clearing prices.44              only $390/MWh.56 APPA and NRECA                         exercise market power because
                                                      Some commenters believe that the offer                  assert that there is insufficient                       competition will discipline offers.64
                                                      cap restricts market participants from                  justification to remove offer caps                      GDF SUEZ argues that offer caps are the
                                                      receiving appropriate compensation for                  nationwide.57                                           least efficient method of protection
                                                      costs incurred legitimately.45                          2. Role of the Offer Cap in Market Power                against uncompetitive offers because
                                                        21. Several commenters stress that the                Mitigation                                              offer caps are indifferent to the specifics
                                                      offer cap should be high enough to                                                                              of a supply offer and do not reflect
                                                                                                                 23. At the October 28, 2014 price                    potentially changed circumstances since
                                                      ensure that resources can reflect their                 formation technical workshop, several
                                                      actual costs in supply offers.46 EPSA                                                                           the offer cap level was established over
                                                                                                              market monitors discussed the backstop
                                                      maintains that the offer cap was never                                                                          ten years ago.65
                                                                                                              role that the $1,000/MWh offer cap
                                                      intended to suppress marginal cost                                                                                 25. Several other commenters assert
                                                                                                              plays in market power mitigation.
                                                      bidding.47 MISO states that the offer cap                                                                       that the offer cap is a backstop measure
                                                                                                              NYISO’s internal market monitor stated
                                                      should be modified to ensure that all                                                                           to protect consumers against the
                                                                                                              that the offer cap provided a ‘‘backstop’’
                                                      resources are able to recover at least the                                                                      exercise of market power during tight
                                                                                                              assurance to protect consumers in the
                                                      costs they incur to produce energy.48                                                                           system conditions.66 Other commenters
                                                                                                              event that NYISO’s market mitigation
                                                      MISO and PJM contend that an offer cap                                                                          emphasize the importance of
                                                                                                              measures fail.58 Similarly, ISO–NE’s
                                                      that prevents resource cost recovery can                                                                        strengthening market monitoring and
                                                                                                              internal market monitor stated that the
                                                      increase the likelihood that resources                                                                          mitigation provisions if offer caps are
                                                                                                              offer cap is a device that limits the
                                                      will be unavailable to system                           potential damage to consumers or the                    eliminated or increased.67 ISO–NE
                                                      operators.49 SPP and Western Power                      market in the event that market power                   asserts that while the offer cap has
                                                                                                              mitigation measures are unsuccessful.59                 become less important with market
                                                      Trading Forum state that raising the
                                                                                                              CAISO’s internal market monitor stated                  power mitigation, the offer cap still
                                                      offer cap might reduce out-of-market
                                                                                                              that the offer cap primarily functions as               serves as a ‘‘fail-safe’’ mechanism to
                                                      operator actions and uplift.50
                                                                                                              a ‘‘damage control cap’’ but also noted                 protect consumers in the unlikely event
                                                         40 ANGA Comments at 2; Brookfield Comments at        that the offer cap affects the penalty                  that the market is not competitive and
                                                      7; EPSA Comments at 24; Entergy Nuclear Power           prices of constraints in CAISO’s market                 market power mitigation fails to assure
                                                      Marketing Comments at 11–12; Exelon Comments at         software.60 Potomac Economics, which                    competitive supply offers.68 OMS warns
                                                      10–11; PJM Comments at 2–3; PJM Power Providers
                                                                                                              serves as an external market monitor for                that any effort to raise or remove the
                                                      Comments at 2–4; SPP Comments at 1; Western                                                                     offer cap must be based on the
                                                      Power Trading Forum Comments at 5–6.                    MISO, ISO–NE., and NYISO, stated that
                                                         41 EPSA Comments at 21–24; Exelon Comments at        the offer cap is too high to address                    Commission’s confidence not only in
                                                      10–12; OMS Comments at 2; PJM Comments at 2–                                                                    the ability of RTO/ISO market power
                                                      3; PJM Power Providers Comments at 2.                     51 APPA and NRECA Comments at 30; CAISO               mitigation provisions to prevent
                                                         42 OMS Comments at 2.
                                                                                                              Comments at 3; ELCON Comments at 6.
                                                         43 PJM Utilities Coalition Comments at 3–4;            52 CAISO Comments at 3; ISO–NE Comments at              61 Id. at 211:25–212:14.
                                                      Western Power Trading Forum Comments at 5.              3 & n.2; NYISO Comments at 4.                             62 ANGA    Comments at 2–3; Entergy Nuclear
                                                         44 Direct Energy Comments at 2; EPSA Comments          53 CAISO Comments at 3.                               Power Marketing Comments at 11; EPSA Comments
                                                      at 21.                                                    54 NCPA Comments at 2; PG&E Comments at 3;            at 22–23; Exelon Comments at 11–12; Wisconsin
                                                         45 ANGA Comments at 2–3; Xcel Comments at 2.         SCE Comments at 3; see also California State Water      Electric Comments at 2–3; Xcel Comments at 2.
                                                         46 ANGA Comments at 2; Brookfield Comments at        Project Comments at 2; New York Transmission               63 Wisconsin Electric Comments at 2.

                                                      7; Entergy Nuclear Power Marketing Comments at          Owners Comments at 2.                                      64 Direct Energy Comments at 2.
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                                                      11–12; ISO–NE Comments at 5; IRC Comments at              55 NCPA Comments at 2–3; SCE Comments at 2.              65 GDF SUEZ Comments at 3.
                                                      2–3; MISO Comments at 4; PJM Comments at 2; PJM           56 SCE Comments at 2. According to SCE, the              66 ISO–NE Comments at 4; MISO Comments at 5–
                                                      Power Providers Group Comments at 2–4; Potomac          $390/MWh figure assumes a heat rate of 17,000 Btu/      6; New York Transmission Owners Comments at 2–
                                                      Economics Comments at 3; Powerex Comments at            kWh, slightly higher than the least efficient unit in   3; NYISO Comments at 3; TAPS Comments at 10–
                                                      29–30; PSEG Companies Comments at 5–6; Western          CAISO, and a natural gas price of $23/MMBtu.            11; California State Water Project Comments at 2–
                                                      Power Trading Forum Comments at 5–6.                      57 APPA and NRECA Comments at 32.
                                                                                                                                                                      3.
                                                         47 EPSA Comments at 21–22.                             58 Scarcity and Shortage Pricing, Offer Mitigation       67 Direct Energy Comments at 2; MISO Comments
                                                         48 MISO Comments at 4.                               and Offer Caps Workshop, Docket No. AD14–14–            at 9; NCPA Comments at 3; New York Transmission
                                                         49 Id.; PJM Comments at 2.                           000, Tr. 205:6–15 (Oct. 28, 2014).                      Owners Comments at 4; Wisconsin Electric
                                                         50 SPP Comments at 1; Western Power Trading            59 Id. at 206:24–207:7.                               Comments at 2–3.
                                                      Forum Comments at 5–6.                                    60 Id. at 210:14–23.                                     68 ISO–NE Comments at 4.




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                                                      5956                  Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules

