81_FR_88003 81 FR 87770 - Offer Caps in Markets Operated by Regional Transmission Organizations and Independent System Operators

81 FR 87770 - 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 233 (December 5, 2016)

Page Range87770-87800
FR Document2016-28320

The Federal Energy Regulatory Commission is revising its regulations to address incremental energy offer caps. We require that each regional transmission organization (RTO) and independent system operator (ISO): Cap each resource's incremental energy offer at the higher of $1,000/megawatt-hour (MWh) or that resource's verified cost- based incremental energy offer; and cap verified cost-based incremental energy offers at $2,000/MWh when calculating locational marginal prices (LMP). Further, we clarify that the verification process for cost-based incremental offers above $1,000/MWh should ensure that a resource's cost-based incremental energy offer reasonably reflects that resource's actual or expected costs. This Final Rule will improve price formation by reducing the likelihood that offer caps will suppress LMPs below the marginal cost of production, while compensating resources for the costs they incur to serve load, by enabling RTOs/ISOs to dispatch the most efficient set of resources when short-run marginal costs exceed $1,000/ MWh, by encouraging resources to offer supply to the market when it is most needed, and by reducing the potential for seams issues.

Federal Register, Volume 81 Issue 233 (Monday, December 5, 2016)
[Federal Register Volume 81, Number 233 (Monday, December 5, 2016)]
[Rules and Regulations]
[Pages 87770-87800]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2016-28320]



[[Page 87769]]

Vol. 81

Monday,

No. 233

December 5, 2016

Part IV





Department of Energy





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Federal Energy Regulatory Commission





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18 CFR Part 35





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

Federal Register / Vol. 81 , No. 233 / Monday, December 5, 2016 / 
Rules and Regulations

[[Page 87770]]


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DEPARTMENT OF ENERGY

Federal Energy Regulatory Commission

18 CFR Part 35

[Docket No. RM16-5-000; Order No. 831]


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

AGENCY: Federal Energy Regulatory Commission.

ACTION: Final rule.

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SUMMARY: The Federal Energy Regulatory Commission is revising its 
regulations to address incremental energy offer caps. We require that 
each regional transmission organization (RTO) and independent system 
operator (ISO): Cap each resource's incremental energy offer at the 
higher of $1,000/megawatt-hour (MWh) or that resource's verified cost-
based incremental energy offer; and cap verified cost-based incremental 
energy offers at $2,000/MWh when calculating locational marginal prices 
(LMP). Further, we clarify that the verification process for cost-based 
incremental offers above $1,000/MWh should ensure that a resource's 
cost-based incremental energy offer reasonably reflects that resource's 
actual or expected costs. This Final Rule will improve price formation 
by reducing the likelihood that offer caps will suppress LMPs below the 
marginal cost of production, while compensating resources for the costs 
they incur to serve load, by enabling RTOs/ISOs to dispatch the most 
efficient set of resources when short-run marginal costs exceed $1,000/
MWh, by encouraging resources to offer supply to the market when it is 
most needed, and by reducing the potential for seams issues.

DATES: Effective Date: This rule will become effective February 21, 
2017.

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:

Order No. 831

Final Rule

 
                            Table of Contents
 
                                                              Paragraph
                                                               numbers
 
I. Introduction............................................            1
II. Background.............................................            7
    A. Offer Caps in RTOs/ISOs.............................           10
    B. Offer Caps Waivers and Tariff Changes...............           14
III. Need for Reform.......................................           15
    A. Comments............................................           16
        1. Comments That Support the Preliminary Finding              16
         That Current Offer Caps are Unjust and
         Unreasonable......................................
        2. Comments that Oppose Reforming Current Offer               20
         Caps..............................................
        3. Generally Applicable Offer Cap Reforms..........           27
    B. Determination.......................................           34
IV. Offer Cap Reforms......................................           42
    A. Offer Cap Structure.................................           44
        1. NOPR Proposal...................................           44
        2. Comments........................................           45
        3. Determination...................................           77
    B. Cost Verification...................................           96
        1. NOPR Proposal...................................           96
        2. Comments........................................           98
        3. Determination...................................          139
    C. Resource Neutrality.................................          148
        1. NOPR Proposal...................................          148
        2. Comments........................................          149
        3. Determination...................................          156
V. Other Issues............................................          160
    A. Virtual Transactions................................          160
        1. Comments........................................          161
        2. Determination...................................          172
    B. External Transactions...............................          178
        1. Comments........................................          179
        2. Determination...................................          192
VI. Other Comments.........................................          199
    A. Verification Requirement Details....................          200
        1. Comments........................................          200
        2. Determination...................................          207
    B. Impact of Offer Cap Reforms on Other Market Elements          209
        1. Comments........................................          210
        2. Determination...................................          213
VII. Requests Beyond the Scope of this Proceeding..........          214
    A. Comments............................................          214
    B. Determination.......................................          218
VIII. Information Collection Statement.....................          219
IX. Regulatory Flexibility Act Certification...............          223

[[Page 87771]]

 
X. Environmental Analysis..................................          225
XI. Document Availability..................................          226
XII. Effective Date and Congressional Notification.........          229
Regulatory Text
APPENDIX: List of Short Names/Acronyms of Commenters
 

I. Introduction

    1. In this Final Rule, the Federal Energy Regulatory Commission 
(Commission) finds that current regional transmission organization 
(RTO) and independent system operator (ISO) offer caps on incremental 
energy offers \1\ (offer cap) are not just and reasonable for the 
reasons discussed below. To remedy these unjust and unreasonable rates, 
we require, pursuant to section 206 of the Federal Power Act,\2\ that 
each RTO/ISO: (1) Cap each resource's incremental energy offer at the 
higher of $1,000/megawatt-hour (MWh) or that resource's verified cost-
based incremental energy offer; and (2) cap verified cost-based 
incremental energy offers at $2,000/MWh when calculating locational 
marginal prices (LMP) (hard cap).\3\ Further, we clarify that the 
verification process for cost-based incremental offers above $1,000/MWh 
should ensure that a resource's cost-based incremental energy offer 
reasonably reflects that resource's actual or expected costs.
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    \1\ The incremental energy offer is the portion of a resource's 
energy supply offer that varies with output or level of demand 
reduction.
    \2\ 16 U.S.C. 824e (2012).
    \3\ In this proceeding, a hard cap refers to an upper limit on 
the incremental energy offers that RTOs/ISOs can use to calculate 
LMPs. The hard cap does not limit the cost-based incremental energy 
offers that a market participant may submit to the RTO/ISO.
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    2. We reach this conclusion for several reasons. First, offer caps 
in some RTOs/ISOs may prevent a resource from recouping its short-run 
marginal costs by not permitting that resource to include all of its 
short-run marginal costs within its incremental energy offer. Second, 
current offer caps in some RTOs/ISOs are likely to suppress LMPs below 
the marginal cost of production during periods when fuel costs increase 
dramatically. Third, when several resources have short-run marginal 
costs above $1,000/MWh but are unable to reflect those costs within 
their incremental energy offers due to the offer cap, the RTO/ISO is 
unable to dispatch the most efficient set of resources because it will 
not be able to distinguish among the resources' actual costs. Finally, 
the $1,000/MWh offer cap in some RTOs/ISOs may discourage resources 
with short-run marginal costs above $1,000/MWh from offering supply to 
the RTO/ISO, even though the market may be willing to purchase that 
supply.\4\ To remedy these problems, we are setting forth requirements 
for each RTO/ISO regarding the offer cap in this Final Rule. We believe 
generic action is appropriate to avoid the creation of seams that would 
result from different offer caps in adjacent RTO/ISO markets.
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    \4\ Many resources are subject to must-offer requirements in 
either the day-ahead or real-time markets. These offer cap reforms 
ensure that such a resource has an economic incentive that matches 
its tariff obligation and also provide an economic incentive to 
those resources that are not subject to a must-offer requirement.
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    3. We have modified the proposal in the Notice of Proposed 
Rulemaking (NOPR) to include a $2,000/MWh hard cap for the purposes of 
calculating LMPs. While the offer cap proposed in the NOPR would 
address the concerns identified above, we are convinced by commenters 
that the absence of a hard cap creates practical concerns that must be 
addressed. First, several commenters note that RTOs/ISOs and/or Market 
Monitoring Units may have imperfect information about resource short-
run marginal costs, which can create challenges for the proposed 
requirement to verify cost-based incremental energy offers above 
$1,000/MWh prior to the market clearing process. Additionally, as noted 
by market monitors, the dynamics of natural gas spot market prices 
during periods when they rise to levels that could result in the short-
run marginal costs of some natural gas-fired resources exceeding 
$1,000/MWh can make verification challenging, particularly verification 
of expected costs. Thus, while a hard cap may diminish the ability to 
fully address the shortcomings of current offer caps identified above 
in all circumstances, we find that, on balance, a hard cap is necessary 
to reasonably limit the adverse impact that any imperfect information 
during the verification process could have on LMPs.
    4. The goals of the price formation proceeding are to: (1) Maximize 
market surplus for consumers and suppliers; (2) provide correct 
incentives for market participants to follow commitment and dispatch 
instructions, make efficient investments in facilities and equipment, 
and maintain reliability; (3) provide transparency so that market 
participants understand how prices reflect the actual marginal cost of 
serving load and the operational constraints of reliably operating the 
system; and (4) ensure that all suppliers have an opportunity to 
recover their costs.\5\
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    \5\ See 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 1 (Jan. 16, 2015) (Notice Inviting 
Comments); 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).
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    5. The reforms adopted in this Final Rule advance two of the 
Commission's goals with respect to price formation. First, the reforms 
will result in LMPs that are more likely to reflect the true marginal 
cost of production when resources' short-run marginal costs exceed 
$1,000/MWh. In the short run, LMPs that reflect the short-run marginal 
costs of production are particularly important during high price 
periods because they provide a signal to consumers to reduce 
consumption and a signal to suppliers to increase production or to 
offer new supplies to the market. In the long run, LMPs that reflect 
the short-run marginal cost of production are important because they 
inform investment decisions. Second, the reforms will give resources 
the opportunity to recover their short-run marginal costs, thereby 
encouraging resources to participate in RTO/ISO energy markets. 
Adequate investment in resources and resource participation in RTO/ISO 
energy markets ensure adequate and reliable energy for consumers. The 
benefits summarized above and discussed in detail below would 
ultimately help to ensure just and reasonable rates.
    6. As discussed below, we require each RTO/ISO to submit a filing 
with the tariff changes needed to implement this Final Rule within 75 
days of the Final Rule's effective date.

[[Page 87772]]

II. Background

    7. In June 2014, the Commission initiated a proceeding, in Docket 
No. AD14-14-000, to evaluate issues regarding price formation in the 
energy and ancillary services markets operated by RTOs/ISOs.\6\ In the 
notice initiating that proceeding, the Commission stated that there may 
be opportunities for the RTOs/ISOs to improve the energy and ancillary 
services price formation process. As set forth in that notice, LMPs and 
market-clearing prices used in energy and ancillary services markets 
ideally ``would reflect the true marginal cost of production, taking 
into account all physical system constraints, and these prices would 
fully compensate all resources for the variable cost of providing 
service.'' \7\
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    \6\ Price Formation Notice, Docket No. AD14-14-000.
    \7\ Price Formation Notice, Docket No. AD14-14-000 at 2.
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    8. In the instant proceeding, on January 21, 2016, the Commission 
issued a NOPR proposing to require that each RTO/ISO: (1) Cap each 
resource's incremental energy offer to the higher of $1,000/MWh or that 
resource's verified cost-based incremental energy offer; and (2) use 
verified cost-based incremental energy offers above $1,000/MWh to 
calculate LMPs.\8\
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    \8\ Offer Caps in Markets Operated by Regional Transmission 
Organizations and Independent System Operators, 81 FR 5951 (Feb. 4, 
2016), FERC Stats. & Regs. ] 32,714, at P 3 (2016) (NOPR).
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    9. The Commission also sought comments on the NOPR proposal 
regarding: (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 of the Market 
Monitoring Unit or RTO/ISO to verify the costs underlying 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, such as risk or opportunity costs 
that are often difficult to quantify, are accurately reflected in a 
resource's cost-based incremental energy offer, and whether an adder is 
appropriate; (4) whether the Market Monitoring Unit or RTO/ISO may need 
additional information or the authority to require revisions or 
corrections to cost-based incremental energy offers to ensure that 
cost-based incremental energy offers are accurate reflections of a 
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, or create market 
inefficiencies; and (7) the impact the proposal would have on seams.\9\
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    \9\ Id. P 73.
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A. Offer Caps in RTOs/ISOs

    10. Supply offers in day-ahead and real-time energy markets consist 
of both financial and physical components. 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 day-ahead or real-time interval. The physical components of 
a supply offer, which are not denominated in dollars, describe the 
resource's physical operating parameters. These include, for example, a 
resource's minimum and maximum operating limits in a given day-ahead or 
real-time interval, and are denominated in MW, MWh, time, or some other 
unit.
    11. This Final Rule addresses the incremental energy offer 
component of a resource's supply offer, which is a financial component 
consisting of costs that vary with a resource's output or level of 
demand reduction. Incremental energy offers typically consist 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.
    12. All six Commission-jurisdictional RTOs/ISOs have at one time 
imposed a $1,000/MWh cap on incremental energy offers.\10\ The offer 
cap remains at $1,000/MWh in CAISO, ISO-NE., MISO, NYISO, and SPP, and 
resources in these RTOs/ISOs may not submit incremental energy offers 
above $1,000/MWh. As discussed further below, resources in PJM may 
submit incremental energy offers above $1,000/MWh provided they are 
cost-based, but PJM applies a hard cap that limits incremental energy 
offers to $2,000/MWh when calculating LMPs.\11\
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    \10\ See, e.g., California Independent System Operator 
Corporation, eTariff, 39.6.1.1 (11.0.0); ISO New England Inc., 
Transmission, Markets and Services Tariff, Market Rule 1, 
III.1.10.1A(c)(iv), III,1.10.IA(d)(iv), III.2.6(b)(i), and 
III.A.15.1(b) (46.0.0); Midcontinent Independent System Operator, 
Inc., FERC Electric Tariff, Module D 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 
Tariffs, NYISO Markets and Services Tariff, 21.4 and 21.5.1 (7.0.0); 
PJM Interconnection, L.L.C., Intra-PJM Tariffs, OATT, Tariff 
Operating Agreement, Attachment K, Appendix, 1.10.1A(d) (24.0.0); 
Southwest Power Pool, Inc., OATT, Sixth Revised Volume No. 1, 
Attachment AE, Section 4.1.1 (2.0.0).
    \11\ PJM Interconnection, L.L.C., 153 FERC ] 61,289, at P 25 
(2015) (PJM 2015 Offer Cap Order).
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    13. While the current offer caps restrict the incremental energy 
offers, one of the components used to set LMP, they do not limit LMPs 
to the level of the offer caps because the addition of the congestion 
and loss components of the LMP can result in LMPs that exceed the offer 
cap. Scarcity or shortage pricing and emergency purchases can also 
cause LMPs to exceed the offer cap.