                                                      generator market power abuses, but also                 costs exceed $1,000/MWh can be                        while arguably less opaque, can become
                                                      in whether the prices of input costs                    addressed effectively through uplift                  ‘‘stale’’ during the operating day.86
                                                      were developed in a competitive                         payments without raising the offer cap                MISO argues that although it may
                                                      market.69                                               or otherwise including such costs in the              consider a floating offer cap in the
                                                         26. Potomac Economics maintains                      LMP.75 APPA and NRECA state they                      longer term, a transition to such an offer
                                                      that the offer cap is necessary to keep                 support generator recovery of legitimate              cap would likely require substantial
                                                      resources from exploiting any                           and verified costs but assert that such               system changes.87 ISO–NE asserts that if
                                                      previously unknown flaws in market                      costs should not necessarily be included              the Commission is concerned that a
                                                      rules.70 Some commenters assert that                    in LMP.76 APPA and NRECA add that                     fixed offer cap lacks flexibility, the
                                                      due to load’s inelastic demand for                      uplift will ensure cost recovery without              Commission should revisit the offer cap
                                                      electricity, offer caps are necessary to                risking market power abuse and what                   over time as the markets for the major
                                                      protect consumers from excessive prices                 APPA and NRECA say would be the                       fuels used in power generation continue
                                                      and to maintain confidence that rate                    attendant increased unjust and                        to evolve.88
                                                      structures are fair and                                 unreasonable rates.77
                                                      nondiscriminatory.71 TAPS states that                                                                         c. Higher Fixed Offer Cap
                                                                                                                 29. APPA and NRECA assert that the
                                                      on normal days when there are no                        market clearing process does not allow                   32. Some commenters support raising
                                                      generators with marginal costs                          sufficient time to verify whether                     the offer cap to a higher level. ANGA
                                                      ‘‘anywhere close to’’ $1,000/MWh, there                 incremental energy offers above $1,000/               states that, at a minimum, the offer cap
                                                      are still 3,000 to 4,000 MW offered at                  MWh are in fact cost-based; thus, these               should be increased significantly to
                                                      the offer cap.72 TAPS suggests that                     commenters argue, such cost                           reduce unnecessary market
                                                      weakening the offer cap is particularly                 verification should occur after-the-fact,             distortions.89 Exelon argues that the
                                                      dangerous because energy markets                        with costs in excess of the offer cap                 current $1,000/MWh cap on market-
                                                      cannot be halted, so if widespread abuse                recovered through uplift.78 SCE and                   based offers in PJM should be
                                                      occurs, after-the-fact resettlements incur              PG&E state that CAISO has tools to                    eliminated, but maintains that, if the
                                                      massive costs and diversion of                          accommodate the rare instances when                   offer cap remains in place, it should be
                                                      resources.73 APPA and NRECA assert                      the $1,000/MWh offer cap is insufficient              raised to account for the highest
                                                      that the offer cap should only be                       to recover a resource’s costs.79                      reasonably expected offer, and that cost-
                                                      increased if RTOs/ISOs can guarantee                                                                          based offers should be allowed to
                                                      that all offers are cost-based in order to              b. Floating Offer Cap                                 exceed the market-based offer cap.90
                                                      guarantee appropriate prices and                           30. Several commenters support a                      33. If the Commission chooses to raise
                                                      prevent the need to re-run markets after-               floating offer cap that changes with                  the offer cap, ISO–NE urges using a
                                                      the-fact.74                                             generator input costs, such as the price              simple numerical value rather than a
                                                      3. Alternative Offer Cap Designs                        of natural gas. Calpine asserts that offer            more complicated formula.91 ISO–NE is
                                                                                                              caps should be flexible and responsive                neutral on raising the offer cap but
                                                         27. In its January 2015 notice inviting              to changes in natural gas prices,80 and               suggests that any changes to the offer
                                                      post-technical workshop comments in                     recommends that the Commission                        cap level be made in a straightforward
                                                      the price formation proceeding, the                     encourage each RTO/ISO to implement                   manner so that participants know with
                                                      Commission sought comment on                            a floating offer cap.81 Powerex suggests              certainty what the offer cap will be
                                                      potential alternative offer cap designs,                that the offer cap could equal the higher             when they make advance fuel-supply
                                                      including (1) maintaining the $1,000/                   of $1,000/MWh or some multiple of a                   arrangements.92 MISO does not oppose
                                                      MWh offer cap and compensating                          pre-defined regional natural gas index.82             raising the offer cap but favors a fixed
                                                      resources for incremental energy costs                  SPP states that a seasonal fixed offer cap            offer cap to a floating offer cap in the
                                                      above the $1,000/MWh offer cap                          might be appropriate.83 Similarly, OMS                short term.93 MISO states that a fixed
                                                      through uplift; (2) adopting a floating                 maintains that the offer cap need not be              offer cap simplifies the process of
                                                      offer cap that changes with natural gas                 constant throughout the year if resource              implementing related market
                                                      prices; (3) raising the offer cap to a                  costs vary throughout the year.84                     mechanisms such as scarcity or shortage
                                                      higher fixed level; and (4) allowing                       31. ISO–NE and MISO, however,                      pricing, ancillary services, and
                                                      resources to submit cost-based offers                   argue that a floating offer cap would be              transmission demand curves and notes
                                                      above $1,000/MWh and allowing                           difficult to implement.85 ISO–NE                      that MISO’s current market software
                                                      verified cost-based offers above $1,000/                opposes basing the offer cap on an index              systems were designed based upon a
                                                      MWh to set LMP.                                         that attempts to track fuel prices,                   fixed offer cap.94
                                                      a. Maintain Current Offer Cap With                      arguing that doing so would be complex                   34. TAPS asserts that permanently
                                                      Uplift                                                  and difficult to implement because                    increasing the offer cap to allow
                                                         28. Some commenters assert that                      intra-day natural gas indices are opaque              incremental energy offers above $1,000/
                                                      infrequent events where production                      and day-ahead natural gas indices,                    MWh ‘‘day-in and day-out’’ would
                                                                                                                                                                    sacrifice the benefits of the current offer
                                                        69 OMS   Comments at 2.
                                                                                                                75 Id. at 29–31; California State Water Project
                                                                                                                                                                    cap as a ‘‘backstop’’ protection against
                                                                                                              Comments at 2–3; New York Transmission Owners         market power abuse to address ‘‘extreme
                                                        70 Potomac Economics Comments at 3–4.
                                                                                                              Comments at 2–3.
                                                        71 ELCON Comments at 6; TAPS Comments at 10–                                                                circumstances’’ that rarely, if ever,
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                                                                                                                76 APPA and NRECA Comments at 31.
                                                      11.                                                       77 Id. at 31.
                                                        72 TAPS Comments at 12–13 (citing Scarcity and                                                                86 ISO–NE
                                                                                                                78 Id. at 31–32.                                                   Comments at 6.
                                                      Shortage Pricing, Offer Mitigation and Offer Caps         79 PG&E Comments at 3–4; SCE Comments at 3.           87 MISO    Comments at 5–6.
                                                      Workshop, Docket No. AD14–14–000, Tr. 217:17–21           80 Calpine Comments at 4–6.                           88 ISO–NE Comments at 6–7.
                                                      (Oct. 28, 2014)).                                                                                               89 ANGA Comments at 3.
                                                                                                                81 Id. at 21.
                                                        73 TAPS Comments at 11 (citing Written
                                                                                                                82 Powerex Comments at 30.                            90 Exelon Comments at 12.
                                                      Statement of Patrick T. Connors on Behalf of WPPI
                                                                                                                83 SPP Comments at 1.                                 91 ISO–NE Comments at 6.
                                                      Energy and the Transmission Access Policy Study
                                                                                                                                                                      92 Id. at 3–4.
                                                      Group Regarding Impacts of Offer Caps and Market          84 OMS Comments at 3.

                                                      Power Mitigation, at 5 (Dec. 3, 2014)).                   85 ISO–NE Comments at 4–6; MISO Comments at           93 MISO Comments at 4–5.
                                                        74 APPA and NRECA Comments at 31–32.                  5–7.                                                    94 Id. at 5.




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                                                                            Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules                                                  5957

                                                      occur.95 APPA and NRECA argue that it                   not purchase natural gas before                       establish consistent shortage pricing
                                                      is not necessary to increase the offer cap              submitting offers and because natural                 between neighboring RTOs/ISOs.113
                                                      broadly because APPA and NRECA say                      gas quotes might not be available.                      39. In contrast, APPA and NRECA and
                                                      there is no evidence that the $1,000/                   CAISO also states that natural gas prices             NCPA state that offer cap levels should
                                                      MWh offer cap is persistently flawed.96                 and quotes may be subject to                          be set according to the needs of each
                                                      APPA and NRECA add that resources’                      manipulation, thereby making fuel cost                individual RTO/ISO.114 APPA and
                                                      incremental energy offers only exceeded                 verification difficult.105 CAISO requests             NRECA assert that the Commission
                                                      $1,000/MWh in PJM on ‘‘just a few days                  that if the Commission directs RTOs/                  should only consider raising the offer
                                                      in one month of one year.’’ 97                          ISOs to pay resources uplift for fuel                 cap on a region-by-region basis where
                                                      d. Permitting Cost-Based Incremental                    costs above the offer cap, then only                  the evidence demonstrates a need for a
                                                      Energy Offers Above $1,000/MWh                          incremental fuel costs associated with                higher offer cap.115 Direct Energy and
                                                                                                              the incremental energy offer be                       PJM Utilities Coalition, respectively,
                                                         35. Some commenters argue that cost-                 reimbursable. In contrast, CAISO states               state that different offer caps may be
                                                      based incremental energy offers should                  that costs such as natural gas pooling,               appropriate if the RTOs/ISOs use the
                                                      not be capped.98 PJM states that cost-                  imbalance penalties, or risk premiums                 same methodology to determine the
                                                      based offers should not be subject to                   should be recovered through capacity                  offer caps or where the different offer
                                                      offer caps because offer caps impose                    payments.106                                          cap levels represent true differences in
                                                      arbitrary limits.99 PJM suggests that one                                                                     cost.116
                                                                                                                37. TAPS contends that advance
                                                      approach may be to set a market-based
                                                                                                              review and verification of cost-based                 5. Other Considerations
                                                      offer cap on an annual basis at some
                                                                                                              incremental offers should be possible
                                                      percentage above the highest cost-based                                                                          40. CAISO and MISO note that the
                                                                                                              for most generators.107 Direct Energy
                                                      incremental energy offer from previous                                                                        offer cap level impacts other market
                                                                                                              states that RTOs/ISOs have sufficient
                                                      time periods.100 PJM Power Providers                                                                          parameters that affect LMPs, such as
                                                                                                              time to verify natural gas costs in the
                                                      and PSEG Companies assert that cost-                                                                          penalty prices associated with violating
                                                      based offers should not be capped and                   day-ahead and real-time markets and
                                                                                                              suggests that LMPs can be ‘‘flagged’’ and             thermal or operating constraints that are
                                                      should be eligible to set the LMP.101                                                                         contained in the RTO/ISO software used
                                                      APPA and NRECA state that if the                        revised after-the-fact should the RTOs/
                                                                                                              ISOs have any concerns.108                            to calculate LMPs. SCE explains that
                                                      Commission wishes to revise the offer                                                                         when CAISO relaxes a transmission
                                                      cap, it should limit any increase in the                4. RTO/ISO Seams and the Offer Cap                    constraint, it uses the offer cap to set the
                                                      offer cap to periods when production                                                                          congestion price.117 CAISO states it
                                                      costs exceed $1,000/MWh and ensure                         38. Most commenters state that offer
                                                                                                              caps should be the same for each RTO/                 would have to increase constraint
                                                      that any changes to the offer cap are                                                                         penalty prices, currently set to levels
                                                      accompanied by assurances that protect                  ISO, to minimize potential seams
                                                                                                              issues.109 IRC, PJM, and PSEG                         above the offer cap, to ensure that the
                                                      consumers against market power                                                                                market operators would dispatch
                                                      abuse.102 Although TAPS does not                        Companies assert that transmission
                                                                                                              congestion and other market-to-market                 economic offers prior to relaxing
                                                      support increasing the $1,000/MWh                                                                             transmission constraints.118 MISO notes
                                                      offer cap, TAPS similarly states that if                coordination will be disrupted if offer
                                                                                                              caps differ across markets.110 ISO–NE                 that some market parameters may be
                                                      the Commission wants to take                                                                                  intrinsically tied to the maximum LMP
                                                      temporary or seasonal action, the                       and NYISO contend that different offer
                                                                                                              caps in neighboring markets could                     in the energy market, including
                                                      Commission should at the very least
                                                                                                              create perverse interchange flows                     transmission constraint demand curves,
                                                      require that any incremental energy
                                                                                                              resulting from the level of the offer caps            emergency or scarcity pricing regimes,
                                                      offer above $1,000/MWh be verified by
                                                                                                              instead of based on economic merit or                 and some pricing of ancillary
                                                      the market monitor to be cost-
                                                                                                              reliability needs.111 NYISO states that               services.119
                                                      justified.103
                                                         36. APPA and NRECA, CAISO and                        materially different offer caps between                  41. IRC and New York Transmission
                                                      NCPA, however, argue that cost-based                    regions that depend on the same natural               Owners state that changing the offer cap
                                                      incremental offers must be verified                     gas supply could require out-of-market                could affect natural gas markets.120 New
                                                      before the market clears in order to                    operator actions to avoid reliability                 York Transmission Owners argue that
                                                      avoid potentially disruptive after-the-                 issues when natural gas prices are                    allowing higher offers to set the LMP
                                                      fact corrections to clearing prices, and                high.112 MISO maintains that consistent               might increase the price generators will
                                                      these commenters raise concerns that it                 offer caps across RTOs/ISOs will also                 pay for spot natural gas beyond
                                                      is not feasible to do so.104 CAISO does                                                                       competitive levels since there is no
                                                      not believe there is a firm basis to verify               105 CAISO     Comments at 4–6.
                                                                                                                                                                    mitigation procedure to test whether
                                                      the natural gas price included in supply                  106 Id. at 6.                                       resources paid too much for natural
                                                      offers because market participants might                   107 TAPS Comments at 14–15.                        gas.121 IRC states that the Commission
                                                                                                                 108 Direct Energy Comments at 3–4.                 should focus on ensuring transparency
                                                        95 TAPS    Comments at 13.
                                                                                                                 109 Brookfield Comments at 8; Calpine Comments     and flexibility in natural gas markets to
                                                        96 APPA                                               at 5; EEI Comments at 9; EPSA Comments at 21;
                                                                   and NRECA Comments at 30–31.
                                                        97 Id. at 30–31.
                                                                                                              Exelon Comments at 13–14; IRC Comments at 2;            113 MISO    Comments at 8.
                                                                                                              ISO–NE Comments at 6–7; MISO Comments at 8;             114 APPA
                                                        98 Direct Energy Comments at 2; Exelon                                                                                    and NRECA Comments at 29–30; NCPA
                                                                                                              New York Transmission Owners Comments at 3–4;
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                                                      Comments at 12; PJM Comments at 3; PJM Power                                                                  Comments at 3.
                                                                                                              NYISO Comments at 4; PJM Comments at 4; PJM              115 APPA and NRECA Comments at 32.
                                                      Providers Comments at 3–4; PSEG Companies               Power Providers Comments at 5–6; PJM Utilities
                                                      Comments at 5.                                          Coalition Comments at 6; PSEG Companies
                                                                                                                                                                       116 Direct Energy Comments at 4; PJM Utilities
                                                        99 PJM Comments at 2–3.                                                                                     Coalition Comments at 6.
                                                                                                              Comments at 6–7; Potomac Economics Comments at
                                                        100 Id. at 4.                                                                                                  117 SCE Comments at 2.
                                                                                                              5; Western Power Trading Forum Comments at 6;
                                                        101 PJM Power Providers Comments at 4; PSEG           Wisconsin Electric Comments at 4.                        118 CAISO Comments at 5.