B. Offer Caps Waivers and Tariff Changes

    14. As described in the NOPR, after the extreme weather experienced 
during the winter of 2013/14, dubbed the ``Polar Vortex'', PJM, NYISO, 
and MISO filed various requests to either temporarily or permanently 
revise their respective offer caps.\12\ During the winter months of 
2014, the Commission approved requests to temporarily waive tariff 
provisions related to offer caps in NYISO \13\ and PJM.\14\ In the 
following winter of 2014/15, the Commission approved temporary changes 
to the PJM tariff and temporarily waived some MISO tariff provisions to 
address issues with the offer caps in the PJM and MISO energy 
markets.\15\ During the winter of 2015/16, PJM and MISO again filed 
requests to modify their respective offer caps. On December 11, 2015, 
the Commission accepted tariff revisions in PJM that would raise the 
cap on cost-based incremental energy offers to $2,000/MWh for purposes 
of calculating

[[Page 87773]]

LMPs.\16\ The Commission also granted MISO's request to temporarily 
waive tariff provisions related to its $1,000/MWh offer cap.\17\ MISO 
recently filed another request to temporarily waive tariff provisions 
related to its offer cap for the upcoming winter of 2016/17.\18\
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    \12\ NOPR, FERC Stats. & Regs ] 32,714 at PP 13-17.
    \13\ N.Y. Indep. Sys. Operator, Inc., 146 FERC ] 61,061, at PP 
2-4 (2014).
    \14\ 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. See PJM Interconnection, 
L.L.C., 146 FERC ] 61,041, at P 2 (PJM 2014 Waiver Order I), order 
on reh'g, 149 FERC ] 61,059 (2014). 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 
incremental energy offers in excess of $1,000/MWh, with no cap on 
cost-based offers. See PJM Interconnection, L.L.C., 146 FERC ] 
61,078, at PP 3-4 (2014) (PJM 2014 Offer Cap Order II).
    \15\ The temporary revisions to the PJM tariff were accepted for 
the January 16, 2015 through March 31, 2015 period. See PJM 
Interconnection, L.L.C., 150 FERC ] 61,020, at P 5 (2015) (PJM 2014/
15 Offer Cap Order). The temporary waiver of the MISO tariff 
provisions was granted for December 20, 2014 through April 30, 2015 
period. See Midcontinent Indep. Sys. Operator, Inc., 150 FERC ] 
61,083, at P 3 (2015) (MISO 2014/15 Offer Cap Order).
    \16\ PJM 2015 Offer Cap Order, 153 FERC ] 61,289 at P 25. The 
tariff provisions related to the offer cap do not have a sunset 
date.
    \17\ Midcontinent Indep. Sys. Operator, Inc., 154 FERC ] 61,006, 
at P 1 (2016) (MISO 2015/16 Offer Cap Order). This waiver was 
granted for the January 1, 2016 through April 30, 2016 period.
    \18\ Midcontinent Indep. Sys. Operator, Inc., Transmittal, 
Docket No. ER16-2685-000.
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III. Need for Reform

    15. In the NOPR, the Commission preliminarily found that the 
$1,000/MWh offer caps currently in effect in some RTOs/ISOs \19\ are 
unjust and unreasonable for four reasons.\20\ First, some current RTO/
ISO offer caps may prevent a resource from recouping its short-run 
marginal costs by not permitting that resource to reflect its short-run 
marginal costs within its incremental energy offer. Second, current 
offer caps may suppress LMPs below the marginal cost of production. 
Third, when several resources have short-run marginal costs above 
$1,000/MWh but are unable to reflect those costs within their 
incremental energy offers due to the offer cap, the RTO/ISO may not 
dispatch the most efficient set of resources because it will not be 
able to distinguish between the resources' actual costs. Finally, the 
$1,000/MWh offer cap in some RTOs/ISOs may discourage resources with 
short-run marginal costs above $1,000/MWh from offering supply to the 
RTO/ISO, even though the market may be willing to purchase that 
supply.\21\ We believe generic action is appropriate to avoid the 
creation of seams that would result from different offer caps in 
adjacent RTO/ISO markets. As described below, based on our analysis of 
the record, we adopt the preliminary findings in the NOPR and conclude 
that the current offer caps in RTOs/ISOs are unjust and unreasonable.
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    \19\ Specifically CAISO, ISO-NE., MISO, NYISO, and SPP. See 
supra n.10.
    \20\ See NOPR, FERC Stats. & Regs. ] 32,714 at PP 43-47.
    \21\ Id. PP 44-47.
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A. Comments

1. Comments That Support the Preliminary Finding That Current Offer 
Caps are Unjust and Unreasonable
    16. Several commenters, for various reasons, support the 
Commission's preliminary finding in the NOPR that existing offer caps 
in RTOs/ISOs are unjust and unreasonable,\22\ and others express 
general or conditional support for the NOPR.\23\ Some commenters agree 
that the $1,000/MWh offer cap prevents resources from recovering their 
short-run marginal costs.\24\ For example, Direct Energy states that 
generator cost assurance is key to maintaining reliability because it 
ensures that resources will have the incentive to follow RTO/ISO 
dispatch instructions when called upon by the RTO/ISO, without concern 
for receiving compensation below their short-run costs.\25\ Six Cities 
states that exceptional circumstances may give rise to marginal costs 
for specific resources that exceed $1,000/MWh and those resources 
should have an opportunity to recover their actual costs of 
production.\26\
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    \22\ See generally CEA Comments at 3-4; Direct Energy Comments 
at 2-3; Exelon Comments at 5-7; PJM/SPP Comments at 1-2; EEI 
Comments at 3-4; Competitive Suppliers Comments at 4, 6, 7-15; Ohio 
Commission Comments at 4. A list of commenters and the abbreviated 
names used for them in this Final Rule appears in the Appendix.
    \23\ See generally Dominion Comments at 3; EEI Comments at 3-5; 
Golden Spread Comments at 1; Midcontinent Joint Consumer Advocates 
Comments at 2; MISO Comments at 1; NESCOE Comments at 1; New Jersey 
Commission Comments at 1; NY Transmission Owners Comments at 2; 
NYISO Comments at 2; OMS Comments at 2; OPSI Comments at 10; PJM/SPP 
Comments at 1; Potomac Economics Comments at 1; Powerex Comments at 
6; Six Cities Comments at 2.
    \24\ CEA Comments at 4; Direct Energy Comments at 2-3; OMS 
Comments at 2; Six Cities Comments at 2.
    \25\ Direct Energy Comments at 2.
    \26\ Six Cities Comments at 2.
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    17. Several commenters support the Commission's preliminary finding 
that existing RTO/ISO offer caps should be reformed because they can 
suppress LMPs below the marginal cost of production.\27\ For example, 
PJM/SPP \28\ state that the current offer caps could undermine market 
efficiency by preventing legitimate incremental energy offers above 
$1,000/MWh, which they state has occurred in some parts of the country, 
because LMPs that fail to reflect the cost of serving demand are 
inefficient.\29\ Competitive Suppliers assert that while the costs of 
the marginal resources have not frequently exceeded $1,000/MWh, the 
impact of the $1,000/MWh offer cap is not trivial because artificially 
suppressing day-ahead or real-time LMPs during those few intervals can 
prevent economic outcomes that will support reliability and motivate 
consumers to reduce consumption during stressed system conditions.\30\ 
Midcontinent Joint Consumer Advocates support changing the offer cap 
because incremental energy costs would only exceed $1,000/MWh in 
extreme conditions.\31\
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    \27\ See generally CEA Comments at 3-4; Competitive Suppliers 
Comments at 9-13; Exelon Comments at 5-7; EEI Comments at 3-5; PJM 
Power Providers Comments at 1-2; PJM/SPP Comments at 1-2; Powerex 
Comments at 6.
    \28\ ``PJM/SPP'' indicates comments filed jointly by PJM and 
SPP. PJM and SPP also make individual comments within their joint 
filing.
    \29\ PJM/SPP Comments at 1-2 (citing PJM, Analysis of 
Operational Events and Market Impacts During the January 2014 Cold 
Weather Events (May 8, 2014), available at http://www.pjm.com/~/
media/committeesgroups/task-forces/cstf/20140509/20140509-item-02-
cold-weather-report.ashx).
    \30\ Competitive Suppliers Comments at 9.
    \31\ Midcontinent Joint Consumer Advocates Comments at 3-4.
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    18. Other commenters agree with the Commission's preliminary 
finding that the $1,000/MWh offer cap should be reformed because it can 
discourage a resource with costs above the offer cap from offering its 
supply to the RTO/ISO, even though the market may be willing to 
purchase that supply.\32\ For example, OMS states that when the 
(primarily fuel) cost to generate electricity is unusually high, the 
current $1,000/MWh offer cap can limit the willingness of resources to 
offer into the day-ahead and real-time markets.\33\
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    \32\ See generally CEA Comments at 3-4; Competitive Suppliers 
Comments at 13; OMS Comments at 2; Powerex Comments at 6.
    \33\ OMS Comments at 2.
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    19. CEA and EEI express general support for the Commission's 
preliminary finding in the NOPR that current offer caps could also 
prevent the RTO/ISO from dispatching the most efficient set of 
resources because the RTO/ISO will not have access to the underlying 
costs associated with the multiple incremental energy offers above the 
offer cap.\34\
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    \34\ CEA Comments at 2-3; EEI Comments at 3-4.
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2. Comments That Oppose Reforming Current Offer Caps
    20. Several commenters disagree with the Commission's finding that 
the current offer cap is unjust and unreasonable and therefore should 
be reformed. For example, CAISO argues that the current $1,000/MWh 
offer cap in CAISO should not be changed because $1,000/MWh is far in 
excess of what the highest reasonable cost-justified offer could be 
from a CAISO resource.\35\ CAISO explains that natural gas prices have 
generally been stable, and argues that even if natural gas market 
fundamentals changed, periods when incremental energy costs exceed 
$1,000/MWh would be infrequent and short-lived and do not justify the 
offer cap changes proposed in the NOPR.\36\ ISO-NE does not oppose 
raising its current offer cap to a higher fixed level, but nonetheless 
maintains that the

[[Page 87774]]

current $1,000/MWh offer cap in ISO-NE is just and reasonable because 
the cap has not inappropriately limited LMPs below the marginal 
cost.\37\
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    \35\ CAISO Comments at 4.
    \36\ Id. at 4-5.
    \37\ ISO-NE Comments at 1-3.
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    21. The ISO-NE and SPP Market Monitors assert that there is no need 
to reform the offer caps in their markets. The ISO-NE Market Monitor 
states that there is no need to revise ISO-NE's $1,000/MWh offer cap 
because natural gas prices have become more stable and, if completed, 
proposed pipeline expansions in New England will help alleviate some of 
the natural gas congestion that led to the high LMPs observed in ISO-NE 
in 2014.\38\ The SPP Market Monitor states that SPP resources have not 
experienced costs above $1,000/MWh and the SPP Market Monitor expects 
that fuel price spikes that would raise costs to that level would 
rarely occur.\39\
---------------------------------------------------------------------------

    \38\ ISO-NE Market Monitor Comments at 12-14 (citing ISO-NE 
Market Rule 1, Appendix A, Section III.A.15).
    \39\ SPP Market Monitor Comments at 8-9.
---------------------------------------------------------------------------

    22. A number of commenters argue, for various reasons, that current 
RTO/ISO offer caps should not be revised.\40\ For example, several 
commenters assert that revising the offer cap is an overreaction to 
anomalous, infrequent, and/or transitory market and weather conditions 
that do not justify changing the offer cap. Steel Producers' Alliance 
observes that the current offer cap has only been an issue in a handful 
of instances, which it argues demonstrates that the offer cap is set at 
the appropriate level and performing as intended.\41\ APPA, NRECA, and 
AMP assert that the offer cap issues described in the NOPR are merely 
hypothetical, and that there is insufficient evidence that current 
offer caps are unjust and unreasonable.\42\
---------------------------------------------------------------------------

    \40\ See generally APPA, NRECA, and AMP Comments at 5-8; AF&PA 
Comments at 2-3; CAISO Comments at 2; Industrial Customers Comments 
at 3-9; Industrial Energy Consumers Comments at 2; ISO-NE Market 
Monitor Comments at 12-14; NY Department of State Comments at 3-5; 
NYPSC Comments at 1, 4; Steel Producers' Alliance Comments at 2-3; 
ODEC Comments at 3-5; PG&E Comments at 1-2; PJM Joint Consumer 
Advocates Comments at 2-4; SPP Market Monitor Comments at 2, 6, 12-
13; TAPS Comments at 1, 4-7.
    \41\ Steel Producers' Alliance Comments at 2.
    \42\ APPA, NRECA, and AMP Comments at 9-13.
---------------------------------------------------------------------------

    23. Some commenters disagree with the NOPR's preliminary finding 
that offer caps are unjust and unreasonable because they can suppress 
LMPs below the marginal cost of production. For example, ODEC argues 
that a higher cap is unnecessary because LMPs are lower in PJM than 
they were when PJM's current higher offer cap was adopted.\43\ Other 
commenters argue that LMPs above $1,000/MWh do not send a useful price 
signal to consumers,\44\ and may in fact harm consumers because most 
demand for electricity is inelastic, or unresponsive to price 
changes.\45\ These commenters argue that, because most demand is 
inelastic, raising the offer cap would lead to market power abuses and 
transfer payments from load to generators.\46\ For example, Industrial 
Customers argue that resources can take advantage of inelastic demand 
and exercise market power to obtain prices above competitive 
levels.\47\ The New York Commission argues that without sufficient 
competition, including from demand response, raising the offer cap will 
not change behavior in NYISO and will only increase prices and burden 
ratepayers.\48\ The New York Commission asserts that the Commission 
should not revise the offer cap until more effective demand response 
resources can participate in NYISO's real-time energy market.\49\
---------------------------------------------------------------------------

    \43\ ODEC Comments at 3-4.
    \44\ NY Department of State Comments at 3; New York Commission 
Comments at 5-6.
    \45\ AF&PA Comments at 2-3; Industrial Energy Consumers Comments 
at 2; Industrial Customers Comments at 10; PJM Joint Consumer 
Advocates Comments at 4; TAPS Comments at 6, 12.
    \46\ Direct Energy Comments at 3-5; Industrial Customers 
Comments at 10; NY Department of State Comments at 3; TAPS Comments 
at 3.
    \47\ Industrial Customers Comments at 10.
    \48\ New York Commission Comments at 5-6.
    \49\ New York Commission Comments at 6.
---------------------------------------------------------------------------

    24. Many commenters argue that the current offer caps in RTOs/ISOs 
should be maintained because they protect consumers from excessive LMPs 
that result from market power abuse.\50\ For example, NY Department of 
State argues that the offer cap benefits consumers by shielding 
customers from high real-time LMPs or market manipulation.\51\ 
Similarly, TAPS states that the current offer caps act as a critical 
safety valve to protect consumers from excessive prices.\52\ Industrial 
Customers assert that increasing the offer cap above $1,000/MWh would 
raise consumers' costs to hedge electricity procurements.\53\ 
Industrial Energy Consumers stress that offer caps are essential for 
consumers to be confident that rate structures are fair and 
nondiscriminatory.\54\
---------------------------------------------------------------------------

    \50\ Industrial Customers Comments at 3, 10-11; Industrial 
Energy Consumers Comments at 2; TAPS Comments at 1, 8-12, NY 
Department of State Comments at 4.
    \51\ NY Department of State Comments at 4.
    \52\ TAPS Comments at 1.
    \53\ Industrial Customers Comments at 20.
    \54\ Industrial Energy Consumers Comments at 2.
---------------------------------------------------------------------------

    25. Some commenters argue that current offer caps do not suppress 
LMPs in a manner that impacts resource investment decisions. AF&PA 
asserts that periodic and unpredictable price spikes have limited value 
in sustaining resource viability or inducing consumers to make long 
term behavioral changes.\55\ Similarly, TAPS argues that allowing 
offers above $1,000/MWh to set the LMP would not have a practical 
impact on resource investment decisions because, even if the offer cap 
were raised, the LMP would remain the same in the vast majority of 
hours. TAPS adds that no resource owner would base its capital 
investments on the hope that LMPs will be extremely high for just a few 
hours every year.\56\
---------------------------------------------------------------------------

    \55\ AF&PA Comments at 2-3.
    \56\ TAPS Comments at 6-7.
---------------------------------------------------------------------------

    26. Some commenters argue that offer cap waivers are the best 
remedy to address issues associated with the offer cap.\57\ For 
example, Industrial Energy Consumers state that the Commission 
adequately addressed the isolated Polar Vortex event by granting either 
temporary, limited waivers, or uplift payments, thereby sending the 
correct price signal for investment.\58\ AF&PA supports current 
Commission protocols of waivers and other reforms that allow generators 
to recover verifiable costs in certain situations, and supports the 
expansion and streamlining of these protocols.\59\
---------------------------------------------------------------------------

    \57\ AF&PA Comments at 6-7; Industrial Energy Consumers Comments 
at 2; Steel Producers' Alliance Comments at 2-3.
    \58\ Industrial Energy Consumers Comments at 2.
    \59\ AF&PA Comments at 6.
---------------------------------------------------------------------------

3. Generally Applicable Offer Cap Reforms
    27. In addition to the four preliminary findings stated above,\60\ 
the Commission also stated in the NOPR that the lack of a uniform offer 
cap has the potential to exacerbate seams issues between neighboring 
RTOs/ISOs.\61\ The Commission recognized in the NOPR that the proposed 
reforms 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 neighboring markets due to resources 
with different short-run marginal costs being on the margin in those 
markets.\62\ The Commission preliminarily found, however, that these 
differences will not adversely affect seams because the differences 
would be driven by actual costs and not by offer caps artificially 
suppressing LMPs. The Commission stated that, to the extent incremental 
energy offers can be verified, a reform applicable to all RTOs/ISOs 
that allows cost-based incremental energy offers to exceed $1,000/MWh 
would enhance

[[Page 87775]]

market efficiency and mitigate the potential for seams issues.\63\ The 
Commission sought comment on these preliminary findings and other seams 
issues related to this proposal.
---------------------------------------------------------------------------

    \60\ See supra P 2.
    \61\ NOPR, FERC Stats. & Regs. ] 32,714 at P 70.
    \62\ Id. P 71.
    \63\ Id. P 48.
---------------------------------------------------------------------------