                                                      Companies Comments at 6.                                   110 IRC Comments at 2; PJM Comments at 4; PSEG        119 MISO Comments at 5.
                                                        102 APPA and NRECA Comments at 30–32.                 Companies Comments at 6–7.                               120 IRC Comments at 3; New York Transmission
                                                        103 TAPS Comments at 13–14.                              111 ISO–NE Comments at 7; NYISO Comments at        Owners Comments at 5.
                                                        104 APPA and NRECA Comments at 32; CAISO              5.                                                       121 New York Transmission Owners Comments at

                                                      Comments at 6–7, NCPA Comments at 2.                       112 NYISO Comments at 4–5.                         5.



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                                                      5958                   Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules

                                                      assist RTOs/ISOs with gas price                         LMPs that are suppressed below the                    Commission has preliminarily
                                                      verification and to ameliorate natural                  marginal cost of production. An LMP                   determined that the alternative that best
                                                      gas price spikes.122                                    that is less than the marginal cost of                achieves the price formation goals is to
                                                                                                              production may not be just and                        retain the existing $1,000/MWh offer
                                                      II. Need for Reform and Commission
                                                                                                              reasonable because it sends an                        cap except in circumstances when a
                                                      Proposal
                                                                                                              inaccurate signal to load about the                   resource has verifiable short-run
                                                         42. In the following section, the                    actual cost of producing the electricity,             marginal costs in excess of $1,000/
                                                      Commission first explains the need to                   and to resources about the value of the               MWh. The discussion at the technical
                                                      reform the current offer caps. The                      next increment of supply. For example,                workshop and subsequent comments
                                                      Commission next summarizes the                          if the marginal resource at a given                   received suggest that the $1,000/MWh
                                                      alternative proposals that the                          location has a $1,100/MWh short-run                   offer cap is appropriate in most
                                                      Commission considered but declined to                   marginal cost but faces a $1,000/MWh                  circumstances and serves as an
                                                      adopt. Finally, the Commission                          cap, that resource’s incremental energy               appropriate backstop to the existing
                                                      describes its proposal and the three                    offer will be constrained to $1,000/                  market power mitigation rules.
                                                      requirements that underlie it.                          MWh, and as a result, the energy                      However, recent experience also
                                                      A. Need for Reform                                      component of LMP will be $100/MWh                     suggests that some resources may face
                                                                                                              below the marginal cost of production.                short-run marginal costs greater than
                                                        43. As stated above, five of the six                  In a properly functioning market, the                 $1,000/MWh and, in such infrequent
                                                      Commission-jurisdictional RTOs/ISOs                     LMP should accurately reflect the costs               circumstances, the $1,000/MWh offer
                                                      currently have a $1,000/MWh offer                       of serving load and both customers and                cap inappropriately limits those
                                                      cap.123 As noted previously, PJM                        resources will be aware of that cost                  resources’ incremental energy offers and
                                                      currently has a $2,000/MWh offer cap                    through an accurate and transparent                   the resulting LMP. To the extent
                                                      on cost-based incremental energy offers                 price signal.                                         incremental energy offers can be
                                                      used for purposes of calculating                           46. Third, the offer cap may                       verified, we believe a generic reform to
                                                      LMPs.124 When the Commission first                      discourage resources from offering their              allow offers and LMPs to exceed $1,000/
                                                      accepted these offer caps, the                          supply to the RTO/ISO when their                      MWh will enhance market efficiency
                                                      Commission did so, in many instances,                   short-run marginal costs exceed the                   and mitigate the potential for seams
                                                      as temporary measures until larger                      offer cap, even though market                         issues.
                                                      market reforms were implemented.125                     participants may be willing to purchase
                                                      The offer caps have persisted, and are                  that supply. For example, a resource                  B. Alternative Offer Cap Proposals
                                                      now viewed as a component of the                        may not be subject to a must-offer                    Discussed in Comments
                                                      market power mitigation measures                        requirement, and thus be under no                        49. This section briefly discusses why
                                                      adopted by RTOs/ISOs.126 The                            obligation to offer its supply to the                 the Commission has not proposed the
                                                      Commission has reviewed the offer caps                  energy market and therefore simply                    other alternative offer cap designs. The
                                                      and preliminarily finds that the offer                  decide not to offer its supply to the                 Commission is not proposing the
                                                      caps currently in effect in all RTOs/ISOs               market if its short-run marginal cost                 alternative that uses uplift payments to
                                                      are unjust and unreasonable for several                 exceeds the offer cap. Both PJM and                   compensate resources with costs above
                                                      reasons.                                                MISO state that an offer cap that                     the offer cap because, while uplift
                                                        44. First, the offer cap can prevent a                prevents cost recovery can reduce the                 payments may ensure that a resource
                                                      resource from recouping its short-run                   likelihood that resources with short-run              recoups its costs, such a proposal would
                                                      marginal costs. With the current $1,000/                marginal costs above the cap will offer               not ensure that LMPs accurately reflect
                                                      MWh offer cap, a resource whose short-                  their supply to the RTO/ISO.129                       the marginal cost of production—a key
                                                      run marginal cost exceeds $1,000/MWh                       47. Fourth and finally, if several                 goal of the price formation effort.130
                                                      may operate at a loss. For example, in                  resources have short-run marginal costs                  50. The Commission is not proposing
                                                      January 2014, resources in PJM faced                    above $1,000/MWh, the $1,000/MWh                      a floating offer cap that would change
                                                      high natural gas prices that caused their               offer cap requires those resources to                 with natural gas prices. This alternative
                                                      short-run marginal costs to exceed the                  submit incremental energy offers equal                proposal would be unduly preferential
                                                      $1,000/MWh offer cap in place at the                    to $1,000/MWh, even if the resources                  to natural gas-fueled resources and
                                                      time.127 Similarly, MISO states that high               face different costs. Under this scenario,            discriminatory towards resources that
                                                      natural gas prices in January and March                 the $1,000/MWh offer cap will prevent                 do not use natural gas as fuel because
                                                      2014 caused some MISO resources to                      the RTO/ISO from observing the cost                   such a cap would only vary with the
                                                      experience costs in excess of the $1,000/               differences among these resources and                 cost inputs of resources that use natural
                                                      MWh offer cap.128                                       the RTO/ISO will not be able to select                gas as fuel. As such, this alternative
                                                        45. Second, the offer cap can impair                  the most efficient resources because the              proposal could prevent a resource that
                                                      price formation because it can result in                resources with costs above $1,000/MWh                 does not use natural gas as a fuel to
                                                                                                              were not able to submit incremental                   generate electricity from submitting a
                                                        122 IRC  Comments at 3.                               energy offers consistent with their short-            legitimate cost-based incremental
                                                        123 See  supra P 10.                                  run marginal cost. For these reasons, the             energy offer if that offer is above the
                                                         124 See supra P 17.
                                                                                                              Commission preliminarily finds that the               natural gas-based floating cap. Although
                                                         125 See, e.g., Midwest Indep. Transmission Sys.
                                                                                                              current offer caps result in rates that are           natural gas fueled resources are
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                                                      Operator, Inc., 108 FERC ¶ 61,163, at PP 380–381,
                                                      order on reh’g, 109 FERC ¶ 61,157 (2004), order on
                                                                                                              unjust and unreasonable. In addition,                 currently the most likely resources to
                                                      clarification, 111 FERC ¶ 61,367 (2005); N.Y. Indep.    these reasons illustrate that the current             have short-run marginal costs above
                                                      Sys. Operator, Inc., 97 FERC ¶ 61,095, at 61,496–97     offer caps may not achieve the price                  $1,000/MWh, this may not always be
                                                      (2001); ISO New England, Inc., 97 FERC ¶ 61,090,        formation goals discussed above.
                                                      at 61,471.
                                                         126 See supra PP 23–26.
                                                                                                                 48. The Commission considered                         130 Price Formation in Energy and Ancillary

                                                                                                              several alternatives to achieve the price             Services Markets Operated by Regional
                                                         127 PJM 2014/15 Offer Cap Order, 150 FERC
                                                                                                                                                                    Transmission Organizations and Independent
                                                      ¶ 61,020 at P 2.                                        formation goals. On balance, the                      System Operators, Notice Inviting Post-Technical
                                                         128 MISO 2014/15 Offer Cap Order, 150 FERC                                                                 Workshop Comments, Docket No. AD14–14–000, at
                                                      ¶ 61,083 at P 2.                                          129 MISO   Comments at 4; PJM Comments at 2.        2 (Jan. 16, 2015).