    28. The majority of commenters agree with the NOPR's proposal to 
make a change in the offer cap across all RTOs/ISOs in order to avoid 
seams issues,\64\ and several commenters generally agree with the 
importance of mitigating seams issues.\65\ For example, the IRC notes 
the importance of uniformity in the treatment of offer caps, 
particularly in neighboring RTOs/ISOs.\66\ NYISO supports a uniform 
RTO/ISO offer cap and argues that, in areas with a common fuel source, 
differing offer caps in neighboring regions could lead to restricted 
fuel procurement in the region with the lower offer cap.\67\ MISO 
asserts that without a common offer cap, tight operating conditions 
could provide counterproductive arbitrage opportunities.\68\ The ISO-NE 
Market Monitor notes that different offer caps in neighboring regions 
could be detrimental to ISO-NE's ongoing efforts to develop a clearing 
mechanism to select external resources in economic merit order.\69\
---------------------------------------------------------------------------

    \64\ See generally Dominion Comments at 8; Competitive Suppliers 
Comments at 23, 25; EEI Comments at 4; Exelon Comments at 22-23; 
MISO Comments at 19; NESCOE Comments at 2; PJM Power Providers 
Comments at 6-7; OMS Comments at 4; PJM/SPP Comments at 2-3; IRC 
Comments at 3; NY Department of State Comments at 6; NYISO Comments 
at 9-10; ISO-NE Market Monitor Comments at 14; Steel Producers' 
Alliance Comments at 3-4. Some of these commenters express 
conditional or qualified support of the NOPR and/or propose 
alternative offer caps.
    \65\ Industrial Customers Comments at 21, 24; Midcontinent Joint 
Consumer Advocates Comments at 9-10; TAPS Comments at 21-22.
    \66\ IRC Comments at 1, 3.
    \67\ NYISO Comments at 10.
    \68\ MISO Comments at 19.
    \69\ ISO-NE Market Monitor Comments at 14.
---------------------------------------------------------------------------

    29. The PJM Market Monitor states that the proposal's impact on 
seams would be consistent with efficient markets whereby energy would 
flow to where it is valued most.\70\ EEI argues that the actual effect 
of the NOPR on seams would be determined by market forces and the 
marginal cost to operate the system.\71\
---------------------------------------------------------------------------

    \70\ PJM Market Monitor Comments at 12.
    \71\ EEI Comments at 4.
---------------------------------------------------------------------------

    30. With respect to the Western Electricity Coordinating Council 
(WECC), CAISO and Exelon argue that the Commission must address how it 
will ensure consistency between the proposed offer cap in CAISO and the 
existing $1,000/MWh offer cap in WECC.\72\ CAISO and Exelon observe 
that, in instituting the existing offer cap in WECC, the Commission 
recognized the interdependency between CAISO and WECC and therefore 
stated that it would be unjust and unreasonable to have different offer 
caps in these two regions.\73\ CAISO further asserts that for those 
RTOs/ISOs, such as CAISO, that do not share a seam with another RTO/
ISO, the Final Rule should allow these RTOs/ISOs to demonstrate that 
raising the offer cap is unnecessary.\74\
---------------------------------------------------------------------------

    \72\ CAISO Comments at 14; Exelon Comments at 22.
    \73\ CAISO Comments at 14 (citing Western Electric Coordinating 
Council, 133 FERC ] 61,026 (2010)); Exelon Comments at 22 (citing 
Western Electric Coordinating Council, 131 FERC ] 61,145 (2010)).
    \74\ CAISO Comments at 2, 4.
---------------------------------------------------------------------------

    31. Some market participants support the NOPR's applicability to 
all RTOs/ISOs in theory, but argue that the effect on seams would 
depend on implementation. The Delaware Commission cautions that the 
degree to which the verification of cost-based offers above $1,000/MWh 
is sufficiently rigorous will determine the effect on seams and that 
this will not be known until implementation.\75\ ISO-NE agrees that 
consistent energy offer caps are important to prevent flows that run 
contrary to reliability needs, but argues that the NOPR's actual effect 
on seams is unknown because real-time cost verification for imports is 
not possible.\76\ PJM Joint Consumer Advocates argue that the 
Commission's proposal could exacerbate seams because shortage pricing 
mechanisms vary across RTOs/ISOs.\77\ Industrial Energy Consumers note 
that allowing different offer caps in adjacent markets could create 
seams issues.\78\
---------------------------------------------------------------------------

    \75\ Delaware Commission Comments at 14-15.
    \76\ ISO-NE Comments at 9.
    \77\ PJM Joint Consumer Advocates Comments at 6-7.
    \78\ Industrial Energy Consumers Comments at 2.
---------------------------------------------------------------------------

    32. Other commenters argue that there should be regional 
flexibility in implementing an offer cap. PG&E argues that a one-size-
fits-all solution for all RTO/ISO markets is not appropriate.\79\ As 
noted above, the NY Transmission Owners suggest that different hard 
caps in different regions might be justified, so long as regions that 
are dependent on the same gas supply coordinate their caps.\80\ Direct 
Energy supports the NOPR's proposal for verified cost-based offers 
above $1,000/MWh, but argues that individual RTOs/ISOs should be able 
to set offer caps above $1,000/MWh in recognition of regional 
differences.\81\
---------------------------------------------------------------------------

    \79\ PG&E Comments at 1-2.
    \80\ NY Transmission Owners Comments at 4-5.
    \81\ Direct Energy Comments at 5-6.
---------------------------------------------------------------------------

    33. APPA, NRECA, and AMP assert that the NOPR runs counter to the 
Commission's usual practice of recognizing and accommodating regional 
differences.\82\ APPA, NRECA, and AMP state that a concern over seams 
is not adequate justification for the rule because it fails to account 
for regional differences, and because the Commission determined that 
the need for an increase in the offer cap outweighed seams issues when 
it approved PJM's $2,000/MWh offer cap.\83\
---------------------------------------------------------------------------

    \82\ APPA, NRECA, and AMP Comments at 5-6.
    \83\ Id. at 6 (citing PJM 2015 Offer Cap Order, 153 FERC ] 
61,289 at P 55). Additionally, APPA, NRECA, and AMP argue that the 
fact that PJM has this higher offer cap and it has not resulted in 
seams issues proves that concerns over seams are purely 
hypothetical. Id.
---------------------------------------------------------------------------

B. Determination

    34. Based on our analysis of the record, we adopt the preliminary 
findings in the NOPR, and conclude that the offer caps currently in 
effect in RTOs/ISOs are unjust and unreasonable. We find that the 
currently effective offer caps may prevent a resource from recovering 
its short-run marginal costs, which could result in that resource 
operating at a loss.\84\ We also find that the $1,000/MWh offer caps in 
effect in some RTOs/ISOs may suppress LMPs below the marginal cost of 
production given that recent history demonstrates that resource short-
run marginal costs can exceed $1,000/MWh.\85\ We also find that 
preventing resources from including all of their short-run marginal 
costs in their incremental energy offers when those costs exceed 
$1,000/MWh may discourage resources that are not subject to must-offer 
requirements from offering their supply to the RTO/ISO energy market. 
Finally, preventing resources from including their short-run marginal 
costs in their incremental energy offers when those costs exceed 
$1,000/MWh may also prevent the RTO/ISO from dispatching the most 
efficient resources when several resources have short-run marginal 
costs above $1,000/MWh.
---------------------------------------------------------------------------

    \84\ As discussed above, the Commission has previously accepted 
temporary changes to tariff provisions in MISO that enabled 
resources to receive uplift for short-run marginal costs above the 
$1,000/MWh offer cap. However, cost recovery through uplift is only 
guaranteed if a resource experiences short-run marginal costs above 
$1,000/MWh during the time period for which the Commission has 
accepted tariff revisions related to the offer cap. See supra P 14. 
Currently, resources in many RTOs/ISOs do not have the opportunity 
to recover short-run marginal costs above $1,000/MWh without a 
tariff modification.
    \85\ PJM 2014/15 Offer Cap Order, 150 FERC ] 61,020 at P 6.
---------------------------------------------------------------------------

    35. We disagree with commenters who argue that there is no need to 
reform the offer cap or that the problems described in the NOPR are 
hypothetical and that insufficient evidence exists to

[[Page 87776]]

conclude that the current offer caps are unjust and unreasonable. As 
discussed in the NOPR, three RTOs/ISOs made filings with the Commission 
(two on multiple occasions) to address issues related to the level of 
the offer cap.\86\ The waiver requests and high natural gas costs 
experienced during the Polar Vortex, which could have caused some 
resources to experience costs above $1,000/MWh, demonstrate that the 
deficiencies of current offer caps, in particular the $1,000/MWh offer 
cap, are concrete rather than hypothetical.
---------------------------------------------------------------------------

    \86\ NOPR, FERC Stats. & Regs. ] 32,714 at PP 13-17.
---------------------------------------------------------------------------

    36. Without Commission action to remedy these deficiencies, some 
resources could be forced to operate at a loss and some resources would 
be discouraged from offering their supply to the grid when it is most 
needed. A central tenet of sound wholesale electric market design is 
that resources must have an opportunity to recover their costs, so the 
question left to the Commission is how to provide that opportunity for 
cost recovery when short-run marginal costs exceed the $1,000/MWh offer 
cap. We have essentially two choices to enable resources to recover 
short-run marginal costs above $1,000/MWh: To allow cost recovery 
through energy prices or through uplift. Short-run marginal costs, 
which resources include in the incremental energy component of their 
supply offers, are typically used to calculate LMP. As noted above,\87\ 
ensuring that LMPs reflect the marginal cost of production sends 
critical information to market participants, improves transparency, and 
generally results in more efficient outcomes in RTO/ISO energy markets. 
We find that recovery through energy prices, in most circumstances, 
will provide the additional benefit that LMPs reflect the marginal cost 
of production, will increase transparency about the functioning of RTO/
ISO energy markets, and will facilitate efficient dispatch of resources 
with short-run marginal costs above $1,000/MWh.\88\ While we recognize 
that offer caps may not bind frequently, the Federal Power Act requires 
the Commission to ensure that rates are just and reasonable.
---------------------------------------------------------------------------

    \87\ See supra P 5.
    \88\ We note that uplift is necessary in some circumstances. For 
example, resource start-up and no-load costs are not typically 
included in LMP, and some resources receive uplift to recover these 
costs.
---------------------------------------------------------------------------

    37. We also disagree with commenters that LMPs above $1,000/MWh do 
not send useful price signals to market participants because, in fact, 
the Commission has found on prior occasions that LMPs based on short-
run marginal cost send efficient short-run and long-run signals to the 
market.\89\ In the short-run, LMPs based on short-run marginal costs 
are an effective way to communicate information to market participants 
about the cost of providing the next unit of energy. For example, when 
LMPs are high, 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, LMPs based on short-run 
marginal costs can help to inform investment decisions.\90\
---------------------------------------------------------------------------

    \89\ PJM Interconnection, L.L.C., 110 FERC ] 61,053, at P 114 
(2005) (``offers [in a competitive market] should set the market 
clearing price in order to send appropriate price signals about the 
need for new generation or enhanced load response''). PJM 2014 Offer 
Cap Order II, 146 FERC ] 61,078 at P 40 (``By limiting legitimate, 
cost-based bids to no more than $1,000/MWh, the market produces 
artificially suppressed market prices and inefficient resource 
selection'').
    \90\ NOPR, FERC Stats. & Regs. ] 32,714 at P 7.
---------------------------------------------------------------------------

    38. Furthermore, as noted by Competitive Suppliers and EEI, even if 
LMPs exceed $1,000/MWh for only a few hours during the year, the 
resulting LMPs in those hours could affect long-term price signals.\91\ 
For all of these reasons, we conclude that the existing offer caps are 
not just and reasonable and, thus, need to be reformed.
---------------------------------------------------------------------------

    \91\ Competitive Suppliers Comments at 9; EEI Comments at 5.
---------------------------------------------------------------------------

    39. With respect to the applicability of the reforms adopted in 
this Final Rule, we find that making the reforms applicable to all 
RTOs/ISOs will avoid seams issues that could arise if RTOs/ISOs had 
different offer caps.\92\ We find that these offer cap reforms will 
also result in more economically efficient flows between RTOs/ISOs 
because transactions across RTO/ISO seams will occur based on economic 
merit rather than based on differences in the offer cap.\93\
---------------------------------------------------------------------------

    \92\ NOPR, FERC Stats. & Regs. ] 32,714 at PP 70-71.
    \93\ Id. P 74.
---------------------------------------------------------------------------

    40. We also find that continued use of temporary waivers related to 
the offer cap, as advocated by some commenters, is an inappropriate 
remedy for problems associated with current offer caps in RTOs/ISOs. 
The reforms adopted in this Final Rule will provide more certainty to 
market participants and reduce the administrative burden on RTOs/ISOs 
associated with requests for temporary waivers of various tariff 
provisions related to the $1,000/MWh offer caps prior to the start of 
every winter to ensure that resources are given the opportunity to 
recover their costs.\94\ We also find that problems identified with the 
current offer caps are better addressed through a rulemaking rather 
than through continued use of either ad hoc actions to approve tariff 
waivers or temporary changes to tariff provisions to remedy issues 
associated with existing RTO/ISO offer caps.
---------------------------------------------------------------------------

    \94\ Id. PP 45, 49 (citing Notice Inviting Comments, Docket No. 
AD14-14-000 at 2).
---------------------------------------------------------------------------

    41. We find that the reasons for requiring the proposed offer cap 
reforms apply equally to CAISO. As discussed above, the potential for 
resources to have short-run marginal costs above CAISO's current 
$1,000/MWh offer cap requires some action to ensure that resources have 
an opportunity to recover costs. As in other RTO/ISO markets, 
increasing the offer cap will improve price formation in CAISO at times 
when the short-run marginal costs of CAISO resources exceed $1,000/MWh. 
CAISO's lack of a seam with another RTO/ISO does not alter these 
effects. Contrary to the implication of CAISO's argument, as explained 
above, we are not relying on the avoidance of seams issues as the sole 
rationale for adopting this Final Rule. With respect to comments 
regarding the WECC offer cap, we find that this issue is unique to 
CAISO, and if CAISO finds that this Final Rule raises seams issues with 
WECC, it may raise such issues elsewhere.

IV. Offer Cap Reforms

    42. Having concluded that the existing offer caps are not just and 
reasonable, section 206 of the Federal Power Act requires that the 
Commission determine the practices that are just and reasonable.\95\ We 
direct each RTO/ISO to establish in their tariffs the following three 
requirements:
---------------------------------------------------------------------------

    \95\ 16 U.S.C. 824e (2012).
---------------------------------------------------------------------------

    (1) A resource's incremental energy offer must be capped at the 
higher of $1,000/MWh or that resource's cost-based incremental energy 
offer. For the purpose of calculating Locational Marginal Prices, 
Regional Transmission Organizations and Independent System Operators 
must cap cost-based incremental energy offers at $2,000/MWh. (Offer cap 
structure requirement)
    (2) 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 offer may not be used to calculate Locational 
Marginal Prices and the resource would be eligible for a make-whole 
payment if

[[Page 87777]]

that resource is dispatched and the resource's costs are verified 
after-the-fact. A resource would also be eligible for a make-whole 
payment if it is dispatched and its verified cost-based incremental 
energy offer exceeds $2,000/MWh. (Verification requirement)
    (3) All resources, regardless of type, are eligible to submit cost-
based incremental energy offers in excess of $1,000/MWh. (Resource 
neutrality requirement)
    43. The offer cap structure requirement is discussed in section 
IV.A. The verification requirement is discussed in section IV.B. The 
resource neutrality requirement is discussed in section IV.C.

A. Offer Cap Structure

1. NOPR Proposal
    44. In the NOPR, the Commission proposed the following offer cap 
structure requirement:

    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.\96\
---------------------------------------------------------------------------

    \96\ NOPR, FERC Stats. & Regs. ] 32,714 at P 53.

The Commission sought comments on this proposed offer cap structure 
requirement and whether a hard cap that limited the incremental energy 
offers used to calculate LMPs would be necessary. The Commission also 
sought comment on whether the level of the hard cap should be $2,000/
MWh or another value.\97\
---------------------------------------------------------------------------

    \97\ See id. P 55.
---------------------------------------------------------------------------

2. Comments
    45. Comments about the proposed offer cap structure focus on two 
key areas: (1) Whether incremental energy above $1,000/MWh should be 
cost-based; and (2) how LMPs should be calculated when resource short-
run marginal costs exceed $1,000/MWh, including whether resources with 
costs above $1,000/MWh should be compensated through higher LMPs or 
through uplift, whether a hard cap is necessary, and the appropriate 
level of any hard cap.\.\
a. Whether Incremental Energy Offers Above $1,000/MWh Should be Cost 
Based
    46. Commenters differed on the proposal to limit incremental energy 
offers above $1,000/MWh to cost-based incremental energy offers. Some 
commenters support this proposal and argue that it is appropriate to 
limit incremental energy offers that are not cost-based to $1,000/MWh 
as a backstop mitigation measure.\98\ As discussed further below,\99\ 
many commenters support the verification requirement proposed in the 
NOPR and stress that incremental energy offers above $1,000/MWh must be 
cost-based incremental energy offers before such offers are eligible to 
calculate LMPs.\100\
---------------------------------------------------------------------------

    \98\ MISO Comments at 7; NY Transmission Owners Comments at 2-3.
    \99\ See infra PP 100-101.
    \100\ See generally NYISO Comments at 2; SCE Comments at 1-2; 
PG&E Comments at 3; NY Transmission Owners Comments at 3; Golden 
Spread Comments at 3; Delaware Commission Comments at 11; TAPS 
Comments at 12; NESCOE Comments at 3.
---------------------------------------------------------------------------

    47. Regarding offer caps in general, MISO states that the offer cap 
is currently necessary because demand in RTO/ISO energy and ancillary 
service markets is inelastic and also because they serve as a safety 
net.\101\ MISO adds that offer caps should be set high enough so as not 
to interfere with valid market dynamics.\102\ NY Transmission Owners 
maintain that the $1,000/MWh offer cap is an important backstop to 
protect consumers from the exercise of market power should mitigation 
fail.\103\
---------------------------------------------------------------------------

    \101\ MISO Comments at 7.
    \102\ Id. at 7.
    \103\ NY Transmission Owners Comments at 2-3.
---------------------------------------------------------------------------

    48. Some commenters argue that the $1,000/MWh threshold, above 
which a resource's incremental energy offer submitted to the RTO/ISO 
must be cost-based, is too high. The Delaware and New Jersey 
Commissions recommend that in PJM, all incremental energy offers above 
$400/MWh be verified before such offers are eligible to set LMP,\104\ 
and the Pennsylvania Commission asks the Commission to carefully 
consider the threshold above which incremental energy offers are 
verified.\105\ The PJM Market Monitor states that there is no reason 
that $1,000/MWh should be the dividing line between incremental energy 
offers that can include markups and incremental energy offers that must 
be cost-based, and that the threshold could be lowered to $500/MWh in 
PJM noting that only 0.17 percent of all offers were above $400/MWh in 
2015.\106\
---------------------------------------------------------------------------

    \104\ Delaware Commission Comments at 4-7; New Jersey Commission 
Comments at 9.
    \105\ Pennsylvania Commission Comments at 10-13.
    \106\ PJM Market Monitor Comments at 2.
---------------------------------------------------------------------------

    49. Exelon states that while it supports removing the offer cap 
completely, if the Commission finds that incremental energy offers 
above a certain threshold must be cost-based,\107\ Exelon recommends a 
$2,000/MWh threshold which it states is above a recent fully supported 
cost-based incremental energy offer of $1,724/MWh seen in PJM in 
2014.\108\ Exelon also recommends that this threshold be reevaluated on 
a triennial basis to ensure it reflects market realities.\109\
---------------------------------------------------------------------------

    \107\ Exelon refers to this threshold as a ``market-based offer 
cap.'' See, e.g., Exelon Comments at 1, 7-10.
    \108\ Exelon Comments at 9-10.
    \109\ Id. at 10.
---------------------------------------------------------------------------

    50. Other commenters support an absolute cap on the incremental 
energy offers, even if a resource's short-run marginal costs exceed 
that cap.\110\ Industrial Customers also claim that if incremental 
energy offers above $1,000/MWh are permitted, resources would have no 
incentive to minimize their fuel costs because they would recover all 
of their costs if they were dispatched by the RTO/ISO.\111\ Potomac 
Economics states that resources should be prohibited from submitting 
incremental energy offers above $2,000/MWh, and claims that without 
such an absolute cap, natural gas prices could be bid up to 
extraordinary levels.\112\
---------------------------------------------------------------------------

    \110\ Industrial Customers Comments at 10; Potomac Economics 
Comments at 7.
    \111\ Industrial Customers Comments at 19.
    \112\ Potomac Economics Comments at 7. Potomac Economics is the 
external independent market monitor for NYISO, MISO, and ISO-NE. 
ISO-NE and NYISO also have internal Market Monitoring Units.
---------------------------------------------------------------------------

    51. However, several commenters state that resources should be able 
to submit incremental energy offers that reflect their short-run 
marginal costs, even if those offers exceed $1,000/MWh.\113\ For 
example, CEA argues that it is prudent to modify current offer caps to 
allow resources to submit incremental energy offers above $1,000/MWh 
when fuel and other inputs cause the marginal cost of production to 
exceed $1,000/MWh.\114\ PJM Power Providers argue that raising the 
offer cap is important because it would allow energy clearing prices to 
reflect market conditions and provide stability to consumers and 
suppliers by eliminating the need for ad hoc waivers.\115\
---------------------------------------------------------------------------

    \113\ See generally Competitive Suppliers Comments at 12-14; 
Dominion Comments at 3-4; EEI Comments at 3-4; Golden Spread 
Comments at 1; MISO Comments at 6; NY Transmission Owners Comments 
at 3; OMS Comments at 3; PJM/SPP Comments at 6; PJM Market Monitor 
Comments at 1; Six Cities Comments at 2.
    \114\ CEA Comments at 3-4.
    \115\ PJM Power Providers Comments at 1-2 (citing NOPR, FERC 
Stats. & Regs. ] 32,714 at PP 14, 16, 17).
---------------------------------------------------------------------------

    52. Some commenters argue that offer caps that limit the 
incremental energy offers that resources can submit should

[[Page 87778]]

be increased \116\ or removed entirely.\117\ For example, API and the 
Texas Commission argue that the offer cap should be raised 
significantly.\118\ The Texas Commission asserts that MISO's offer cap 
should be raised significantly to provide greater assurance of resource 
adequacy, reduce administrative complexity, and minimize uplift 
charges.\119\
---------------------------------------------------------------------------

    \116\ API Comments at 3, 8, 13; Exelon Comments at 7; OMS 
Comments (on behalf of Public Utility Commission of Texas (Texas 
Commission), referring to MISO's $1,000/MWh offer cap) at 3 n. 7; 
NEI Comments at 2, 4-5.
    \117\ NEI Comments at 2, 4-5; Competitive Suppliers Comments at 
4-5, 7, 13-15; Exelon Comments at 9-10.
    \118\ API Comments at 3, 8, 13; OMS Comments (on behalf of Texas 
Commission) at 3 n.7.
    \119\ OMS Comments (on behalf of Texas Commission) at 3 n.7.
---------------------------------------------------------------------------

    53. MISO states that it does not oppose the NOPR proposal to revise 
the offer cap because the proposal will allow market clearing prices to 
more accurately reflect the true marginal cost of production while 
protecting consumers from the effects of manipulation and improving 
price transparency, and the proposal should also reduce uplift 
payments.\120\ However, MISO urges the Commission to consider whether 
the offer cap proposal in the NOPR is an appropriate long-term approach 
and states that it could support a gradual relaxation of offer caps to 
allow market forces to respond accordingly.\121\
---------------------------------------------------------------------------

    \120\ MISO Comments at 6.
    \121\ Id. at 7.
---------------------------------------------------------------------------

    54. PJM Power Providers assert that resources should be able to 
submit cost-based incremental energy offers that reflect all short-run 
marginal costs.\122\ Competitive Suppliers and Exelon argue that the 
offer cap should be removed entirely, or raised to avoid adverse 
impacts on the market.\123\ According to Competitive Suppliers, 
significant improvements in electricity markets and market monitoring 
have occurred since the $1,000/MWh offer cap was put in place nearly 20 
years ago.\124\ Competitive Suppliers also argue that, given these 
improvements, the offer cap should be removed, or if that approach is 
not taken, the verification process should involve minimal 
distortions.\125\
---------------------------------------------------------------------------

    \122\ PJM Power Providers Comments at 2.
    \123\ Competitive Suppliers Comments at 4-5, 8, 14; Exelon 
Comments at 10.
    \124\ Competitive Suppliers Comments at 8, 14-15.
    \125\ Id. at 4-5.
---------------------------------------------------------------------------

b. How LMPs Should Be Calculated When Resource Short-Run Marginal Costs 
Exceed $1,000/MWh
    55. Several commenters discuss how LMPs should be calculated when 
resource short-run marginal costs exceed $1,000/MWh, with some 
commenters arguing that LMPs should rise to reflect the marginal cost 
of production and others arguing that resources with short-run marginal 
costs above $1,000/MWh should be compensated outside of the market 
through uplift rather than through higher LMPs. Commenters also discuss 
the need for a hard cap and the appropriate level for any hard cap.
i. Whether To Compensate Resources With Costs Above $1,000/MWh Through 
Uplift or Higher LMPs
    56. As noted above,\126\ several commenters state that incremental 
energy offers above $1,000/MWh should be used to calculate LMPs because 
the resulting LMPs will better reflect the marginal costs of 
production.\127\ MISO states that permitting cost-based incremental 
energy offers above $1,000/MWh to set LMPs should improve price 
transparency and should reduce uplift payments.\128\ EEI states that 
competitive wholesale electricity markets should provide accurate price 
signals and that cost-based incremental energy offers above $1,000/MWh 
should be used to calculate LMPs because LMPs should reflect the 
marginal cost of operating the system, which will promote efficient 
operation, resource accuracy, and result in savings for consumers.\129\
---------------------------------------------------------------------------

    \126\ See supra P 17.
    \127\ CEA Comments at 3-4; Competitive Suppliers Comments at 9-
13; EEI Comments at 3; Exelon Comments at 5-7; Powerex Comments at 
6; PJM Providers Group Comments at 2; Golden Spread Comments at 1; 
MISO Comments at 6; PJM/SPP Comments at 1-2.
    \128\ MISO Comments at 6.
    \129\ EEI Comments at 3-4.
---------------------------------------------------------------------------

    57. However, other commenters argue that incremental energy offers 
above $1,000/MWh, even if they are cost-based, should not be able to 
set LMP.\130\ For example, Industrial Customers argue that letting 
incremental energy offers set LMP would be a windfall to 
resources.\131\ Many commenters argue that uplift or temporary waivers 
should be used to account for instances when resources' short-run 
marginal costs exceed the offer cap. Some commenters argue that rather 
than letting incremental energy offers above $1,000/MWh set LMP, 
resources with costs above the $1,000/MWh offer cap should be 
compensated through uplift.\132\ For example, the New York Commission 
argues that an uplift mechanism could ensure that generators can 
recover all short-run marginal costs.\133\ KEPCo/NCEMC asserts that if 
cost-based incremental energy offers above $1,000/MWh are based on 
inaccurate fuel cost estimates, there may be no means of remedying the 
effects on the markets.\134\ KEPCo/NCEMC add that uplift is a more cost 
effective way to ensure both resource cost recovery and just and 
reasonable prices.\135\ Industrial Customers assert that uplift is 
preferable to using incremental energy offers above $1,000/MWh to 
calculate LMP because uplift payments ensure cost recovery and can be 
limited to the resources that are necessary to balance supply and 
demand, rather than compensating all resources.\136\
---------------------------------------------------------------------------

    \130\ APPA, NRECA, and AMP Comments at 8-10; Industrial 
Customers Comments at 9; NY Department of State Comments at 3; ODEC 
Comments at 3; PJM Joint Consumer Advocates Comments at 5; TAPS 
Comments at 5-6; Steel Producers' Alliance Comments at 3.
    \131\ Industrial Customers Comments at 9.
    \132\ APPA, NRECA, and AMP Comments at 8, 13-14, 16; Industrial 
Customers Comments at 8-9, 23-24; KEPCo/NCEMC Comments at 4; TAPS 
Comments at 5-6; New York Commission Comments at 6-7; SPP Market 
Monitor Comments at 2, 4, 6-7; Industrial Energy Consumers Comments 
at 2.
    \133\ New York Commission Comments at 6-7.
    \134\ KEPCo/NCEMC Comments at 4.
    \135\ Id. at 4.
    \136\ Industrial Customers Comments at 8-9.
---------------------------------------------------------------------------

ii. Whether To Adopt a Hard Cap
    58. Comments differ on the need for a hard cap that would limit the 
incremental energy offers RTOs/ISOs use to calculate LMPs, a limit 
referred to herein as a hard cap. Many commenters support a hard 
cap,\137\ and some argue that a hard cap serves as an important 
backstop mitigation measure to address concerns about the 
competitiveness of natural gas markets or as a means to protect 
consumers from unreasonably high LMPs.\138\
---------------------------------------------------------------------------

    \137\ ISO-NE Comments at 3; ISO-NE Market Monitor Comments at 
12; Joseph Margolies Comments at 8; NYISO Comments at 7; SPP Market 
Monitor Comments at 2, 13; TAPS Comments at 7.
    \138\ Direct Energy Comments at 3-5; Industrial Customers 
Comments at 12; ISO-NE Comments at 3; Joseph Margolies Comments at 
3; Potomac Economics Comments at 7; NY Department of State Comments 
at 3; TAPS Comments at 7.
---------------------------------------------------------------------------

    59. CAISO, ISO-NE, and NYISO support a hard cap. CAISO asserts 
that, assuming it were able to verify cost-based offers above $1,000/
MWh, a hard cap is necessary if the Commission permits resources to 
submit incremental energy offers above $1,000/MWh.\139\ CAISO adds that 
a hard cap may help mitigate price spikes in fuel markets.\140\ ISO-NE 
supports a hard cap established at a fixed level and argues that any 
new offer cap should be imposed in a straightforward manner such that 
market participants know the level of

[[Page 87779]]

the offer cap with certainty when making advance fuel supply 
arrangements.\141\ NYISO asserts that a hard cap will protect the 
market from the inadvertent submission of offers above the cap, create 
bounds for offers that are difficult to verify, and prevent potential 
attempts to exercise market power that are not otherwise addressed by 
existing mitigation rules.\142\ While MISO takes no position on a hard 
cap as discussed further below,\143\ MISO states that a hard cap is 
easier to integrate with other market design elements because it is 
more challenging to establish the appropriate levels for other market 
elements, such as MISO's Operating Reserve and Transmission Constraint 
demand curves, without a hard cap because the maximum incremental 
energy offers would not be limited to a pre-defined value.\144\
---------------------------------------------------------------------------

    \139\ CAISO Comments at 10. As noted in P 20, supra, CAISO 
opposes raising CAISO's current $1,000/MWh offer cap.
    \140\ Id. at 10. CAISO refers to the hard cap as a ``secondary 
hard cap.''
    \141\ ISO-NE Comments at 2-3.
    \142\ NYISO Comments at 8.
    \143\ See infra P 69.
    \144\ MISO Comments at 13.
---------------------------------------------------------------------------

    60. Potomac Economics, and the ISO-NE and PJM market monitors 
stress the need for the hard cap to address concerns about 
uncompetitive conditions in natural gas markets when natural gas 
supplies are scarce.\145\ Potomac Economics contends that during 
natural gas shortages, natural gas markets have two dominant customer 
types: Local gas distribution companies and natural gas 
generators.\146\ Potomac Economics states that natural gas generators 
are frequently the marginal buyers since local gas distribution 
companies will not interrupt supply to their customers at any price. 
Potomac Economics asserts that without a hard cap, natural gas prices 
could be bid up to extraordinary levels because local distribution 
companies are guaranteed to recover their cost, regardless of how 
high.\147\ The PJM Market Monitor also states that vertically-
integrated utilities with a gas marketing function could have the 
incentive to exercise market power in natural gas markets during 
extreme conditions in an effort to exercise market power in electricity 
markets.\148\
---------------------------------------------------------------------------

    \145\ ISO-NE Market Monitor Comments at 13-14; Potomac Economics 
Comments at 7; PJM Market Monitor Comments at 4.
    \146\ Potomac Economics Comments at 7.
    \147\ Id.
    \148\ PJM Market Monitor Comments at 4.
---------------------------------------------------------------------------

    61. The ISO-NE Market Monitor also asserts that natural gas markets 
lack structural measures to prevent the exercise of market power. 
According to the ISO-NE Market Monitor, the offer cap in electricity 
markets can impact prices in natural gas markets when natural gas 
supplies are scarce because natural gas resources, particularly 
resources with must-offer requirements, are the marginal customers in 
natural gas markets and thus have a significant impact on natural gas 
prices.\149\
---------------------------------------------------------------------------

    \149\ ISO-NE Market Monitor Comments at 13-14.
---------------------------------------------------------------------------

    62. Although the PJM Market Monitor argues that, in the absence of 
market power, there should be no absolute cap on the short-run marginal 
costs reflected in an incremental energy offer,\150\ the PJM Market 
Monitor opines that the removal of hard caps in electricity markets 
should be considered in light of the competitiveness of natural gas 
markets. The PJM Market Monitor asserts that it is essential that 
market participants have confidence in the competitiveness of natural 
gas markets before removing hard caps in electricity markets.\151\
---------------------------------------------------------------------------

    \150\ PJM Market Monitor Comments at 1.
    \151\ Id. at 4.
---------------------------------------------------------------------------