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                                                                             Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules                                                      5959

                                                      the case. Furthermore, setting the offer                 markets must be capped at the higher of               $1,000/MWh functions as a backstop for
                                                      cap for all resources based on the price                 $1,000/MWh or that resource’s cost-                   existing market power mitigation rules.
                                                      of natural gas would allow non-natural                   based incremental energy offer.                       Several market monitors at the Scarcity
                                                      gas resources to submit offers above                     This requirement would ensure that a                  and Shortage Pricing, Offer Mitigation
                                                      $1,000/MWh and below the natural-gas                     resource is given the opportunity to                  and Offer Caps Workshop held on
                                                      based offer cap with no cost basis for                   recoup its short-run marginal costs                   October 28, 2014,134 as well as many
                                                      doing so, thereby potentially allowing                   during intervals when those costs                     commenters 135 noted this function of
                                                      them to exercise market power when                       exceed $1,000/MWh because the                         the offer cap. For example, ISO–NE
                                                      natural gas prices rise but when these                   resource could include such costs                     states that the $1,000/MWh offer cap
                                                      resources’ costs do not similarly rise.                  within its cost-based incremental energy              still serves as a ‘‘fail-safe’’ mechanism to
                                                        51. Finally, the Commission is not                     offer. Additionally, this requirement                 protect consumers in the unlikely event
                                                      proposing to raise the offer cap to a                    would ensure that LMPs are no longer                  that the market is not competitive and
                                                      higher fixed level. A higher fixed offer                 suppressed by the offer cap when                      market power mitigation fails to assure
                                                      cap could still limit a resource’s                       marginal production costs exceed                      competitive supply offers.136
                                                      incremental energy offer below its short-                $1,000/MWh. This requirement would                    Additionally, ISO–NE, NYISO, and
                                                      run marginal cost and potentially                        permit RTOs/ISOs to accept cost-based                 CAISO indicate that the $1,000/MWh
                                                      suppress LMPs if that resource’s costs                   incremental energy offers above $1,000/               offer cap is currently above the short-
                                                      rose above the fixed offer cap.                          MWh and use those offers in the market                run marginal cost of resources in those
                                                      Additionally, like the floating offer cap,               clearing process that calculates LMPs,                RTOs/ISOs (i.e., the offer cap does not
                                                      a higher fixed offer cap could raise                     but only when such offers are cost-                   currently force a resource to submit an
                                                      market power concerns.                                   based. Accordingly, all incremental                   incremental energy offer below its short-
                                                                                                               energy offers above $1,000/MWh would                  run marginal cost).137 Under this
                                                      C. Commission Proposal
                                                                                                               be subject to market power mitigation                 proposal, verified cost-based
                                                         52. To remedy any potentially unjust                  and the attendant requirement that the                incremental energy offers are not
                                                      and unreasonable rates, the Commission                   offer be equal to the short-run marginal              capped. The Commission recently
                                                      proposes, pursuant to section 206 of the                 cost of the associated resource.                      approved tariff revisions in PJM that
                                                      Federal Power Act (FPA),131 to revise its                Incremental energy offers at or below                 required all incremental energy offers
                                                      regulations to require that each RTO/                    $1,000/MWh will continue to be subject                above $1,000/MWh to be cost-based and
                                                      ISO cap a resource’s incremental energy                  to existing market power mitigation                   also placed a $2,000/MWh hard cap on
                                                      offer used for purposes of setting LMPs                  provisions.                                           cost-based incremental energy offers
                                                      to the higher of $1,000/MWh or that                         54. The Commission preliminarily                   used for purposes of calculating
                                                      resource’s verified cost-based                           finds that it is necessary to permit                  LMPs.138 The Commission seeks
                                                      incremental energy offer. Under the                      resources to submit cost-based                        comment on whether such a hard cap
                                                      proposal, consistent with Order No.                      incremental energy offers above $1,000/               should be included in any final rule in
                                                      719 132 and as prescribed in the RTO/                    MWh, because as PJM and MISO                          this proceeding and, if so, whether the
                                                      ISO tariffs, the Market Monitoring Unit                  indicated in recent filings, the $1,000/              hard cap should equal $2,000/MWh or
                                                      or the RTO/ISO would verify the costs                    MWh offer cap appears to have limited                 another value.
                                                      within such a cost-based incremental                     some resources’ incremental energy
                                                      energy offer before that offer could be                                                                        2. Cost-Based Incremental Energy Offer
                                                                                                               offers to a level below their short-run               Verification
                                                      used to calculate LMPs. The proposed                     marginal cost during intervals with high
                                                      offer cap would apply to incremental                     natural gas prices.133 In addition,                      56. The second proposed requirement
                                                      energy offers in both the day-ahead and                  allowing all resources to offer consistent            is as follows:
                                                      real-time energy markets. Under the                                                                               The costs underlying a resource’s
                                                                                                               with short-run marginal cost will
                                                      proposal, each RTO/ISO must comply                                                                             cost-based incremental energy offer
                                                                                                               enhance an RTO/ISO’s ability to
                                                      with the following three requirements:                                                                         above $1,000/MWh must be verified
                                                                                                               dispatch the lowest cost resources,
                                                      an offer cap structure, cost-based                                                                             before that offer can be used for
                                                                                                               particularly when multiple resources
                                                      incremental energy offer verification,                                                                         purposes of calculating Locational
                                                                                                               have short-run marginal cost greater
                                                      and resource neutrality, discussed in                                                                          Marginal Prices. If a resource submits
                                                                                                               than $1,000/MWh. Furthermore,
                                                      detail below. The Commission would                                                                             an incremental energy offer above
                                                                                                               allowing a resource to submit a cost-
                                                      not prescribe the precise manner in                                                                            $1,000/MWh and the costs underlying
                                                                                                               based incremental energy offer above
                                                      which the RTO/ISO must comply with                                                                             that offer cannot be verified before the
                                                                                                               $1,000/MWh would help ensure that
                                                      the requirements in implementing the                                                                           market clearing process begins, that
                                                                                                               resources with short-run marginal costs
                                                      proposal. Each requirement, as                                                                                 resource’s incremental energy offer in
                                                                                                               above $1,000/MWh have an incentive to
                                                      established in the proposed regulations,                                                                       excess of $1,000/MWh may not be used
                                                                                                               offer electricity into the market during
                                                      is discussed in turn below.                                                                                    to calculate Locational Marginal Prices.
                                                                                                               high price periods, when their
                                                                                                                                                                     In such circumstances a resource would
                                                      1. Offer Cap Structure                                   electricity may be needed. Allowing
                                                                                                                                                                     be eligible for a make-whole payment if
                                                                                                               LMPs to reflect a given RTO/ISO’s
                                                         53. The first proposed requirement is                                                                       that resource clears the energy market
                                                                                                               marginal cost of production could result
                                                      as follows:                                                                                                    and the resource’s costs are verified
                                                         A resource’s incremental energy offer                 in more economic power flows across
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                                                                                                                                                                     after-the-fact.
                                                      used for purposes of calculating                         seams because electricity would flow to
                                                      Locational Marginal Prices in energy                     where it is most valued.                                 134 Scarcity and Shortage Pricing, Offer Mitigation
                                                                                                                  55. The Commission, however, does                  and Offer Price Caps Workshop, Docket No. AD14–
                                                        131 16 U.S.C. 824e(b).
                                                                                                               not propose to eliminate the $1,000/                  14–000, Tr. 205:11–19, 206:24–207:7, 210:14–211:8,
                                                        132 Wholesale   Competition in Regions with            MWh offer cap entirely because the                    212:12–213:3 (Oct. 28, 2015).
                                                                                                                                                                        135 See supra PP 25–26.
                                                      Organized Electric Markets, Order No. 719, FERC
                                                                                                                                                                        136 ISO–NE Comments at 4.
                                                      Stats. & Regs. ¶ 31,281, at PP 370–375 (2008), order       133 PJM 2015/16 Offer Cap Order, 153 FERC
                                                                                                                                                                        137 CAISO Comments at 3; ISO–NE Comments at
                                                      on reh’g, Order No. 719–A, FERC Stats. & Regs.           ¶ 61,289, at PP 2–3 (2015); MISO, Transmittal at 4,
                                                      ¶ 31,292 (2009), order on reh’g, Order No. 719–B,        Docket No. ER16–248–000 (filed Nov. 2, 2015);         3; NYISO Comments at 4.
                                                      129 FERC ¶ 61,252 (2009).                                MISO 2015/16 Offer Cap Order, 154 FERC ¶ 61,006.         138 See supra n.36.




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                                                      5960                      Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules

                                                      This requirement would ensure that the                    MWh before that offer is used for                     update offers for mitigation purposes.
                                                      proposal results in LMPs that reflect the                 purposes of calculating LMPs. The                     Under this proposal, the Commission
                                                      marginal cost of production during                        Commission seeks comment regarding                    would not require RTOs/ISOs to adopt
                                                      intervals when the marginal resource’s                    the Market Monitoring Unit’s or the                   the same approach to implement the
                                                      short-run marginal cost exceeds $1,000/                   RTO/ISO’s ability to timely verify the                cost-based incremental energy offer
                                                      MWh.                                                      costs within incremental energy offers                verification requirement.
                                                         57. The Commission preliminarily                       above $1,000/MWh prior to the day-                       62. RTOs/ISOs also differ in how they
                                                      finds that verification of the costs                      ahead or real-time market clearing                    define the components of cost-based
                                                      underlying cost-based incremental                         process, including whether the                        incremental energy offers for purposes
                                                      energy offers above $1,000/MWh is                         verification of physical offer                        of mitigation.142 Each RTO/ISO has
                                                      warranted to reduce the potential                         components is also necessary. The                     tariff provisions that set out the
                                                      exercise of market power. Without such                    Commission seeks comment on whether                   elements of a resource’s short-run
                                                      verification, a resource may be able to                   the Market Monitoring Unit or RTO/ISO                 marginal cost for purposes of
                                                      submit an offer above $1,000/MWh not                      may need additional information to                    mitigation.143 The Commission expects
                                                      because its costs exceed $1,000/MWh,                      ensure that all short-run marginal cost               each RTO/ISO to use the elements set
                                                      but rather because it recognizes that its                 components that are difficult to                      forth in its tariff provisions for purposes
                                                      energy is necessary to serve load and                     quantify, such as certain opportunity                 of determining a resource’s cost-based
                                                      that it does not face competition from                    costs, are accurately reflected in a                  incremental energy offer. Thus, the
                                                      other resources. Using such an                            resource’s cost-based incremental                     Commission is not proposing to define
                                                      uncompetitive offer to calculate LMPs                     energy offer. For example, cost-based                 the elements of a short-run marginal
                                                      could result in unjust and unreasonable                   offers in PJM include a ten percent                   cost as part of this proceeding.
                                                      rates.                                                    adder, which may account for such cost                   63. Given that the verification process
                                                         58. Under the proposal, the Market                     components. To the extent that RTOs/                  for cost-based incremental energy offers
                                                      Monitoring Unit or the RTO/ISO would                      ISOs currently include an adder above                 is intended to build on an RTO/ISO’s
                                                      be required to verify that each cost-                     cost in cost-based incremental energy                 existing mitigation processes, as
                                                      based incremental energy offer above                      offers, is such an adder appropriate for              proposed, external RTO/ISO resources
                                                      $1,000/MWh is in fact cost-based. The                     incremental energy offers above $1,000/               (i.e., imports) would not be eligible to
                                                      Market Monitoring Unit or the RTO/ISO                     MWh? The Commission also seeks                        submit cost-based incremental energy
                                                      would verify that a resource’s cost-based                 comment on whether the Market                         offers above $1,000/MWh because RTO/
                                                      offer is an accurate reflection of that                   Monitoring Unit or RTO/ISO may need                   ISO processes to develop cost-based
                                                      resource’s short-run marginal cost. The                   additional information or new authority               incremental energy offers for mitigation
                                                      Commission notes that for purposes of                     to require revisions or corrections to                purposes typically apply to internal
                                                      mitigation, the RTO/ISO tariffs use                       cost-based incremental energy offers to               resources alone. However, the
                                                      different terminology to describe the                     ensure that a cost-based incremental                  Commission would consider RTO/ISO
                                                      market power mitigation process, short-                   energy offer is an accurate reflection of             proposals to develop cost-based
                                                      run marginal costs, and mitigated                         a resource’s short-run marginal cost.                 incremental energy offers for external
                                                      offers.139 The Market Monitoring Units                       60. Under this proposal, each RTO/                 transactions in their respective
                                                      in some RTOs/ISOs currently have                          ISO would be required to include in its               compliance filings for any final rule in
                                                      processes whereby the Market                              tariff a process by which the Market                  this proceeding.144 The Commission
                                                      Monitoring Unit or the market                             Monitoring Unit or RTO/ISO verifies the               seeks comments on whether the offer
                                                      participant itself can derive cost-based                  costs included in cost-based                          cap proposal should apply to imports
                                                      incremental energy offers that are                        incremental energy offers above $1,000/               and whether a cost verification process
                                                      specific to a given resource.140                          MWh. To create such a verification                    for import transactions is feasible.
                                                      Additionally, ISO–NE and NYISO                            process, the Commission expects that                     64. The Commission preliminarily
                                                      currently have processes in place where                   the Market Monitoring Unit or RTO/ISO                 finds that, as financial instruments,
                                                      a resource can contact, before the close                  would build on its existing mitigation                virtual transactions have no short-run
                                                      of the day-ahead or real-time markets,                    processes for calculating or updating                 marginal production costs and, thus,
                                                      the Market Monitoring Unit to update                      cost-based incremental energy offers.                 could not provide a cost-basis for a
                                                      the resource’s cost-based incremental                     The Commission notes that the nature of               virtual transaction above $1,000/MWh.
                                                      energy offer (e.g., due to a change in fuel               before-the-fact and after-the-fact cost               Accordingly, virtual transactions in
                                                      prices).141 These updates are subject to                  verification processes often differ. The              RTOs/ISOs which currently limit virtual
                                                      verification by the Market Monitoring                     Commission expects that a market                      transaction bid/offer caps to existing
                                                      Unit.                                                     participant that seeks to submit a cost-              incremental energy offer caps, could not
                                                         59. Under the proposal, the Market                     based incremental energy offer above                  exceed $1,000/MWh under the
                                                      Monitoring Unit or the RTO/ISO must                       $1,000/MWh must provide appropriate                   proposal.145 The Commission seeks
                                                      verify the costs within a cost-based                      documentation to the Market
                                                      incremental energy offer above $1,000/                    Monitoring Unit or the RTO/ISO. The                     142 For example, CAISO and PJM mitigate
                                                                                                                Market Monitoring Unit or RTO/ISO                     resources to cost-based offers that include a ten
                                                        139 See   supra n.16.                                   should then have a before-the-fact                    percent adder, while the standard cost-based offers
                                                                                                                verification process that would allow for             in MISO, ISO–NE, and NYISO do not include an
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                                                        140 Id.
                                                                                                                                                                      adder above cost.
                                                        141 ISO–NE, Markets and Services Tariff, Market
                                                                                                                timely cost verification such that an                   143 See supra n.16
                                                      Rule 1, III.A.3.1 (43.0.0); NYISO, NYISO Tariffs,         offer submitted in a reasonable period of               144 Any proposal to develop cost-based
                                                      NYISO Markets and Services Tariff, 23.3.1.4.6.7
                                                      (11.0.0). Resources in SPP may also contact the           time could be used for purposes of                    incremental energy offers for external transactions
                                                      Market Monitoring Unit during the operating day           calculating LMPs. As noted already, the               could address external resources generically or
                                                      and request a mitigation exception pursuant to SPP,       Commission emphasizes that this                       address certain scheduling practices (e.g., dynamic
                                                      OATT, Sixth Revised Volume No. 1, Attachment                                                                    or pseudo tie schedules).
                                                                                                                before-the-fact verification should build
                                                      AF, 3.8 (7.0.0). Additionally, in MISO resources                                                                  145 To the extent they currently exist, this

                                                      may consult with the Market Monitoring Unit to            upon existing procedures.                             proposal would not affect existing RTO/ISO tariff
                                                      change reference levels as soon as practicable.              61. Currently, RTOs/ISOs use                       provisions that permit virtual transactions to exceed
                                                      MISO, FERC Electric Tariff, 64.1.4.h (30.0.0).            different processes to develop and                    $1,000/MWh.



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                                                                            Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules                                                    5961

                                                      comment on whether prohibiting virtual                  existing RTO/ISO mitigation procedures                 MWh and subsequently determines
                                                      transactions above $1,000/MWh could                     that vary across RTOs/ISOs to                          through an after-the-fact review that the
                                                      limit hedging opportunities, present                    appropriately account for regional                     offer that established the LMP was not
                                                      opportunities for manipulation or                       differences. Further, RTO/ISO                          in fact cost-based.151 The Commission
                                                      gaming, create market inefficiencies, or                mitigation procedures only affect                      preliminarily finds that the verification
                                                      have other undesirable consequences.                    resources within the RTO/ISO.                          requirement in this proposal addresses
                                                      Additionally, the Commission seeks                      However, as discussed below, the offer                 this concern because cost-based
                                                      comment on alternatives which would                     cap also affects inter-regional trading                incremental energy offers above $1,000/
                                                      allow virtual increment offers and                      such that generic action is required to                MWh should result in LMPs that are
                                                      decrement bids to be submitted and                      avoid exacerbating seams.                              appropriate because they will accurately
                                                      cleared at prices above $1,000/MWh.146                     67. Existing Commission regulations,                reflect the marginal cost of production.
                                                         65. The cost-based incremental energy                as described below, already create a                   Accordingly, such LMPs will not
                                                      offer verification requirement also                     framework that ensures cost-based                      require recalculation after-the-fact.
                                                      ensures that a resource with short-run                  incremental energy offers submitted as
                                                      marginal costs above $1,000/MWh                         part of a supply offer are based on                    3. Resource Neutrality
                                                      recoups its costs in the event that the                 legitimate costs.148 In existing                          69. The third proposed requirement is
                                                      Market Monitoring Unit or RTO/ISO                       mitigation processes, a resource must                  as follows:
                                                      cannot verify that resource’s costs prior               submit accurate cost information to the                   All resources, regardless of type, are
                                                      to the market clearing process. The                     market monitor. In submitting a cost-                  eligible to submit cost-based
                                                      Commission emphasizes that RTOs/                        based incremental energy offer above                   incremental energy offers in excess of
                                                      ISOs would be expected to adopt a                       $1,000/MWh, a resource that                            $1,000/MWh.
                                                      verification process that allows timely                 misrepresents its costs would be in                    This requirement would ensure that the
                                                      submitted and appropriately                             violation of the Commission’s                          eligibility to submit cost-based
                                                      documented cost-based incremental                       regulations requiring accurate                         incremental energy offers in excess of
                                                      energy offers to be used to calculate                   statements. Section 35.41(b) of the                    $1,000/MWh would not be applied in
                                                      LMPs; compensating resources through                    Commission’s regulations requires                      an unduly discriminatory or unduly
                                                      make-whole payments should be treated                   market participants to provide ‘‘accurate              preferential manner. During the Polar
                                                      only as a backstop. Under this proposal,                and factual information and not submit                 Vortex, natural gas prices reached levels
                                                      the RTO/ISO would adopt a procedure                     false or misleading information, or omit               that caused the short-run marginal cost
                                                      to include the offer, modified as                       material information, in any                           of natural gas-fueled resources that
                                                      discussed below, in its market clearing                 communication with the Commission,                     purchased gas on the natural gas spot
                                                      process. Accordingly, if such an offer                  Commission-approved market monitors                    market to exceed $1,000/MWh.
                                                      clears the energy market, that resource                 . . . [or] Commission-approved                         However, limiting the opportunity to
                                                      may be entitled to a make-whole                         independent system operators.’’ 149                    submit cost-based incremental energy
                                                      payment if the Market Monitoring Unit                   Additionally, a resource that                          offers in excess of $1,000/MWh to a
                                                      or RTO/ISO can verify after-the-fact that               intentionally misrepresents its costs                  particular resource type, such as
                                                      the resource’s short-run marginal cost                  could violate the Commission’s Anti-                   natural-gas fueled resources, would be
                                                      was above $1,000/MWh. The basis of                      Manipulation Rule. That rule prohibits                 unduly preferential to those
                                                      the make-whole payment would be the                     a market participant from intentionally                resources.152 Even though natural gas
                                                      difference between a given resource’s                   making ‘‘any untrue statement of a                     resources are currently most likely to
                                                      energy market revenues and that                         material fact or to omit[ting] to state a              have cost-based incremental energy
                                                      resource’s total offer costs, including the             material fact necessary in order to make               offers above $1,000/MWh, market
                                                      cost-based incremental energy offer.147                 the statements made, in the light of the               conditions may change causing other
                                                         66. The Commission’s proposal would                  circumstances under which they were                    resource types to have short-run
                                                      permit regional variation in the process                made, not misleading.’’ 150 Thus, any                  marginal costs above $1,000/MWh.
                                                      for treating incremental energy offers                  resource that misrepresents its costs                  Accordingly, the Commission proposes
                                                      above $1,000/MWh that the Market                        may be in violation of the Commission’s                that all resource types be eligible to
                                                      Monitoring Unit or RTO/ISO cannot                       regulations, even if its offer does not                submit a cost-based incremental energy
                                                      verify prior to the start of the market                 clear the day-ahead or real-time energy                offer above $1,000/MWh. The resource
                                                      clearing process. For example, the RTO/                 market.                                                neutrality requirement is consistent
                                                      ISO could have procedures to change                        68. Some commenters express                         with prior Commission orders related to
                                                      the incremental energy offer to $1,000/                 concern that verification of cost-based                the offer cap in PJM and MISO.153
                                                      MWh and to mitigate that offer further                  incremental energy offers prior to the
                                                      to a level below $1,000/MWh pursuant                    market clearing process may require                    4. Seams Issues
                                                      to other applicable market power                        RTOs/ISOs to re-run the market if the                     70. The Commission proposes to
                                                      mitigation provisions. The Commission                   Market Monitoring Unit or RTO/ISO                      make a generic change to the offer cap
                                                      continues to find that regional variation               initially accepts a cost-based                         applicable to all RTOs/ISOs through a
                                                      is acceptable here because incremental                  incremental energy offer above $1,000/                 rulemaking to avoid exacerbating seams
                                                      energy offers are currently subject to the                                                                     issues. Seams issues could arise if one
                                                                                                                148 Several RTOs/ISOs also rely on procedures to
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                                                                                                                                                                     RTO/ISO has an offer cap that
                                                        146 The  Commission found it just and reasonable      temporarily strip resources of the opportunity to
                                                                                                              make fuel price related adjustments to their
                                                                                                                                                                     materially differed from a neighboring
                                                      for virtual increment offers and decrement bids in
                                                      PJM to clear up to $2,700/MWh, equal to the newly       reference levels in the event after-the-fact
                                                                                                              verification processes fail to confirm the need for      151 CAISO  Comments at 6–7.
                                                      established energy and reserve market aggregate
                                                      price cap. PJM Interconnection, L.L.C., 139 FERC ¶      the reference level update. See ISO–NE.,                 152 PJM 2014/15 Offer Cap Order, 150 FERC ¶
                                                      61,057, at PP 123–143 (2012).                           Transmission Markets and Services Tariff, Market       61,020 at P 39.
                                                         147 Under this proposal, any make-whole              Rule 1, III.A.3.4(c) (43.0.0); NYISO, NYISO Tariffs,     153 See MISO 2014/15 Offer Cap Order, 150 FERC