    63. The ISO-NE, PJM, and SPP market monitors also explain that when 
natural gas supplies are scarce, open exchanges for natural gas, such 
as the Intercontinental Exchange (ICE), tend to have low liquidity and 
wide bid-ask spreads. These market monitors state that it can be 
difficult to verify the short-run marginal cost of natural gas 
resources during periods when open natural gas exchanges have low 
liquidity because natural gas resources may purchase natural gas 
bilaterally rather than through the exchanges, and therefore the bid 
and ask spreads and settled transactions observed on the open exchanges 
may not represent the costs of the natural gas resources that make 
bilateral natural gas purchases. Furthermore, when liquidity in the 
open exchanges is low and the bid-ask spreads are wide, the ISO-NE, 
PJM, and SPP market monitors explain that there may be little basis on 
which to verify a resource's natural gas procurement costs.\152\
---------------------------------------------------------------------------

    \152\ ISO-NE Market Monitor Comments at 8; PJM Market Monitor 
Comments at 6; SPP Market Monitor Comments at 7.
---------------------------------------------------------------------------

    64. The New Jersey Commission and NY Transmission Owners also argue 
that a hard cap is necessary to address issues related to the 
interactions between the gas and electricity markets.\153\ NY 
Transmission Owners explains that resource owners with costs above 
$1,000/MWh that also own infra-marginal resources may benefit from 
paying more for natural gas which in turn increases LMPs and thus the 
revenues that infra-marginal resources receive.\154\ NY Transmission 
Owners further states that it will be difficult for market monitors to 
ascertain whether the price a resource has paid for natural gas 
reflects its expectations about the electricity market or an attempt to 
impact LMPs, and suggests that a hard cap can address these 
issues.\155\ The New Jersey Commission similarly states that, absent a 
hard cap, market power in natural gas markets could drive up cost-based 
incremental energy offers in electricity markets and increase 
LMPs.\156\
---------------------------------------------------------------------------

    \153\ NY Transmission Owners Comments at 3-4; New Jersey 
Commission Comments at 9.
    \154\ NY Transmission Owners Comments at 4.
    \155\ Id.
    \156\ New Jersey Commission Comments at 9.
---------------------------------------------------------------------------

    65. The SPP Market Monitor states that it would prefer to maintain 
SPP's existing $1,000/MWh offer cap, but if it is to be revised, it 
would prefer a new fixed hard cap to serve as a backstop market power 
mitigation measure during periods of market anomalies when existing 
measures may fail to protect consumers.\157\
---------------------------------------------------------------------------

    \157\ SPP Market Monitor Comments at 6, 13.
---------------------------------------------------------------------------

    66. Comments from other stakeholders generally support a hard cap 
to protect customers against market power abuse.\158\ For example, the 
Ohio Commission asserts that if the Commission does not require PJM and 
the PJM Market Monitor to jointly review these cost-based energy 
offers, the $2,000/MWh hard cap in PJM should remain to protect against 
market power concerns and unverified price increases.\159\ Industrial 
Customers argue that the offer cap works in tandem with market power 
mitigation measures to prevent excessive prices when supplies are tight 
given that demand is inelastic.\160\
---------------------------------------------------------------------------

    \158\ See generally Direct Energy Comments at 4-5; Ohio 
Commission Comments at 6-7; Industrial Customers Comments at 10-11; 
TAPS Comments at 8-10; New Jersey Commission Comments at 7.
    \159\ Ohio Commission Comments at 6-7.
    \160\ Industrial Customers Comments at 10-11.
---------------------------------------------------------------------------

    67. Some commenters argue that a hard cap is necessary to protect 
customers from unjust and unreasonable prices resulting from market 
aberrations or other events when RTOs/ISOs fail to function 
properly.\161\ For example, TAPS asserts that removing the offer cap 
entirely would result in the Commission failing to meet its statutory 
duty to protect against excessive prices,\162\ and it argues that the 
hard cap provides crucial damage control to shield consumers from 
unreasonably high prices.\163\ Industrial Customers argue that the hard 
cap helps discipline generator fuel procurement costs, stating that 
full cost recovery would significantly reduce incentives for

[[Page 87780]]

generators to minimize their costs if these costs can be passed on to 
consumers.\164\
---------------------------------------------------------------------------

    \161\ TAPS Comments at 8-9; Industrial Customers Comments at 19-
20.
    \162\ TAPS Comments at 10 (citing FERC v. Elec. Power Supply 
Ass'n, 136 S. Ct. 760, 764 (2016)).
    \163\ Id. at 9-10.
    \164\ Industrial Customers Comments at 19-20.
---------------------------------------------------------------------------

    68. Commenters opposed to the inclusion of a hard cap on offers 
used to calculate LMPs generally argue that any cap would artificially 
suppress LMPs and increase uplift payments.\165\ PJM/SPP state that 
there should not be a hard cap on cost-based offers used to calculate 
LMPs provided that appropriate verification processes are in place to 
ensure cost-based incremental offers reflect legitimate costs.\166\ 
PJM/SPP also assert that a hard cap can create unhedgeable uplift 
payments.\167\ PJM Power Providers assert that resources should be able 
to submit cost-based incremental energy offers that reflect their 
short-run marginal costs and that those offers should be able to set 
the LMP.\168\
---------------------------------------------------------------------------

    \165\ Competitive Suppliers Comments at 12-15; Dominion Comments 
at 4; Exelon Comments at 21-22; Golden Spread Comments at 2; PJM/SPP 
Comments at 6; EEI Comments at 7.
    \166\ PJM/SPP Comments at 6.
    \167\ Id.
    \168\ PJM Power Providers Comments at 2.
---------------------------------------------------------------------------

    69. MISO states that it does not have a strong preference on the 
imposition of a hard cap and notes that the same benefits and drawbacks 
that exist for the current $1,000/MWh hard cap (in some markets) would 
apply to any new hard cap.\169\ MISO identifies two drawbacks of a hard 
cap: (1) A hard cap could suppress LMPs below the marginal cost of 
production; and (2) a special uplift mechanism would be needed for 
offers that exceed the hard cap.\170\ MISO states that a hard cap may 
not be necessary because the verification requirement safeguards the 
market and states that the limitations and implementation costs 
associated with a hard cap would likely overshadow the benefits.\171\
---------------------------------------------------------------------------

    \169\ MISO Comments at 13.
    \170\ Id.
    \171\ MISO Comments at 13.
---------------------------------------------------------------------------

    70. Exelon and EEI oppose a hard cap, arguing that it is important 
for LMPs to be as consistent as possible with the marginal cost of 
operating the system and that, therefore, resources should always be 
permitted to offer their costs, and that such offers should always be 
eligible to set LMP.\172\ As noted above, Competitive Suppliers assert 
that the offer cap should be removed entirely.\173\
---------------------------------------------------------------------------

    \172\ Exelon Comments at 21; EEI Comments at 4.
    \173\ Competitive Suppliers Comments at 13.
---------------------------------------------------------------------------

    71. Additionally, some commenters opposed to a hard cap assert that 
existing market monitoring and mitigation measures, as well as the 
proposed verification requirement for cost-based incremental energy 
offers above $1,000/MWh, render a hard cap unnecessary and 
duplicative.\174\ For example, Dominion states that a hard cap is not 
necessary for cost-based incremental energy offers because market power 
concerns are not relevant for cost-based incremental energy offers as 
offers based on resource costs do not constitute an exercise of market 
power.\175\
---------------------------------------------------------------------------

    \174\ Competitive Suppliers Comments at 14; PJM/SPP Comments at 
6; Dominion Comments at 4.
    \175\ Dominion Comments at 4.
---------------------------------------------------------------------------

    72. Commenters disagree about the appropriate level for any new 
hard cap. ISO-NE states that it does not have evidence to substantiate 
a specific recommendation for the level of any new hard cap.\176\ NYISO 
states that the Commission should hold a technical workshop to 
determine the appropriate level of the hard cap that analyzes the 
elasticity of the fuel markets, including natural gas markets, and fuel 
prices at various demand levels.\177\
---------------------------------------------------------------------------

    \176\ ISO-NE Comments at 3.
    \177\ NYISO Comments at 8.
---------------------------------------------------------------------------

    73. Potomac Economics states that the $2,000/MWh level approved in 
PJM would be a reasonable hard cap for all RTOs/ISOs in the Eastern 
Interconnect.\178\ However, Potomac Economics states that the 
Commission should adopt a $2,000/MWh cap that not only caps the 
incremental energy offers eligible to set LMP but also prevents 
resources from recovering incremental energy costs above $2,000/
MWh.\179\ Potomac Economics adds that the loss of generation resulting 
from any natural gas resources that do not procure natural gas during 
natural gas shortages due to such a cap will not substantially increase 
the probability of an electric outage.\180\
---------------------------------------------------------------------------

    \178\ Potomac Economics Comments at 7-8.
    \179\ Id. at 8. Potomac Economics notes that its recommendation 
would require modifying PJM's current offer cap, which permits 
resources to recover costs above PJM's $2,000/MWh hard cap.
    \180\ Id.
---------------------------------------------------------------------------

    74. TAPS argues that offers above $1,500/MWh should not be used to 
calculate LMPs because a MISO analysis indicated that natural gas 
resources in MISO would have a marginal cost below $1,138/MWh if 
natural gas prices reached $65/MMBtu and that more than 98 percent of 
MISO's gas capacity would have a marginal cost below $1,500/MWh if gas 
prices reached $100/MMBtu.\181\ TAPS further argues that $2,000/MWh is 
too high and that the value was not supported by PJM other than as a 
compromise between PJM stakeholders.\182\ Midcontinent Joint Consumer 
Advocates argue that a $2,000/MWh hard cap is unreasonably high and 
could cause prices to rise up to $2,000/MWh.\183\
---------------------------------------------------------------------------

    \181\ TAPS Comments at 10-11. TAPS uses the phrase ``hard offer 
cap,'' which could indicate that RTOs/ISOs should limit offers to 
$1,500/MWh for purposes of calculating LMPs or that resources should 
not be able to submit incremental energy offers above $1,500/MWh.
    \182\ Id. at 11.
    \183\ Midcontinent Joint Consumer Advocates Comments at 4.
---------------------------------------------------------------------------

    75. As noted above, some commenters support a $1,000/MWh hard cap 
on the incremental energy offers that are used to calculate LMPs.\184\ 
For example, APPA, NRECA, and AMP assert that the hard cap should be 
set to $1,000/MWh in all RTOs/ISOs, including PJM, which currently has 
a $2,000/MWh hard cap.\185\ Direct Energy and NY Transmission Owners 
state that different hard caps across RTOs/ISOs may be justified given 
differences in regional natural gas prices, but add that RTOs/ISOs with 
the same natural gas supply should have the same hard cap.\186\ 
Additionally, APPA, NRECA, and AMP, ODEC, PJM Joint Consumer Advocates, 
and Steel Producers' Alliance all ask the Commission to reinstate PJM's 
previous $1,000/MWh offer cap.\187\ ODEC and PJM Joint Consumer 
Advocates state that although they supported the consensus position on 
PJM's current $2,000/MWh offer cap as an interim measure, they state 
that they were awaiting Commission action on offer caps and do not 
support such a cap as a long-term policy.\188\ ODEC and PJM Joint 
Consumer Advocates argue that the $2,000/MWh offer cap on cost-based 
offers is no longer necessary and that a $1,000/MWh offer cap is more 
appropriate because new measures, such as PJM's new capacity construct 
and additional measures implemented in response to the Polar Vortex, 
will ensure that prices remain at reasonable levels.\189\
---------------------------------------------------------------------------

    \184\ New Jersey Commission Comments at 8-9; TAPS Comments at 
10-11; APPA, NRECA, and AMP Comments at 8-9.
    \185\ APPA, NRECA, and AMP Comments at 9.
    \186\ Direct Energy Comments at 3-4; NY Transmission Owners 
Comments at 5.
    \187\ APPA, NRECA, and AMP Comments at 7; ODEC Comments at 3-5; 
PJM Joint Consumer Advocates Comments at 2-4; Steel Producers' 
Alliance Comments at 5.
    \188\ ODEC Comments at 3; PJM Joint Consumer Advocates Comments 
at 2.
    \189\ ODEC Comments at 5; PJM Joint Consumer Advocates Comments 
at 2-3.
---------------------------------------------------------------------------

    76. Dominion states that the NOPR proposal will result in more 
accurate price signals and a better understanding of the true costs of 
serving demand, reduce uplift during stressed periods, and allow 
customers to more effectively hedge the costs of reliability through 
market participation.\190\ NESCOE states

[[Page 87781]]

that the offer cap reforms proposed in the NOPR appear to appropriately 
balance price formation issues, seams issues, and the potential for 
market power abuse while allowing for regional variation in 
implementing consumer protection mechanisms.\191\
---------------------------------------------------------------------------

    \190\ Dominion Comments at 3.
    \191\ NESCOE Comments at 2.
---------------------------------------------------------------------------

3. Determination
    77. The Commission is adopting aspects of the offer cap structure 
set forth in the NOPR, which caps a resource's incremental energy offer 
used for purposes of calculating LMPs in day-ahead and real-time energy 
markets at the higher of $1,000/MWh or that resource's cost-based 
incremental energy offer. Based on the comments received in this 
proceeding, the Commission is also adopting a hard cap as part of this 
Final Rule.\192\ Although a resource may submit a cost-based 
incremental energy offer above $2,000/MWh, the hard cap will prohibit 
the use of such offers above $2,000/MWh when calculating LMPs. As 
discussed further in section IV.B below, incremental energy offers 
above $1,000/MWh must be verified before they are used to calculate 
LMPs. As noted above, RTOs/ISOs must cap verified cost-based 
incremental energy offers at $2,000/MWh when calculating LMPs.
---------------------------------------------------------------------------

    \192\ The hard cap was not included in the proposal set forth in 
the NOPR, but the Commission sought comment on it. See NOPR, FERC 
Stats. & Regs. ] 32,714 at P 55.
---------------------------------------------------------------------------

    78. As a result of this Final Rule, an RTO/ISO will treat 
resources' incremental energy offers differently, depending on the 
level of the offer itself. Each RTO/ISO shall treat incremental energy 
offers below $1,000/MWh as it currently does. Such offers: (1) Are 
subject to existing RTO/ISO market power mitigation procedures and are 
not required to be cost-based; and (2) may be used to calculate LMPs. A 
resource may only submit an incremental energy offer equal to or above 
$1,000/MWh if the offer is cost-based, that is, if the offer accurately 
reflects that resource's actual or expected short-run marginal costs. 
For an incremental energy offer equal to or above $1,000/MWh and less 
than or equal to $2,000/MWh, the RTO/ISO or Market Monitoring Unit must 
verify that the offer is cost-based before the RTO/ISO may use the 
offer to calculate LMPs. For an incremental energy offer above $2,000/
MWh, the RTO/ISO or Market Monitoring Unit must also verify that the 
offer is cost-based. Cost-based incremental energy offers in excess of 
$2,000/MWh will be capped at $2,000/MWh for purposes of calculating 
LMPs. As such, the $2,000/MWh hard cap places an upper limit on the 
incremental energy offers that the RTO/ISO can use to calculate 
LMPs.\193\ We note that the resulting LMPs may exceed $2,000/MWh due to 
losses and congestion. Additionally, resources with verified cost-based 
incremental energy offers above $2,000/MWh will be eligible to receive 
uplift.
---------------------------------------------------------------------------

    \193\ The $2,000/MWh hard cap requires that the cost-based 
incremental energy offers that RTOs/ISOs may use to calculate LMPs 
may not exceed $2,000/MWh.
---------------------------------------------------------------------------

    79. After consideration of the record in this proceeding, including 
responses to the question we asked about the need for a hard cap, we 
adopt a modified version of the offer cap structure proposed in the 
NOPR. This modified version recognizes the practical issues raised by 
commenters. While a hard cap may diminish the ability to fully address 
the shortcomings of the current offer caps identified above \194\ in 
all circumstances, we find that, on balance, a hard cap is necessary to 
reasonably limit the adverse impact that imperfect information about a 
resource's short-run marginal costs during the verification process 
could have on LMPs.
---------------------------------------------------------------------------

    \194\ See supra P 2.
---------------------------------------------------------------------------

    80. First, the offer cap structure will reduce the likelihood that 
the $1,000/MWh offer cap in effect in some RTOs/ISOs \195\ will 
suppress LMPs below the marginal cost of production. Ideally, LMPs in 
RTO/ISO energy markets should reflect the short-run marginal cost of 
the marginal resource. Under the offer cap structure adopted in this 
Final Rule, cost-based incremental energy offers up to $2,000/MWh that 
have been verified by either the RTO/ISO or Market Monitoring Unit as 
being a reasonable reflection of a resource's actual or expected short-
run marginal cost may be used to calculate LMPs.
---------------------------------------------------------------------------

    \195\ Specifically CAISO, ISO-NE, MISO, NYISO, and SPP.
---------------------------------------------------------------------------