                                                      payments associated with such an after-the-fact cost    NYISO Markets and Services Tariff, 23.3.1.4.6.8        ¶ 61,083 at P 16; PJM 2014/15 Offer Cap Order, 150
                                                      verification would not be duplicative or                (11.0.0).                                              FERC ¶ 61,020 at P 39; PJM 2015/16 Offer Cap
                                                                                                                149 18 CFR 35.41(b) (2015).
                                                      overcompensate a resource for the costs included in                                                            Order, 153 FERC ¶ 61,289; MISO 2015/16 Offer Cap
                                                      its energy supply offer.                                  150 18 CFR 1c.2(a)(2) (2015).                        Order, 154 FERC ¶ 61,006.



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                                                      5962                     Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules

                                                      RTO/ISO’s offer cap. For example,                          advance in periods when marginal                      exist which would allow virtual
                                                      NYISO states that offer caps that are                      production costs exceed $1,000/MWh.                   increment offers and decrement bids to
                                                      materially different in neighboring                        Accordingly, given this proposal, RTOs/               be submitted and cleared at prices above
                                                      RTOs/ISOs that rely on the same natural                    ISOs may wish to revise certain market                $1,000/MWh; and (7) the impact the
                                                      gas market could require out-of-market                     features that relate to or are affected by            proposal would have on seams.
                                                      operator actions to avoid reliability                      the offer cap. RTOs/ISOs and their                    Comments must be submitted within
                                                      concerns.154 ISO–NE and NYISO also                         stakeholders may also wish to consider                sixty (60) days of publication of this
                                                      note that different offer caps in                          additional tariff revisions, such as                  NOPR in the Federal Register.
                                                      neighboring RTOs/ISOs could result in                      changes to scarcity or shortage pricing,
                                                                                                                                                                       III. Compliance
                                                      flows that depend on the level of the                      raising or removing caps on price-
                                                      two offer caps as opposed to economics                     sensitive demand bids, and other means                   74. The Commission proposes to
                                                      or reliability needs.155 The Commission                    by which load can express its                         require that each RTO/ISO submit a
                                                      also has indicated in prior orders                         willingness to pay for electricity.                   compliance filing no later than four
                                                      approving temporary waivers or tariff                      Although they are not required to do so,              months from the effective date of the
                                                      changes related to MISO and PJM’s                          the Commission would consider other                   final rule in this proceeding to
                                                      respective offer caps that the                             market design changes, such as changes                demonstrate that it meets the proposed
                                                      Commission would address seams                             to scarcity or shortage pricing or other              requirements set forth in the final rule.
                                                      issues related to the offer cap beyond                     penalty prices, associated with adopting              The Commission will accept RTO/ISO
                                                      the winter of 2014/15 in the price                         this proposal in the compliance filing.               proposals that satisfy the three
                                                      formation proceeding.156 Therefore, this                                                                         requirements described above and notes
                                                                                                                 6. Comments Sought on This Proposal                   that proposals may vary regionally
                                                      proposal would revise the market rules
                                                      in all RTOs/ISOs in a similar manner to                       73. The Commission seeks comment                   based on the existing RTO/ISO tariff
                                                      ensure that market prices accurately                       on its proposal as described herein.                  provisions that are used to develop cost-
                                                      reflect the marginal cost of production.                   Specifically, the Commission seeks                    based incremental energy offers and to
                                                         71. Some commenters have expressed                      comment on the following items: (1)                   implement market power mitigation
                                                      concern that different offer caps in                       Whether a hard cap on cost-based                      provisions that are to be used as a basis
                                                      neighboring markets could create seams                     incremental energy offers used for                    for implementing this proposal. As
                                                      issues. The Commission acknowledges                        purposes of calculating LMPs should be                noted previously, the Commission is
                                                      that the instant proposal could result in                  included in any final rule in this                    also willing to consider proposed
                                                      neighboring markets having different                       proceeding and, if so, whether the hard               revisions to other market design features
                                                      effective offer caps in a given interval                   cap should equal $2,000/MWh or                        that may require revision in light of this
                                                      because the marginal cost of production                    another value; (2) the ability to timely              proposal, such as changes to scarcity or
                                                      in one RTO/ISO may differ from other                       verify the costs within incremental                   shortage pricing or other market
                                                      neighboring markets due to different                       energy offers above $1,000/MWh prior                  parameters.
                                                      resources with different short-run                         to the day-ahead or real-time market                     75. To the extent that any RTO/ISO
                                                      marginal costs being on the margin.                        clearing process, including whether the               believes that it already complies with
                                                      Nonetheless, the Commission believes                       verification of physical offer                        the reforms adopted in a final rule in
                                                      these differences will not adversely                       components is also necessary; (3)                     this proceeding, the RTO/ISO would be
                                                      affect seams because these differences                     whether the Market Monitoring Unit or                 required to demonstrate, in the
                                                      would be driven by actual costs and not                    RTO/ISO may need additional                           compliance filing, how it complies.
                                                      by offer caps artificially suppressing                     information to ensure that all short-run
                                                      LMPs. Therefore, the associated                            marginal cost components that are                     IV. Information Collection Statement
                                                      differences in LMPs will encourage                         difficult to quantify, such as certain                  76. The Paperwork Reduction Act
                                                      efficient interchange transactions. The                    opportunity costs, are accurately                     (PRA) 158 requires each federal agency to
                                                      Commission seeks comment on this                           reflected in a resource’s cost-based                  seek and obtain Office of Management
                                                      preliminary finding and other seams                        incremental energy offer and to the                   and Budget (OMB) approval before
                                                      issues related to this proposal.                           extent that RTOs/ISOs currently include               undertaking a collection of information
                                                                                                                 an adder above cost in cost-based                     directed to ten or more persons or
                                                      5. Other Considerations                                    incremental energy offers, whether such               contained in a rule of general
                                                         72. In several RTO/ISOs, factors                        an adder is appropriate for incremental               applicability. OMB’s regulations,159 in
                                                      affecting LMPs and other market                            energy offers above $1,000/MWh; (4)                   turn, require approval of certain
                                                      outcomes depend on the offer cap. For                      whether the Market Monitoring Unit or                 information collection requirements
                                                      example, CAISO’s shortage pricing and                      RTO/ISO may need additional                           imposed by agency rules. Upon
                                                      penalty factors that apply when                            information or new authority to require               approval of a collection(s) of
                                                      transmission constraints are relaxed are                   revisions or corrections to a cost-based              information, OMB will assign an OMB
                                                      based on the $1,000/MWh offer cap.157                      incremental energy offer to ensure that               control number and an expiration date.
                                                      Such relationships may have to be                          a resource’s cost-based incremental                   Respondents subject to the filing
                                                      revised because they may require that                      energy offer is an accurate reflection of             requirements of a rule will not be
                                                      the value of the offer cap be known                        that resource’s short-run marginal cost;              penalized for failing to respond to these
                                                      prior to the market clearing process.                      (5) whether the proposal should apply
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                                                                                                                                                                       collection(s) of information unless the
                                                      Under this proposal, the ultimate value                    to imports and whether a cost                         collection(s) of information display a
                                                      of the offer cap may not be known in                       verification process for import                       valid OMB control number.
                                                                                                                 transactions is feasible; (6) whether                   77. The reforms proposed in this
                                                           154 NYISO   Comments at 4–5.                          excluding virtual transactions above                  NOPR would amend the Commission’s
                                                           155 ISO–NE   Comments at 7; NYISO Comments at         $1,000/MWh could limit hedging                        regulations to improve the operation of
                                                      5.
                                                        156 See PJM 2014/15 Offer Cap Order, 150 FERC
                                                                                                                 opportunities, present opportunities for              organized wholesale electric power
                                                      ¶ 61,020 at P 42; MISO 2014/15 Offer Cap Order,            manipulation or gaming, create market
                                                      150 FERC ¶ 61,083 at P 19.                                 inefficiencies, or have other undesirable               158 44   U.S.C. 3501–3520.
                                                        157 CAISO Comments at 8.                                 consequences, and whether alternatives                  159 5   CFR 1320 (2015).