    81. Second, the offer cap structure and associated uplift payments 
discussed further in section IV.B below give resources the opportunity 
to be compensated for the short-run marginal costs they incur to 
provide service, which achieves the price formation goal of ensuring 
that resources have an opportunity to recover their costs.
    82. Third, the offer cap structure adopted in this Final Rule will 
encourage a resource to offer supply to the market when it is needed 
most. A resource that is compensated for its costs has an incentive to 
offer its supply into the market even when those costs are high, which 
often occurs when supplies are tight. Fourth, the offer cap structure 
enables RTOs/ISOs to dispatch the most efficient set of resources when 
resources' short-run marginal costs exceed $1,000/MWh.
    83. We also find that the offer cap structure will mitigate market 
power associated with incremental energy offers above $1,000/MWh, as 
some commenters suggest. The requirement that incremental energy offers 
above $1,000/MWh be cost-based retains the backstop mitigation function 
that current offer caps play in existing RTO/ISO market power 
mitigation because incremental energy offers that are not cost-based 
may not exceed $1,000/MWh. A cost-based incremental energy offer is 
based on the associated resource's short-run marginal cost, which 
constitutes a competitive offer free from the exercise of market-power.
    84. Revising the offer cap to permit cost-based incremental energy 
offers up to $2,000/MWh to set LMP will reduce the likelihood that the 
offer cap will suppress LMPs below the marginal cost of production. 
Permitting cost-based incremental energy offers up to $2,000/MWh to set 
LMP will also reduce uplift associated with the current offer caps, 
which will be beneficial to the market because uplift payments are less 
transparent to market participants than LMPs that reflect the marginal 
cost of production. Therefore, we disagree with arguments that all 
resources with short-run marginal costs above $1,000/MWh should be 
compensated through uplift rather than through the LMP. As discussed 
further below, we adopt a hard cap and provide cost recovery for 
resources with short-run marginal costs above $2,000/MWh to address 
practical concerns raised about the offer verification process. As 
discussed further below, some resources may not know their actual 
short-run marginal costs at the time they submit cost-based incremental 
energy offers.\196\ Accordingly, the RTO/ISO or Market Monitoring Unit 
will have to verify that such offers reasonably reflect the associated 
resource's expected short-run marginal costs, which necessarily 
involves an estimate. Furthermore, the information that RTOs/ISOs and/
or Market Monitoring Units have to estimate and/or verify the short-run 
marginal costs of some resources may be imperfect. For example, as 
noted above, information about the short-run fuel costs of certain 
natural gas-fired resources may be limited when natural gas supplies 
are scarce because publicly available natural gas indices may not be 
representative of the price that such resources actually pay for 
fuel.\197\ Given

[[Page 87782]]

these limitations, we find it is appropriate to include a hard cap to 
ensure that LMPs calculated based on verified cost-based incremental 
energy offers above $1,000/MWh are just and reasonable.
---------------------------------------------------------------------------

    \196\ See infra PP 105-108.
    \197\ See supra P 63.
---------------------------------------------------------------------------

    85. We disagree with Industrial Customers that resources would have 
no incentive to minimize their fuel costs if the offer cap is above 
$1,000/MWh because, in the absence of market power, resources have an 
incentive to compete with other resources in order to clear the RTO/ISO 
day-ahead and real-time energy markets. Any resource that is able to 
procure natural gas at a cost less than the cost that sets the LMP will 
earn a profit and thus has a strong incentive to manage its fuel 
procurement.
    86. However, as part of the offer cap structure, we will require a 
hard cap of $2,000/MWh on offers that are used to calculate LMPs. Under 
the hard cap, an RTO/ISO must place an upper limit, or hard cap, on the 
cost-based incremental energy offers that it uses to calculate 
LMPs.\198\ To implement the hard cap, we modify the offer cap structure 
requirement proposed in the NOPR and adopt the following offer cap 
structure requirement:
---------------------------------------------------------------------------

    \198\ We note that PJM currently permits resources to submit 
cost-based incremental energy offers above its current $2,000/MWh 
hard cap, and PJM may use such offers to dispatch resources. 
However, incremental energy offers are capped at $2,000/MWh for 
purposes of calculating LMPs. See PJM 2015 Offer Cap Order, 153 FERC 
] 61,289.

    A resource's incremental energy offer must be capped at the 
higher of $1,000/MWh or that resource's cost-based incremental 
energy offer. For the purpose of calculating Locational Marginal 
Prices, Regional Transmission Organizations and Independent System 
Operators must cap cost-based incremental energy offers at $2,000/
---------------------------------------------------------------------------
MWh.

    87. We find that a hard cap is necessary for two primary reasons. 
First, a hard cap will address the fact that RTOs/ISOs and/or Market 
Monitoring Units may have imperfect information about resources' short-
run marginal costs during the verification process. As discussed 
further in section IV.B below, several commenters note that there may 
be imperfect information associated with the verification of cost-based 
incremental energy offers above $1,000/MWh prior to the market clearing 
process because some of those offers will be based on a resource's 
estimate of its costs and RTOs/ISOs or Market Monitoring Units may not 
have perfect information with which to estimate those costs. 
Additionally, as noted by market monitors, when natural gas spot market 
prices rise to levels that could result in the short-run marginal costs 
of some natural gas-fired resources exceeding $1,000/MWh, over-the-
counter natural gas markets often lack liquidity or have wide bid-ask 
spreads, which can make verification challenging, particularly 
verification of expected costs. At those times, a market participant's 
expected costs could vary significantly from its actual costs. 
Although, as discussed further below, only verified cost-based 
incremental energy offers above $1,000/MWh may be used to calculate 
LMPs subject to the $2,000/MWh hard cap. We find that, on balance, a 
hard cap will reasonably limit the adverse impact that any imperfect 
information about resources' short-run marginal costs during the 
verification process could have on LMPs.
    88. Second, we agree with MISO that a hard cap will be easier to 
integrate with other market constructs that place caps or upper bounds 
on various market elements (e.g., penalty factors associated with 
shortage pricing or violating transmission constraints).
    89. We are not persuaded by comments that a hard cap is duplicative 
of existing market power mitigation rules because existing market power 
mitigation provisions in most RTOs/ISOs only apply under certain 
circumstances, whereas this Final Rule essentially mitigates all 
incremental energy offers above $1,000/MWh to a level based on short-
run marginal costs. Additionally, as noted above, the hard cap is 
necessary to address concerns about the imperfect information that 
RTOs/ISOs and/or Market Monitoring Units have about resources' short-
run marginal costs during the verification process.
    90. Having determined that a hard cap is necessary, we find that 
$2,000/MWh is a just and reasonable level for that hard cap based on 
the record in this proceeding. Historically, high natural gas prices 
during the Polar Vortex resulted in at least one resource with a cost-
based incremental energy offer of $1,724/MWh.\199\ Based on this 
experience and noting that it occurred in an otherwise low natural gas 
price environment, we expect that resources may experience costs that 
approach but are unlikely to exceed $2,000/MWh. With a hard cap of 
$2,000/MWh, we find that resources will be able to recover those costs 
and that LMPs will reflect marginal costs.\200\ The Commission has 
previously relied upon high and volatile natural gas prices as a 
justification for increasing offer caps.\201\ This $2,000/MWh level was 
also generally supported by Potomac Economics.\202\ With respect to 
treatment of cost-based incremental energy offers above $2,000/MWh, we 
expect RTOs/ISOs to use such offers to determine merit-order dispatch. 
We note that the Commission allowed this approach when accepting PJM's 
current offer cap structure, in which PJM uses cost-based incremental 
energy offers above $2,000/MWh to determine merit order dispatch but 
limits cost-based incremental energy offers to $2,000/MWh for purposes 
of calculating LMPs.\203\
---------------------------------------------------------------------------

    \199\ NOPR, FERC Stats. & Regs. ] 32,714 at P 13 (citing PJM 
2014 Offer Cap Order I, 146 FERC ] 61,041 at P 2).
    \200\ See Envtl. Action, Inc. v. FERC, 939 F.2d 1057, 1064 (D.C. 
Cir. 1991) (``it is within the scope of the agency's expertise to 
make such a prediction about the market it regulates, and a 
reasonable prediction deserves our deference notwithstanding that 
there might also be another reasonable view.''). See also Michigan 
Consol. Gas Co. v. F.E.R.C., 883 F.2d 117, 124 (1989) (``It is also 
quite clear FERC may make predictions--``[m]aking . . . predictions 
is clearly within the Commission's expertise'' and will be upheld if 
``rationally based on record evidence.'') (citing East Tennessee 
Natural Gas Co. v. FERC, 863 F.2d 932, 938-39 (1988) (citing 
Associated Gas Distributors v. FERC, 824 F.2d 981, 1008 (1987)).
    \201\ See California Indep. Sys. Operator Corp., 114 FERC ] 
61,026, at P 25 (2006) (In CAISO, natural gas prices rose from $3-
$4/MMBtu when the bid cap in CAISO was $250/MWh to $14/MMBtu. Based 
on this information, the Commission found ``that raising the bid cap 
is justified by the well-documented rise in gas prices'' and 
accepted CAISO's proposal to raise the bid cap from $250/MWh to 
$400/MWh.).
    \202\ Potomac Economics Comments at 8.
    \203\ PJM 2015 Offer Cap Order, 153 FERC ] 61,289 at P 11.
---------------------------------------------------------------------------

    91. We recognize that a $2,000/MWh hard cap leaves some possibility 
for price suppression when the marginal cost of production legitimately 
exceeds $2,000/MWh. However, by allowing verified cost-based 
incremental energy offers in the $1,000/MWh-$2,000/MWh range to set 
LMPs, we significantly reduce the likelihood of such price suppression, 
and we find this balanced approach just and reasonable.
    92. We decline to hold a technical workshop as suggested by NYISO 
or a triennial review as suggested by Exelon to determine an 
appropriate level for the hard cap because there is sufficient evidence 
in this record to support $2,000/MWh as a just and reasonable value. 
Based on the record, we decline to adopt a lower hard cap level, such 
as the $1,500/MWh value TAPS proposes, because this level is 
demonstrably lower than cost-based incremental energy offers observed 
during the Polar Vortex. Additionally, the PJM Market Monitor reported 
that on 54 occasions in early 2015, resources submitted cost-based 
incremental energy offers at prices above $1,000/MWh.\204\
---------------------------------------------------------------------------

    \204\ Monitoring Analytics, Report on PJM Energy Market Offers 
January 16 to March 31, 2015, at 2 (May 1, 2015), available at 
http://www.monitoringanalytics.com/reports/Reports/2015/IMM_Informational_Filing_Docket_No_EL15-31-000_20150505.pdf.

---------------------------------------------------------------------------

[[Page 87783]]

    93. With respect to APPA, NRECA, and AMP's argument that concerns 
over seams do not justify revising RTO/ISO offer caps, particularly 
because the Commission accepted PJM's current $2,000/MWh offer cap, we 
reiterate that the Commission's finding in that order was limited to 
the facts in that record. In accepting PJM's proposal, the Commission 
stated that it would not prejudge broader reforms in the price 
formation proceeding.\205\
---------------------------------------------------------------------------

    \205\ PJM 2015 Offer Cap Order, 153 FERC ] 61,289 at P 55.
---------------------------------------------------------------------------

    94. We decline to hold, as CAISO suggests, a technical workshop on 
implementation challenges. We expect that any issues regarding the 
implementation of this Final Rule will be raised by RTOs/ISOs on 
compliance, and the Commission will address them at that time. We also 
decline to implement a $400/MWh cap on incremental energy offers that 
are not cost-based, as some commenters have suggested. We find that the 
fact that resources rarely submit incremental energy offers above $400/
MWh does not indicate that allowing resources to submit incremental 
energy offers as high as $1,000/MWh which are not cost-based (referred 
to as ``market-based offers'' in PJM) will result in unjust and 
unreasonable rates.
    95. In response to MISO's suggestion that future adjustments to the 
offer cap may be needed in response to market-based solutions that 
increase demand elasticity or resource mix changes, we decline to 
speculate as to what changes may or may not be necessary in the future.

B. Cost Verification

1. NOPR Proposal
    96. In the NOPR, the Commission proposed the requirement that cost-
based incremental energy offers above $1,000/MWh be verified by the 
RTO/ISO or Market Monitoring Unit prior to being used to calculate LMPs 
(verification requirement).\206\ The Commission proposed the following 
verification requirement:
---------------------------------------------------------------------------

    \206\ NOPR, FERC Stats. & Regs. ] 32,714 at P 56.

    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.\207\
---------------------------------------------------------------------------

    \207\ Id.

    97. The Commission reasoned that 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. Further, in the NOPR, the Commission 
preliminarily found that the verification requirement was necessary to 
reduce the potential exercise of market power by resources, which could 
result in unjust and unreasonable rates.\208\
---------------------------------------------------------------------------

    \208\ Id. P 57.
---------------------------------------------------------------------------

2. Comments
    98. As discussed further below, the Commission received several 
comments about the proposed verification requirement. Comments about 
the proposed verification requirement focus on whether it is needed and 
what type of verification would be acceptable and feasible. A number of 
commenters generally support the proposed verification requirement, but 
they express concerns or seek clarification about the proposed 
verification requirement.\209\
---------------------------------------------------------------------------

    \209\ ISO-NE Comments at 6; NYISO Comments at 2; PJM/SPP 
Comments at 2-3; TAPS Comments at 12.
---------------------------------------------------------------------------

a. Need for the Verification Requirement
    99. Commenters disagree about whether the proposed verification 
requirement for cost-based incremental energy offers above $1,000/MWh 
is necessary to reduce the potential exercise of market power. Several 
commenters support the verification requirement,\210\ some asserting 
that the verification requirement is a critical element of the 
proposal.\211\
---------------------------------------------------------------------------

    \210\ SCE Comments at 1-2; PG&E Comments at 1-3; NY Transmission 
Owners Comments at 3.
    \211\ Golden Spread Comments at 3; Delaware Commission Comments 
at 11; TAPS Comments at 12; NESCOE Comments at 3.
---------------------------------------------------------------------------

    100. OMS contends that the verification requirement protects retail 
consumers from unlimited and unjustified wholesale price 
increases.\212\ The Delaware Commission and TAPS assert that the 
verification requirement is necessary to address market power 
concerns.\213\ TAPS states that although it opposes revisions to the 
offer cap, the proposed verification requirement is needed to protect 
the integrity of the RTO/ISO markets and will help avoid litigation 
costs associated with re-running markets after-the-fact in the event 
that an LMP is subsequently found not to be cost-justified.\214\ PG&E 
and SCE generally support the prevention of unverified incremental 
energy offers above $1,000/MWh from setting the LMP, although PG&E does 
not support the proposal overall.\215\
---------------------------------------------------------------------------

    \212\ OMS Comments at 3.
    \213\ Delaware Commission Comments at 11; TAPS Comments at 12-
13.
    \214\ TAPS Comments at 12-13.
    \215\ PG&E Comments at 1-3; SCE Comments at 1-2.
---------------------------------------------------------------------------

    101. PJM Joint Consumer Advocates argue that the only way to 
protect consumers from unfair prices is to verify offers prior to the 
market clearing process and that fairness demands such a review, even 
if the verification process is technically complex. PJM Joint Consumer 
Advocates assert that market-based offers, which are not strictly tied 
to costs, should not be eligible to set LMP because they would unfairly 
inflate costs to consumers and result in a windfall for suppliers.\216\
---------------------------------------------------------------------------

    \216\ PJM Joint Consumer Advocates Comments at 5.
---------------------------------------------------------------------------

    102. Other commenters assert that the verification requirement is 
unnecessary \217\ or unduly cumbersome.\218\ Potomac Economics and PJM 
Power Providers argue that cost verification is unnecessary given other 
RTO/ISO market constructs.\219\ Potomac Economics states that the 
justification for the proposed verification requirement is limited 
because competition is not diminished during the fuel price spikes that 
could cause a resource's short-run marginal costs to exceed $1,000/MWh. 
Potomac Economics also argues that existing RTO/ISO market power 
mitigation measures address market power concerns.\220\ PJM Power 
Providers state that the verification requirement is unnecessary 
because resources have the incentive to submit incremental energy 
offers that reflect actual costs. PJM Power Providers assert that the 
threat of an investigation from the Commission's Office of Enforcement 
and possible associated fines incent good behavior and discourage the 
exercise of market power.\221\ Industrial Energy Consumers also state 
that the NOPR could lead markets to become more complicated

[[Page 87784]]

and opaque, potentially leading to unintended consequences.\222\
---------------------------------------------------------------------------