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                                                                             Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules                                                  5963

                                                      markets operated by RTOs/ISOs. The                       proposed in this NOPR, they could                     detailed comments on the potential cost
                                                      Commission proposes to require that                      demonstrate their compliance in the                   and time necessary to implement
                                                      each RTO/ISO cap a resource’s                            compliance filing required four months                aspects of the reforms proposed in this
                                                      incremental energy offer used for                        after the effective date of the final rule            NOPR, including (1) software and
                                                      purposes of calculating LMPs in energy                   in this proceeding. The Commission                    business processes changes, including
                                                      markets to the higher of $1,000/MWh or                   will submit the proposed reporting                    market power mitigation; (2) increased
                                                      that resource’s cost-based incremental                   requirements to OMB for its review and                time spent validating cost-based
                                                      energy offer, as verified by the Market                  approval under section 3507(d) of the                 incremental energy offers; and (3)
                                                      Monitoring Unit or the RTO/ISO. The                      Paperwork Reduction Act.160                           processes for RTOs/ISOs to vet
                                                      reforms proposed in this NOPR would                         78. While the Commission expects the               proposed changes amongst their
                                                      require one-time filings of tariffs with                 adoption of the reforms proposed in this
                                                                                                                                                                     stakeholders.
                                                      the Commission and potential software                    NOPR to provide significant benefits,
                                                      upgrades to implement the reforms                        the Commission understands                              Burden Estimate and Information
                                                      proposed in this NOPR. The                               implementation can be a complex                       Collection Costs: The Commission
                                                      Commission anticipates the reforms                       endeavor. The Commission solicits                     believes that the burden estimates below
                                                      proposed in this NOPR, once                              comments on the accuracy of provided                  are representative of the average burden
                                                      implemented, would not significantly                     burden and cost estimates and any                     on respondents, including necessary
                                                      change currently existing burdens on an                  suggested methods for minimizing the                  communications with stakeholders. The
                                                      ongoing basis. With regard to those                      respondents’ burdens, including the use               estimated burden and cost for the
                                                      RTOs/ISOs that believe that they                         of automated information techniques.                  requirements contained in this NOPR
                                                      already comply with the reforms                          Specifically, the Commission seeks                    follow.161

                                                                                               SOFTWARE OR HARDWARE UPGRADES MAY NOT BE REQUIRED
                                                                                                          [FERC–516, as modified by NOPR in Docket RM16–5–000]

                                                                                                          Annual                                                                                          Cost per
                                                                                  Number of              number of        Total number       Average burden (hours)          Total annual burden         respondent
                                                                                 respondents          responses per       of responses        & cost per response          hours & total annual cost         ($)
                                                                                                        respondent

                                                                                       (1)                   (2)         (1) × (2) = (3)                  (4)                    (3) × (4) = (5)          (5) ÷ (1)

                                                      One-Time Tariff Fil-                       6                   1                  6    500 hrs.; $36,000 163 .....   3,000 hrs.; $216,000 ......       $36,000
                                                       ings (Year 1).



                                                         The Commission notes that these cost                    Respondents for this Rulemaking:                    Commission, 888 First Street NE.,
                                                      estimates below do not include costs for                 RTOs/ISOs.                                            Washington, DC 20426 [Attention: Ellen
                                                      software or hardware or for increased                      Frequency of Information: One-time                  Brown, Office of the Executive Director],
                                                      time spent validating cost-based                         during.                                               email: DataClearance@ferc.gov, Phone:
                                                      incremental energy offers above $1,000/                    Necessity of Information: The Federal               (202) 502–8663, fax: (202) 273–0873.
                                                      MWh.162                                                  Energy Regulatory Commission                          Comments concerning the collection of
                                                         Cost to Comply: The Commission has                    proposes this rule to improve                         information and the associated burden
                                                      projected the total cost of compliance,                  competitive wholesale electric markets                estimate(s), may also be sent to the
                                                      all within four months of a Final Rule                   in the RTO/ISO regions.                               Office of Information and Regulatory
                                                      plus initial implementation, to be                         Internal Review: The Commission has                 Affairs, Office of Management and
                                                      $216,000. After Year 1, the reforms                      reviewed the proposed changes and has                 Budget, 725 17th Street NW.,
                                                      proposed in this NOPR, once                              determined that such changes are                      Washington, DC 20503 [Attention: Desk
                                                      implemented, would not significantly                     necessary. These requirements conform
                                                                                                                                                                     Officer for the Federal Energy
                                                      change existing burdens on an ongoing                    to the Commission’s need for efficient
                                                                                                                                                                     Regulatory Commission, phone: (202)
                                                      basis.                                                   information collection, communication,
                                                         The Commission notes that these                       and management within the energy                      395–0710, fax (202) 395–7285]. Due to
                                                      estimates do not include costs for                       industry. The Commission has specific,                security concerns, comments should be
                                                      software or hardware. Software or                        objective support for the burden                      sent electronically to the following
                                                      hardware upgrades may not be required.                   estimates associated with the                         email address: oira_submission@
                                                         Title: FERC–516, Electric Rate                        information collection requirements.                  omb.eop.gov. Comments submitted to
                                                      Schedules and Tariff Filings.                              79. Interested persons may obtain                   OMB should include FERC–516 and
                                                         Action: Proposed revisions to an                      information on the reporting                          OMB Control No. 1902–0096.
                                                      information collection.                                  requirements by contacting the
                                                         OMB Control No. 1902–0096.                            following: Federal Energy Regulatory
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                                                        160 44 U.S.C. 3507(d).                                   162 The Commission expects that the validation of   ISO spends time validating these offers, the
                                                        161 The RTOs and ISOs (CAISO, ISO–NE., MISO,           cost-based incremental energy offers above $1,000/    Commission estimates such time to be de minimis.
                                                      NYISO, PJM, and SPP) are required to comply with         MWh would be an infrequent occurrence. To the
                                                      the reforms proposed in this NOPR.                       extent that the Market Monitoring Unit or the RTO/



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                                                      5964                    Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules

                                                      V. Regulatory Flexibility Act                             Furthermore, because of their pivotal                native applications or print-to-PDF
                                                      Certification                                             roles in wholesale electric power                    format and not in a scanned format.
                                                         80. The Regulatory Flexibility Act of                  markets in their regions, none of the                Commenters filing electronically do not
                                                      1980 (RFA) 164 generally requires a                       RTOs/ISOs meet the last criterion of the             need to make a paper filing.
                                                      description and analysis of rules that                    two-part RFA definition a small entity:                 85. Commenters that are not able to
                                                      will have significant economic impact                     ‘‘not dominant in its field of operation.’’          file comments electronically must send
                                                      on a substantial number of small                          As a result, the Commission certifies                an original of their comments to:
                                                      entities. The RFA does not mandate any                    that the reforms proposed in this NOPR               Federal Energy Regulatory Commission,
                                                      particular outcome in a rulemaking. It                    would not have a significant economic                Secretary of the Commission, 888 First
                                                      only requires consideration of                            impact on a substantial number of small              Street NE., Washington, DC 20426.
                                                      alternatives that are less burdensome to                  entities. The Commission does not
                                                                                                                expect other entities to incur                          86. All comments will be placed in
                                                      small entities and an agency                                                                                   the Commission’s public files and may
                                                      explanation of why alternatives were                      compliance costs as a result of the
                                                                                                                reforms proposed in this NOPR, but                   be viewed, printed, or downloaded
                                                      rejected.                                                                                                      remotely as described in the Document
                                                         81. This rule would apply to six                       seeks detailed comments on whether
                                                                                                                other entities, such as load-serving                 Availability section below. Commenters
                                                      RTOs/ISOs (all of which are
                                                                                                                entities, would incur costs as a result of           on this proposal are not required to
                                                      transmission organizations). The
                                                                                                                the reforms proposed in this NOPR.                   serve copies of their comments on other
                                                      average estimated annual cost to each of
                                                      the RTOs/ISOs is $36,000, all in Year 1.                                                                       commenters.
                                                                                                                VI. Environmental Analysis
                                                      This one-time cost of filing and                                                                               VIII. Document Availability
                                                      implementing these changes is not                           82. The Commission is required to
                                                      significant.165 Additionally, the RTOs/                   prepare an Environmental Assessment                    87. In addition to publishing the full
                                                      ISOs are not small entities, as defined                   or an Environmental Impact Statement                 text of this document in the Federal
                                                      by the RFA.166 This is because the                        for any action that may have a                       Register, the Commission provides all
                                                      relevant threshold between small and                      significant adverse effect on the human              interested persons an opportunity to
                                                      large entities is 500 employees and the                   environment.167 The Commission                       view and/or print the contents of this
                                                      Commission understands that each                          concludes that neither an                            document via the Internet through the
                                                      RTO/ISO has more than 500 employees.                      Environmental Assessment nor an                      Commission’s Home Page (http://
                                                                                                                Environmental Impact Statement is                    www.ferc.gov) and in the Commission’s
                                                        163 The estimated hourly cost (salary plus              required for this NOPR under section                 Public Reference Room during normal
                                                      benefits) provided in this section are based on the       380.4(a)(15) of the Commission’s                     business hours (8:30 a.m. to 5:00 p.m.
                                                      salary figures for May 2014 posted by the Bureau          regulations, which provides a                        Eastern time) at 888 First Street NE.,
                                                      of Labor Statistics for the Utilities sector (available   categorical exemption for approval of
                                                      at http://www.bls.gov/oes/current/naics2_                                                                      Room 2A, Washington, DC 20426.
                                                      22.htm#13–0000) and scaled to reflect benefits            actions under sections 205 and 206 of
                                                      using the relative importance of employer costs in        the FPA relating to the filing of                      88. From the Commission’s Home
                                                      employee compensation from March 2015                     schedules containing all rates and                   Page on the Internet, this information is
                                                      (available at http://www.bls.gov/news.release/ecec.       charges for the transmission or sale of              available on eLibrary. The full text of
                                                      nr0.htm). The hourly estimates for salary plus                                                                 this document is available on eLibrary
                                                      benefits are:                                             electric energy subject to the
                                                                                                                Commission’s jurisdiction, plus the                  in PDF and Microsoft Word format for
                                                        • Legal (code 23–0000), $129.87
                                                        • Computer and mathematical (code 15–0000),             classification, practices, contracts and             viewing, printing, and/or downloading.
                                                      $58.25                                                    regulations that affect rates, charges,              To access this document in eLibrary,
                                                        • Information systems manager (code 11–3021),           classifications, and services.168                    type the docket number of this
                                                      $94.55                                                                                                         document, excluding the last three
                                                        • IT security analyst (code 15–1122), $63.55            VII. Comment Procedures                              digits, in the docket number field.
                                                        • Auditing and accounting (code 13–2011),
                                                      $51.11
                                                                                                                  83. The Commission invites interested                89. User assistance is available for
                                                        • Information and record clerk (code 43–4199),          persons to submit comments on the                    eLibrary and the Commission’s Web site
                                                      $37.50                                                    matters and issues proposed in this                  during normal business hours from the
                                                        • Electrical Engineer (code 17–2071), $66.45            notice to be adopted, including any                  Commission’s Online Support at 202–
                                                        • Economist (code 19–3011), $73.04                      related matters or alternative proposals
                                                        • Management (code 11–0000), $78.04
                                                                                                                                                                     502–6652 (toll free at 1–866–208–3676)
                                                                                                                that commenters may wish to discuss.                 or email at ferconlinesupport@ferc.gov,
                                                        The average hourly cost (salary plus benefits),         Comments are due April 4, 2016.
                                                      weighting all of these skill sets evenly, is $72.48.                                                           or the Public Reference Room at (202)
                                                      The Commission rounds it to $72 per hour.                 Comments must refer to Docket No.                    502–8371, TTY (202) 502–8659. Email
                                                        164 5 U.S.C. 601–12.                                    RM16–5–000, and must include the                     the Public Reference Room at
                                                        165 This estimate does not include costs for            commenter’s name, the organization                   public.referenceroom@ferc.gov.
                                                      software or increased time spent validating cost-         they represent, if applicable, and their
                                                      based incremental energy offers, for which the            address.                                             List of Subjects in 18 CFR Part 35
                                                      Commission requests comment. As stated above,
                                                      the Commission expects that the validation of cost-         84. The Commission encourages
                                                      based incremental energy offers above $1,000/MWh          comments to be filed electronically via                 Electric power rates, Electric utilities,
                                                      would be an infrequent occurrence. To the extent          the eFiling link on the Commission’s                 Non-discriminatory open access
                                                      that the Market Monitoring Unit or the RTO/ISO            Web site at http://www.ferc.gov. The                 transmission tariffs.
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                                                      spends time validating these offers, the Commission
                                                      expects such time to be de minimis.                       Commission accepts most standard                       By direction of the Commission.
                                                        166 The RFA definition of ‘‘small entity’’ refers to    word processing formats. Documents                     Issued: January 21, 2016.
                                                      the definition provided in the Small Business Act,        created electronically using word                    Nathaniel J. Davis, Sr.,
                                                      which defines a ‘‘small business concern’’ as a           processing software should be filed in
                                                      business that is independently owned and operated                                                              Deputy Secretary.
                                                      and that is not dominant in its field of operation.
                                                                                                                  167 Regulations Implementing the National
                                                      The Small Business Administrations’ regulations at                                                               In consideration of the foregoing, the
                                                      13 CFR 121.201 define the threshold for a small           Environmental Policy Act of 1989, Order No. 486,
                                                                                                                52 FR 47,897 (Dec. 17, 1987), FERC Stats. & Regs.    Commission proposes to amend part 35,
                                                      Electric Bulk Power Transmission and Control
                                                      entity (NAICS code 221121) to be 500 employees.           ¶ 30,783 (1987).                                     chapter I, title 18, Code of Federal
                                                                                                                  168 18 CFR 380.4(a)(15) (2015).                    Regulations, as follows:


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                                                                                      Federal Register / Vol. 81, No. 23 / Thursday, February 4, 2016 / Proposed Rules                                                                 5965

                                                      PART 35—FILING OF RATE                                                       for purposes of calculating Locational                         energy offer in excess of $1,000/MWh
                                                      SCHEDULES AND TARIFFS                                                        Marginal Prices in energy markets must                         may not be used to calculate Locational
                                                                                                                                   be capped at the higher of $1,000/MWh                          Marginal Prices. In such circumstances
                                                      ■ 1. The authority citation for part 35                                      or that resource’s cost-based                                  a resource would be eligible for a make-
                                                      continues to read as follows:                                                incremental energy offer. The costs                            whole payment if that resource clears
                                                        Authority: 16 U.S.C. 791a–825r, 2601–                                      underlying a resource’s cost-based                             the energy market and the resource’s
                                                      2645; 31 U.S.C. 9701; 42 U.S.C. 7101–7352.                                   incremental energy offer above $1,000/                         costs are verified after-the-fact. All
                                                      ■ 2. Amend § 35.28 by adding paragraph                                       MWh must be verified before that offer                         resources, regardless of type, are eligible
                                                      (g)(9) to read as follows:                                                   can be used for purposes of calculating                        to submit cost-based incremental energy
                                                                                                                                   Locational Marginal Prices. If a resource                      offers in excess of $1,000/MWh.
                                                      § 35.28 Non-discriminatory open access
                                                                                                                                   submits an incremental energy offer                               The following appendix will not
                                                      transmission tariff.
                                                                                                                                   above $1,000/MWh and the costs                                 appear in the Code of Federal
                                                      *     *     *   *     *                                                                                                                     Regulations.
                                                        (g) * * *                                                                  underlying that offer cannot be verified
                                                        (9) Incremental energy offer caps. A                                       before the market clearing process                             Appendix A: List of Short Names/
                                                      resource’s incremental energy offer used                                     begins, that resource’s incremental                            Acronyms of Commenters

                                                                                             Short name/acronym                                                                                        Commenter

                                                      APPA and NRECA ...................................................................................                 American Public Power Association and National Rural Electric Coop-
                                                                                                                                                                           erative Association.
                                                      ANGA ........................................................................................................      America’s Natural Gas Alliance.
                                                      Brookfield ..................................................................................................      Brookfield Renewable Energy Marketing LP.
                                                      California State Water Project ..................................................................                  California Department of Water Resources State Water Project.
                                                      CAISO .......................................................................................................      California Independent System Operator Corporation.
                                                      Calpine ......................................................................................................     Calpine Corporation.
                                                      Direct Energy ............................................................................................         Direct Energy Business Marketing, LLC, Direct Energy Business, LLC
                                                                                                                                                                           and affiliated companies.
                                                      EEI ............................................................................................................   Edison Electric Institute.
                                                      EPSA ........................................................................................................      Electric Power Supply Association.
                                                      ELCON .....................................................................................................        Electricity Consumers Resource Council.
                                                      Entergy Nuclear Power Marketing ...........................................................                        Entergy Nuclear Power Marketing, LLC.
                                                      Exelon .......................................................................................................     Exelon Corporation.
                                                      GDF SUEZ ...............................................................................................           GDF SUEZ North America, Inc.
                                                      ISO–NE .....................................................................................................       ISO New England, Inc.
                                                      IRC ............................................................................................................   ISO/RTO Council.
                                                      MISO .........................................................................................................     Midcontinent Independent System Operator, Inc.
                                                      NYISO .......................................................................................................      New York Independent System Operator, Inc.
                                                      New York Transmission Owners ..............................................................                        New York Transmission Owners (Central Hudson Gas & Electric Cor-
                                                                                                                                                                           poration, Consolidated Edison Company of New York, Inc., Power
                                                                                                                                                                           Supply of Long Island, New York Power Authority, New York State
                                                                                                                                                                           Electric & Gas Corporation, Niagara Mohawk Power Corporation d/b/
                                                                                                                                                                           a National Grid, Orange and Rockland Utilities, Inc., and Rochester
                                                                                                                                                                           Gas and Electric Corporation).
                                                      NCPA ........................................................................................................      Northern California Power Agency.
                                                      OMS ..........................................................................................................     Organization of MISO States.
                                                      PG&E ........................................................................................................      Pacific Gas and Electric Company.
                                                      PJM ...........................................................................................................    PJM Interconnection, L.L.C.
                                                      PJM Power Providers ...............................................................................                PJM Power Providers Group.
                                                      PJM Utilities Coalition ...............................................................................            PJM Utilities Coalition (American Electric Power Service Corporation,
                                                                                                                                                                           the Dayton Power and Light Company, FirstEnergy Service Com-
                                                                                                                                                                           pany, Buckeye Power, Inc., and East Kentucky Power Cooperative).
                                                      Potomac Economics .................................................................................                Potomac Economics, Ltd.
                                                      Powerex ....................................................................................................       Powerex Corp.
                                                      PSEG Companies ....................................................................................                PSEG Companies (Public Service Electric and Gas Company, PSEG
                                                                                                                                                                           Power LLC and PSEG Energy Resources & Trade LLC).
                                                      SCE ..........................................................................................................     Southern California Edison Company.
                                                      SPP ...........................................................................................................    Southwest Power Pool, Inc.
                                                      TAPS ........................................................................................................      Transmission Access Policy Study Group.
                                                      Western Power Trading Forum ................................................................                       Western Power Trading Forum.
                                                      Wisconsin Electric ....................................................................................            Wisconsin Electric Power Company.
                                                      Xcel ...........................................................................................................   Xcel Energy Services Inc.
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                                                      [FR Doc. 2016–01813 Filed 2–3–16; 8:45 am]
                                                      BILLING CODE 6717–01–P




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Document Created: 2016-02-04 00:31:26
Document Modified: 2016-02-04 00:31:26
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionNotice of proposed rulemaking.
DatesComments are due April 4, 2016.
ContactEmma Nicholson (Technical Information), Office of Energy Policy and Innovation, Federal Energy Regulatory Commission, 888 First Street NE., Washington, DC 20426, (202) 502-8846, [email protected] Pamela Quinlan (Technical Information), Office of Energy Market Regulation, Federal Energy Regulatory Commission, 888 First Street NE., Washington, DC 20426, (202) 502-6179, [email protected] Anne Marie Hirschberger (Legal Information), Office of the General Counsel, Federal Energy Regulatory Commission, 888 First Street NE., Washington, DC 20426, (202) 502-8387, annemarie.hirschberg[email protected]
FR Citation81 FR 5951 
CFR AssociatedElectric Power Rates; Electric Utilities and Non-Discriminatory Open Access Transmission Tariffs

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