    \217\ Potomac Economics Comments at 12; PJM Power Providers 
Comments at 5.
    \218\ OMS Comments (on behalf of Texas Commission) at 3 n.7.
    \219\ Potomac Economics Comments at 12; PJM Power Providers 
Comments at 5.
    \220\ Potomac Economics Comments at 12.
    \221\ Exelon Comments at 9; PJM Power Providers Comments at 5 
(citing Public Citizen, Inc. v. Midcontinent Indep. Sys. Operator, 
Inc., 154 FERC ] 61,224, at P 88 (2016)).
    \222\ Industrial Energy Consumers Comments at 2.
---------------------------------------------------------------------------

b. Verification Standard
    103. The Commission sought comment on the Market Monitoring Unit's 
or RTO's/ISO's ability to timely verify cost-based incremental energy 
offers above $1,000/MWh prior to the day-ahead or real-time market 
clearing process.\223\ In response, the Commission received a wide 
array of comments about the feasibility of the proposed verification 
requirement and the challenges associated with implementing the 
requirement.
---------------------------------------------------------------------------

    \223\ NOPR, FERC Stats. & Regs. ] 32,714 at P 59.
---------------------------------------------------------------------------

    104. Many of the comments highlighted the difference between 
verification of actual costs and verification of expected costs. They 
noted that because verification has to occur before the market runs, 
verification of actual costs was more difficult than verification of 
expected costs. Indeed, several commenters contend that it is not 
possible prior to the market clearing process to verify that a 
resource's cost based-incremental energy offer equals that resource's 
actual costs.\224\ Commenters raise two key obstacles to the 
verification of a resource's actual costs prior to the market clearing 
process: (1) Some natural gas resources do not know their actual costs 
at the time they submit offers; and (2) natural gas resource fuel costs 
are particularly difficult to verify during periods when natural gas 
supplies are scarce. Each obstacle is discussed in turn below.
---------------------------------------------------------------------------

    \224\ EEI Comments at 6; Exelon Comments at 11; IRC Comments at 
2-3; ISO-NE Comments at 2, 6-7; MISO Comments at 9; PJM/SPP Comments 
at 12-13; Potomac Economics Comments at 3-4; SPP Market Monitor 
Comments at 9.
---------------------------------------------------------------------------

i. Resource Cost Uncertainty When Submitting Offers
    105. Many commenters, including RTOs/ISOs, market monitors, and 
generators, assert that because some resources, specifically natural 
gas resources, do not know their actual fuel procurement costs when 
they submit incremental energy offers to the RTO/ISO, it is impossible 
to verify the incremental energy offers of such resources prior to the 
market clearing process.\225\
---------------------------------------------------------------------------

    \225\ Dominion Comments at 5; Exelon Comments at 16; ISO-NE 
Market Monitor Comments at 7; ISO-NE Comments at 6; MISO Comments at 
9; PJM Market Monitor Comments at 6; PJM/SPP Comments at 10; Potomac 
Economics Comments at 3-5; SPP Market Monitor Comments at 9.
---------------------------------------------------------------------------

    106. ISO-NE, MISO, and PJM/SPP state that some natural gas 
resources have not procured fuel by the time that they submit 
incremental energy offers to the RTO/ISO markets, and thus ISO-NE and 
PJM/SPP state that such resources often submit offers based on the cost 
that the resources expect to pay for natural gas on the natural gas 
spot market.\226\ For example, PJM/SPP state that some natural gas 
resources procure all or part of their natural gas requirements in the 
daily natural gas spot market, which is more volatile than month-ahead 
index prices because of changes in commodity prices and weather, as 
well as interstate natural gas pipeline capacity curtailments and 
maintenance activities.\227\
---------------------------------------------------------------------------

    \226\ ISO-NE Comments at 5; MISO Comments at 9; PJM/SPP Comments 
at 9.
    \227\ PJM/SPP Comments at 9-10.
---------------------------------------------------------------------------

    107. Comments from market monitors also suggest that some natural 
gas resources do not know their actual fuel costs at the time they 
submit offers.\228\ For example, the ISO-NE Market Monitor states that 
natural gas resources that have not purchased natural gas in advance 
submit offers based on their best estimate of what they expect to pay 
for natural gas in real-time.\229\ Potomac Economics and the ISO-NE 
Market Monitor state that resources submit initial incremental energy 
offers \230\ or updates to their cost-based incremental energy offers 
\231\ based on expected, rather than actual costs. Potomac Economics 
adds that such offers reflect a resource's expectation of its costs, 
and these costs may be subject to substantial uncertainty and thus 
cannot be verified in advance.\232\ The ISO-NE Market Monitor, Potomac 
Economics, and the SPP Market Monitor conclude that strict verification 
of a resource's actual costs prior to the market clearing process is 
not possible.\233\
---------------------------------------------------------------------------

    \228\ ISO-NE Market Monitor Comments at 7; Potomac Economics 
Comments at 4; SPP Market Monitor Comments at 9.
    \229\ ISO-NE Market Monitor Comments at 7.
    \230\ Potomac Economics Comments at 4.
    \231\ ISO-NE Market Monitor Comments at 7.
    \232\ Potomac Economics Comments at 4.
    \233\ ISO-NE Market Monitor Comments at 4; Potomac Economics 
Comments at 3-4; SPP Market Monitor Comments at 9.
---------------------------------------------------------------------------

    108. Generators also state that verification of actual costs may 
not be possible because some natural gas resources can only submit an 
estimate of their expected fuel costs.\234\ For example, Exelon states 
that when a resource submits a day-ahead offer, which is due 24-48 
hours prior to actual dispatch, that resource must consider numerous 
costs and may have to make complicated and somewhat imprecise judgments 
to predict future events, which makes it difficult to quantify and 
substantiate risks on either an before-the-fact or after-the-fact 
basis.\235\ Additionally, EEI states that a resource that is not 
committed or not fully committed in the day-ahead market may not 
procure enough natural gas to meet its full output in the real-time 
market and may need to purchase fuel in the intra-day natural gas 
market where prices are significantly higher and more volatile than the 
day-ahead natural gas market.\236\
---------------------------------------------------------------------------

    \234\ Dominion Comments at 5; Exelon Comments at 11-16.
    \235\ Exelon Comments at 11-17.
    \236\ EEI Comments at 5-6.
---------------------------------------------------------------------------

ii. Cost Verification During Peak Periods
    109. Several commenters state that the challenges associated with 
pre-verification become more acute during stressed system conditions 
when natural gas supplies are limited, which is precisely when 
resources may have incremental energy costs above $1,000/MWh.\237\
---------------------------------------------------------------------------

    \237\ See generally Dominion Comments at 4-5; PJM/SPP Comments 
11; ISO-NE Comments at 4-5; SPP Market Monitor Comments at 7; PJM 
Market Monitor Comments at 6; EEI Comments at 6; Exelon Comments at 
13-14; PJM Power Providers Comments at 3.
---------------------------------------------------------------------------

    110. PJM states that higher natural gas prices have led to higher 
cost-based incremental energy offers from resources, but verifying 
resource costs with natural gas price indices can be challenging 
because there is not a strong or straightforward correlation between 
changes in natural gas index prices and the magnitude of changes in 
cost-based offers, particularly when cost-based incremental energy 
offers in PJM are high.\238\ ISO-NE argues that indices may not fairly 
represent the fuel prices that resources must pay, particularly when 
natural gas supplies are tight.\239\ ISO-NE notes that there may be 
scant independent or timely information on natural gas resources' costs 
during such times.\240\ Various commenters explain that during such 
times, natural gas resources must often purchase natural gas outside of 
the exchange trading platforms \241\ through bilateral deals that are 
not reported on such exchanges, and that a significant amount of such 
purchases tends to make natural gas

[[Page 87785]]

indices less representative of the price natural gas resources pay for 
natural gas.\242\
---------------------------------------------------------------------------

    \238\ PJM/SPP Comments at 11 (citing Attachment A). Attachment A 
presents an analysis of cost-based incremental energy offers and 
natural gas prices during the winters of 2013/14, 2014/15, and 2015/
16. The analysis in Attachment A shows that for cost-based offers in 
the $500/MWh-$750/MWh range, the median gas price corresponding to 
the range of offers was $10.44/MMBtu in the 2013/14 winter, $15.62 
MMBtu in the 2014/15 winter, and $3.75/MMBtu in the 2015/16 winter.
    \239\ ISO-NE Comments at 4-5.
    \240\ Id.
    \241\ Industrial Customers Comments at 16; ISO-NE Comments at 4-
5; ISO-NE Market Monitor Comments at 8; PJM Market Monitor Comments 
at 6; SPP Market Monitor Comments at 7.
    \242\ ISO-NE Market Monitor Comments at 8; PJM Market Monitor 
Comments at 6.
---------------------------------------------------------------------------

    111. The ISO-NE., PJM, and SPP market monitors state that cost 
verification is most challenging when natural gas demand is high 
because of low liquidity and high bid-ask spreads for natural gas 
purchased on open exchanges such as the ICE.\243\ For example, the PJM 
Market Monitor and the ISO-NE Market Monitor state that the natural gas 
market is least transparent on days with very high electric demand and 
that the ICE index is likely to be unsuitable for verification purposes 
because there are either no completed trades reported, a low number of 
completed gas trades (i.e., low liquidity), or the bid-ask spread is so 
wide as to be meaningless.\244\ The SPP Market Monitor states that the 
risk inherent in determining accurate fuel costs from natural gas 
indices is acceptable in most periods, but that the risk increases to 
unacceptable levels during extremely stressed fuel supply 
conditions.\245\ Comments from generators also suggest that natural gas 
indices become less reliable during periods when natural gas supplies 
are limited and natural gas prices spike.\246\ Dominion and Exelon 
assert that purchasing natural gas outside of an exchange through 
marketers or bilateral deals also increases the risks that a natural 
gas resource faces when it formulates its bid, and can increase the 
error associated with a resource's estimate of its actual costs.\247\
---------------------------------------------------------------------------

    \243\ ISO-NE Market Monitor Comments at 8; PJM Market Monitor 
Comments at 6; SPP Market Monitor Comments at 7.
    \244\ ISO-NE Market Monitor Comments at 7-8; PJM Market Monitor 
Comments at 6.
    \245\ SPP Market Monitor Comments at 7.
    \246\ EEI Comments at 6; Exelon Comments at 13-14; PJM Power 
Providers Comments at 3.
    \247\ Dominion Comments at 5; Exelon Comments at 13-14.
---------------------------------------------------------------------------

c. Feasibility of Verification Requirement
    112. The Commission sought comment on the feasibility of the 
proposed verification requirement.\248\ As discussed further below, 
ISO-NE, MISO, and NYISO state that current mitigation procedures could 
satisfy the proposed verification requirement if the Commission 
clarifies that the verification process can include expected, rather 
than actual, costs.\249\ Several commenters express concerns that 
timely verification of a resource's actual short-run marginal costs is 
not possible within the timeframe of the RTO/ISO day-ahead and real-
time market clearing process.\250\
---------------------------------------------------------------------------

    \248\ NOPR, FERC Stats. & Regs. ] 32,714 at PP 59, 73.
    \249\ See infra PP 126-127.
    \250\ Exelon Comments at 11; Industrial Customers Comments at 
13-16; ISO-NE Market Monitor Comments at 9; Joseph Margolies 
Comments at 13; Potomac Economics Comments at 3-4; SPP Market 
Monitor Comments at 2, 7, 9.
---------------------------------------------------------------------------

    113. For example, Potomac Economics states that time constraints 
will make the proposal infeasible if the proposed verification requires 
that resource cost data be collected and fully validated to actual cost 
prior to market clearing.\251\ The ISO-NE Market Monitor states that 
the lack of solid information about natural gas prices on high-
volatility, low-liquidity days makes validation of a resource's 
expected short-run marginal costs difficult, particularly if many 
resources seek to update their cost-based incremental energy 
offers.\252\ The PJM Market Monitor notes that in PJM, a large volume 
of data, including information from approximately 420 gas-fired 
resources and about 35 gas trading points, must be processed to review 
cost-based incremental energy offers.\253\ The SPP Market Monitor 
states that verification prior to market clearing may not be feasible 
in SPP given the tight timeline, particularly during sudden fuel 
shortages and fuel price spikes, and adds that it would need additional 
technical capabilities for such verification.\254\ The SPP Market 
Monitor states that the proposal could also negatively affect RTO/ISO 
market monitors' ability to conduct timely market power mitigation 
under the proposed timeline because market monitors would be required 
to perform cost verification and market mitigation before completion of 
the market clearing process.\255\
---------------------------------------------------------------------------

    \251\ Potomac Economics Comments at 3-4.
    \252\ ISO-NE Market Monitor Comments at 9.
    \253\ PJM Market Monitor Comments at 7.
    \254\ SPP Market Monitor Comments at 2, 7, 9, 10-11.
    \255\ Id. at 9.
---------------------------------------------------------------------------

    114. Industrial Customers argue that market monitors cannot be 
expected to have the ability to assess the legitimacy of the cost 
component of resource offers in real-time.\256\ Industrial Customers 
add that even if a resource has a natural gas invoice with a high price 
and provides it to the market monitor, this alone does not provide 
adequate consumer protection because the market monitor must 
investigate, understand, and accept the dynamics that led to that 
invoice.\257\
---------------------------------------------------------------------------

    \256\ Industrial Customers Comments at 14.
    \257\ Industrial Customers Comments at 19.
---------------------------------------------------------------------------

    115. Citing CAISO's prior comments about practical implementation 
challenges associated with before-the-fact verification, Industrial 
Customers argue that the proposal in the NOPR may not be beneficial 
because pre-verification presents significant challenges given time 
constraints.\258\ KEPCo/NCEMC states that RTOs/ISOs may not be in a 
position to verify cost-based incremental energy offers prior to market 
clearing without substantial investment in both new technology and 
significant changes to the existing RTO/ISO tariffs and business 
practice manuals.\259\ KEPCo/NCEMC argues that the verification 
requirement involves substantial technological and regulatory costs for 
wholesale market participants, which KEPCo/NCEMC asserts are 
unwarranted given the limited nature of the problem with the current 
RTO/ISO offer caps.\260\
---------------------------------------------------------------------------

    \258\ Id. at 14-16 (citing CAISO Post-Technical Workshop 
Comments, Docket No. AD14-14-000, at 4-6 (Mar. 6, 2015)).
    \259\ KEPCo/NCEMC Comments at 5.
    \260\ Id.
---------------------------------------------------------------------------

    116. EEI maintains that the NOPR proposal is heavily dependent on 
having a verification process that is not so cumbersome as to prevent a 
resource's cost based incremental energy offer from being verified in 
time to be used in the LMP calculation. It argues that the use of make-
whole payments would not serve the Commission's goal of having clearing 
prices that reflect the true marginal cost of production, taking into 
account all physical constraints.\261\ NEI states that the manner in 
which the verification is performed is a key concern, and without a 
simple and efficient process, there is risk that the LMP will not 
reflect the true costs of operating the system because it will exclude 
offers above the cap. NEI maintains that an alternative approach would 
be warranted if market monitors cannot validate incremental energy 
offers in excess of $1,000/MWh quickly and efficiently.\262\ 
Competitive Suppliers contend that the proposed verification 
requirement would result in cost-based offers above $1,000/MWh being 
unable to set the LMP because cost verification prior to the market 
clearing process is not possible.\263\
---------------------------------------------------------------------------

    \261\ EEI Comments at 5.
    \262\ NEI Comments at 4.
    \263\ Competitive Suppliers Comments at 17-18.
---------------------------------------------------------------------------

    117. Competitive Suppliers argue that removing the offer cap 
entirely or increasing it significantly would alleviate any challenges 
inherent in a before-the-fact cost verification process.\264\ 
Similarly, NEI states that instead of the verification requirement, the 
Commission should lift caps to a

[[Page 87786]]

level that does not artificially constrain LMPs.\265\
---------------------------------------------------------------------------

    \264\ Id.
    \265\ NEI Comments at 4.
---------------------------------------------------------------------------

    118. Midcontinent Joint Consumer Advocates and TAPS argue that it 
is possible to perform the proposed cost verification prior to the 
market clearing process.\266\ Midcontinent Joint Consumer Advocates 
state that the MISO Market Monitor has publicly confirmed its ability 
to verify offers prior to market clearing and that it currently tracks 
fuel prices that could be used to make adjustments to gas and fuel 
costs included in a MISO resource's cost-based incremental energy 
offer.\267\ According to TAPS, MISO's current process for developing 
and updating cost-based incremental offers for resources is workable 
because the vast majority of resources will never experience cost 
levels close to $1,000/MWh, and the resources that are likely to reach 
such levels should have already provided the Market Monitoring Unit 
with up-to-date information about their heat rates, which will allow 
the Market Monitoring Unit to quickly calculate cost-based incremental 
energy offers for such resources.\268\ TAPS states that MISO's current 
methodology for verification of cost-based incremental offers could be 
modified and adapted in all RTOs/ISOs.\269\
---------------------------------------------------------------------------

    \266\ Midcontinent Joint Consumer Advocates Comments at 5; TAPS 
Comments at 13-15.
    \267\ Midcontinent Joint Consumer Advocates Comments at 5.
    \268\ TAPS Comments at 13-14.
    \269\ Id. at 14-15.
---------------------------------------------------------------------------

d. Uplift Payments
    119. Several stakeholders commented on the after-the-fact review of 
costs in the event that the RTO/ISO or Market Monitoring Unit is unable 
to verify a resource's incremental energy offer above $1,000/MWh prior 
to the market clearing process.\270\ MISO states that market 
participants should be required to consult with the Market Monitoring 
Unit before the submission of an offer in order for that market 
participant to be eligible for make-whole payments after-the-fact, and 
asserts that market participants should not be eligible for cost 
recovery above their offers just because in hindsight, their offers 
were below their actual costs.\271\ PG&E states that if a cost-based 
incremental energy offer is verified after the market has run, energy 
cleared from such an offer should be compensated on an ``as bid'' 
basis.\272\ PG&E maintains that if a cost-based incremental energy 
offer cannot be verified even after the market has run, then that 
resource's cleared energy should instead be compensated at the 
LMP.\273\ PJM Power Providers and Competitive Suppliers assert that 
even after-the-fact verification of a resource's costs will be 
challenging, and, according to Competitive Suppliers, it will be 
particularly challenging for natural gas resources that have complex 
fuel supply arrangements.\274\
---------------------------------------------------------------------------

    \270\ Competitive Suppliers Comments at 19; MISO Comments at 10; 
PG&E Comments at 3; PJM Power Providers Comments at 4.
    \271\ MISO Comments at 10.
    \272\ PG&E Comments at 3.
    \273\ Id.
    \274\ Competitive Suppliers Comments at 19; PJM Power Providers 
Comments at 4.
---------------------------------------------------------------------------

    120. Competitive Suppliers state that in some instances, a resource 
may not be able to use the RTO's/ISO's verification process to set the 
market clearing price (for offers above $1,000/MWh) and in such rare 
cases, it may be necessary to compensate that resource through an 
uplift payment based on after-the-fact cost verification.\275\ 
Competitive Suppliers assert that if a resource incurs justifiable and 
demonstrable short-run marginal costs, those costs should be recovered 
so that the resource does not operate at a loss and so that the 
resource is not discouraged from offering supply to the market.\276\
---------------------------------------------------------------------------

    \275\ Competitive Suppliers Comments at 20-21.
    \276\ Id. at 21.
---------------------------------------------------------------------------

    121. NEI states that, given that the Commission's price formation 
reforms are aimed at reducing the use of out-of-market payments, NEI is 
disappointed by the NOPR proposal to include uplift payments as a fall 
back if before-the-fact cost verification proves infeasible in 
practice.\277\ However, Direct Energy states that if a resource's 
verified cost-based incremental energy offer exceeds the cap, that 
resource should be entitled to full cost recovery of RTO/ISO approved 
costs through uplift.\278\
---------------------------------------------------------------------------

    \277\ NEI Comments at 4.
    \278\ Direct Energy Comments at 3.
---------------------------------------------------------------------------

e. Specific Proposals for the Verification Requirement
    122. Given the concerns about verification of actual costs, several 
commenters, including RTOs/ISOs,\279\ Market Monitoring Units,\280\ and 
other stakeholders,\281\ request that the Commission clarify that if it 
is not possible to verify a resource's actual costs prior to setting 
LMP, it will accept a process that verifies that a resource's 
incremental energy offer reasonably reflects that resource's expected 
costs.
---------------------------------------------------------------------------

    \279\ ISO-NE Comments at 4-7; NYISO Comments at 2; PJM/SPP 
Comments at 12-13.
    \280\ Potomac Economics Comments at 3-4; ISO-NE Market Monitor 
Comments at 4.
    \281\ EEI Comments at 6-7; Exelon Comments at 17.
---------------------------------------------------------------------------

    123. Several commenters maintain that a prior-to-the-market-
clearing verification process that requires cost-based offers be equal 
to actual costs will likely result in fewer incremental energy offers 
above $1,000/MWh that are eligible to set LMP.\282\ For example, EEI 
states that its primary concern with the NOPR is the verification 
process and whether it is workable.\283\ The ISO-NE Market Monitor and 
PJM/SPP state that there is a trade-off between the level of precision 
of the cost-based offer verification, the number of offers that will be 
eligible to set LMPs, and the level of uplift.\284\
---------------------------------------------------------------------------

    \282\ CEA Comments at 5; EEI Comments at 5.
    \283\ EEI Comments at 5.
    \284\ ISO-NE Market Monitor Comments at 5; PJM/SPP Comments at 
13.
---------------------------------------------------------------------------

    124. Several commenters ask the Commission to indicate the types of 
verification processes it would accept.\285\ ISO-NE., MISO, and NYISO 
state that their current process for developing and updating cost-based 
incremental energy offers, known as reference levels, could comply with 
the proposal as clarified to include estimated costs.\286\
---------------------------------------------------------------------------

    \285\ CEA Comments at 6; IRC Comments at 2.
    \286\ ISO-NE Comments at 6; MISO Comments at 8; NYISO Comments 
at 2.
---------------------------------------------------------------------------

    125. CAISO states that the simplest method of verifying cost-based 
incremental energy offers would involve reviewing a broker quote or 
procurement invoice provided as evidence of a resource's costs, but 
CAISO questions whether such information would be sufficient.\287\ 
CAISO predicts that incremental energy offers above $1,000/MWh are not 
likely to be eligible to set the clearing price in CAISO and that 
instead a resource with costs above $1,000/MWh would receive an uplift 
payment, assuming that the resource's costs were verified after-the-
fact.\288\
---------------------------------------------------------------------------

    \287\ CAISO Comments at 11.
    \288\ Id.
---------------------------------------------------------------------------

    126. PJM/SPP state that the principles outlined in the NOPR are 
sound, provided that the Final Rule allows RTOs/ISOs flexibility to 
design verification procedures that are consistent with current RTO/ISO 
rules.\289\ PJM/SPP outline conceptual initial proposals for 
verification, but stress the need to provide RTOs/ISOs with latitude to 
develop the final verification process with stakeholders.\290\ PJM 
presents a possible verification process that involves an automatic 
screen to filter out unreasonably high offers and to create a range of 
reasonableness based on an

[[Page 87787]]

index of natural gas prices, the bid/ask spread, and resource heat 
rates.\291\ PJM states that the verification requirement could use a 
screening process that determines whether certain resources' 
incremental energy offers in a given area are within ten percent or 
$100/MWh of a benchmark offer based on a natural gas price index.\292\ 
SPP states that it could develop additional rules that facilitate 
resources' submission of the fuel cost component of their cost-based 
incremental energy offers that is consistent with the resource's actual 
costs where possible, or that is a reasonably accurate representation 
of those costs. SPP states that given the need to approximate fuel 
costs that are difficult to verify, in most cases such a verification 
process could be subject to a reasonable margin of error.\293\
---------------------------------------------------------------------------

    \289\ PJM/SPP Comments at 2-3.
    \290\ Id. at 14-21.
    \291\ Id. at 15-16.
    \292\ Id. at 16-17.
    \293\ Id. at 19.
---------------------------------------------------------------------------

    127. ISO-NE states that if its current cost verification process is 
acceptable to the Commission, then the offer cap proposal may be 
workable and would help improve price formation if high fuel prices 
cause generation costs to exceed $1,000/MWh.\294\ MISO contends that 
its current process to establish and adjust cost-based offers can be 
used to verify incremental energy offers above $1,000/MWh.\295\ NYISO 
also states that its current review process of a resource's incremental 
energy costs could be used to satisfy the proposed verification 
requirement.\296\
---------------------------------------------------------------------------

    \294\ ISO-NE Comments at 6.
    \295\ MISO Comments at 8.
    \296\ NYISO Comments at 3.
---------------------------------------------------------------------------

    128. The ISO-NE Market Monitor states that the Commission should 
revise the proposed verification requirement to permit use of ISO-NE's 
current Commission-approved process where a resource can update its 
cost-based incremental energy offer, which occurs through a ``Fuel 
Price Adjustment.'' \297\ The ISO-NE Market Monitor states that ISO-
NE's Fuel Price Adjustment mechanism balances the desire to reflect 
resource costs in cost-based incremental energy offers, the limited 
information the ISO-NE Market Monitor has available to verify costs, 
and the need to deter abuse.\298\ The ISO-NE Market Monitor explains 
that ISO-NE's market power mitigation software automatically calculates 
cost-based incremental energy offers for resources, which may be based 
on a day-ahead fuel price index.\299\
---------------------------------------------------------------------------

    \297\ ISO-NE Market Monitor Comments at 5-10.
    \298\ Id. at 5.
    \299\ Id. at 6.
---------------------------------------------------------------------------

    129. Potomac Economics states that MISO's current process for 
developing and updating reference levels would comply with a Final Rule 
which clarified that before-the-fact verification of a resource's 
expected costs is acceptable.\300\ Potomac Economics explains that in 
MISO, cost-based offers are calculated on the day before every 
operating day based on next-day fuel price indices.\301\ In real-time, 
the MISO Market Monitor (i.e., Potomac Economics), reviews natural gas 
prices on ICE at various delivery points, and if natural gas prices 
rise significantly compared to the next-day fuel index, the MISO Market 
Monitor adjusts the cost-based incremental energy offers of any 
affected resources.\302\ Potomac Economics adds that a MISO resource 
can also consult with the Market Monitor and request to raise its cost-
based offer beyond this adjustment if the resource provides supporting 
information, which may or may not be approved.\303\
---------------------------------------------------------------------------

    \300\ Potomac Economics Comments at 5.
    \301\ Id. at 4.
    \302\ Id. In MISO, cost-based offers are referred to as 
reference levels.
    \303\ Id. at 5.
---------------------------------------------------------------------------

    130. Potomac Economics explains that a NYISO resource may also 
request to update its cost-based incremental energy offer through a 
software process that automatically permits such an increase, provided 
the increase does not exceed a predetermined threshold.\304\ Potomac 
Economics maintains that NYISO may need to adjust the validation 
threshold to account for periods of unusually high fuel price 
volatility, but that with such an adjustment, NYISO's current 
verification process could comply with the proposal.\305\
---------------------------------------------------------------------------

    \304\ Id. NYISO states that a resource that updates the fuel 
type or fuel cost information associated with its cost-based 
incremental energy offer must make supporting documentation 
available for NYISO's review after-the-fact. See NYISO Comments at 
4.
    \305\ Potomac Economics Comments at 6.
---------------------------------------------------------------------------

    131. The PJM Market Monitor explains that resource owners in PJM 
are responsible for submitting their own cost-based offers and fuel 
cost policies, and that fuel costs are an essential part of the 
verification process.\306\ The PJM Market Monitor states that it does 
not have the authority to tell a resource owner what its fuel cost is 
or what its offer should be, but it does have the authority to verify 
cost-based offers, to discuss cost issues with resource owners, and to 
refer resource owners to the Commission for rule violations and for the 
attempted or actual exercise of market power.\307\ It states that it is 
essential that the Commission impose significant penalties for rule 
violations determined during the after-the-fact review. According to 
the PJM Market Monitor, a resource should be required to have in place 
a fuel cost policy that has been approved by both the PJM Market 
Monitor and PJM before the resource is able to submit an offer in 
excess of $1,000/MWh.\308\ The PJM Market Monitor states that if a 
resource's cost-based incremental energy offer above $1,000/MWh is used 
in the market clearing process, the PJM Market Monitor would perform a 
timely after-the-fact review to determine whether a resource's offer 
was based upon the best information available at the time the resource 
submitted the cost-based incremental energy offer.\309\ The PJM Market 
Monitor states that, in cases where an offer above $1,000/MWh is not 
permitted, the PJM Market Monitor would perform a timely after-the-fact 
review to determine the actual incurred costs of a resource, and uplift 
would be paid if the costs exceeded the market clearing price.\310\ Any 
uplift payments for such offers would be based on the actual gas cost 
incurred. The PJM Market Monitor also recommends that the $1,000/MWh 
offer cap apply to a resource's ``operating rate,'' which is calculated 
by adding a resource's incremental offer to its no-load offer.\311\
---------------------------------------------------------------------------

    \306\ PJM Market Monitor Comments at 4-5.
    \307\ Id. at 5.
    \308\ Id. at 6.
    \309\ Id. at 7-8.
    \310\ Id.
    \311\ Id. at 2.
---------------------------------------------------------------------------

    132. The PJM Market Monitor also maintains that it is essential 
that any verification process include a rigorous and timely after-the-
fact review and a requirement that a resource follows the cost-based 
offer submission rules and abides by its approved fuel cost policy. The 
PJM Market Monitor states that the verification process requires strong 
compliance incentives, and the Commission should impose significant 
penalties if a resource violates the cost-based incremental energy 
offer guidelines.\312\
---------------------------------------------------------------------------

    \312\ Id. at 7.
---------------------------------------------------------------------------

    133. Commenters representing generator and load interests also 
proposed verification processes. Competitive Suppliers and NEI state 
that lifting the offer cap to a level that does not artificially 
constrain LMPs is preferable to developing a verification process, as 
removing the cap allows the market price to convey accurate information 
of the state of the system even during high stress.\313\
---------------------------------------------------------------------------

    \313\ Competitive Suppliers Comments at 18; NEI Comments at 4.

---------------------------------------------------------------------------

[[Page 87788]]

    134. Competitive Suppliers prefer no verification requirement but 
contends that if the Commission requires that all cost-based 
incremental energy offers above $1,000/MWh be verified, the RTO/ISO and 
the generator should be able to identify a set of accepted criteria and 
data inputs such that resources can submit offers that can be accepted 
and thus eligible to set LMP.\314\ Competitive Suppliers state that 
PJM's Cost Development Guidelines provide a means of verifying resource 
costs and may provide an alternative approach to the proposed 
verification requirement.\315\
---------------------------------------------------------------------------

    \314\ Competitive Suppliers Comments at 19.
    \315\ Id.
---------------------------------------------------------------------------

    135. Exelon proposes that the Commission require RTOs/ISOs to adopt 
tariff provisions that will permit timely review and approval of 
resources' cost-based offers based on a resource-specific ``safe 
harbor'' formula that is agreed upon in advance.\316\ Exelon proposes 
that, at a minimum, the safe harbor formula should include a ten 
percent uncertainty component and a fuel cost component based on a 
daily natural gas index, natural gas adders, balancing costs, 
transportation costs, and a risk adder.\317\
---------------------------------------------------------------------------

    \316\ Exelon Comments at 11.
    \317\ Id. at 17-20 (citing Testimony of Leslie O. Dedrickson at 
29-31).
---------------------------------------------------------------------------

    136. Dominion supports a verification process that uses fuel 
estimates based on recent prices, historical prices during similar 
conditions, or a combination of both.\318\ Dominion would support 
allowing market participants to submit cost-based offers within a 
reasonable range of a reference price that would be based on a 
historical fuel price index or an average of ask prices within a given 
fuel market, and that offers which fall in the range of that reference 
price and clear the market should be eligible to set LMP.\319\
---------------------------------------------------------------------------

    \318\ Dominion Comments at 5.
    \319\ Id.
---------------------------------------------------------------------------

    137. The New Jersey and Pennsylvania Commissions and OPSI maintain 
that in order to implement the proposal in PJM, resources should be 
required to have a fuel cost policy approved by the Market Monitoring 
Unit prior to submission of cost-based incremental energy offers above 
$1,000/MWh.\320\ The Pennsylvania Commission states that pre-approved 
resource fuel cost policies in PJM would speed up the verification 
process, foster market stability, and provide certainty to 
resources.\321\ The New Jersey Commission and OPSI assert that resource 
fuel cost policies should be derived from a verifiable, algorithmic, 
and systematic approach consistent with the PJM Market Monitor's fuel 
cost policy guidelines.\322\ The Delaware and Pennsylvania Commissions 
and OPSI argue that PJM should clarify the role of PJM and the PJM 
Market Monitor in the review and approval of fuel cost policies and 
assert that the PJM Market Monitor should have the authority to verify 
offers above $1,000/MWh.\323\
---------------------------------------------------------------------------

    \320\ New Jersey Commission Comments at 12-13; Pennsylvania 
Commission Comments at 9; OPSI Comments at 7-9. This issue was also 
raised in comments in PJM's offer flexibility proposal in Docket No. 
ER16-372-000.
    \321\ Pennsylvania Commission Comments at 9.
    \322\ New Jersey Commission Comments at 13; OPSI Comments at 8 
(citing Monitoring Analytics, Fuel Cost Policy Guidelines: Gas 
Replacement Cost (Sept. 24, 2015), available at http://www.monitoringanalytics.com/reports/Market_Messages/Messages/IMM_Fuel_Cost_Policy_Guidelines_20150924.pdf).
    \323\ Delaware Commission Comments at 12; OPSI Comments at 7-9.
---------------------------------------------------------------------------

    138. SCE argues that each RTO/ISO should utilize its own 
stakeholder processes to develop specific verification rules, which may 
reflect regional factors such as differences in market power mitigation 
processes and region-specific costs such as emissions and greenhouse 
gas costs.\324\
---------------------------------------------------------------------------

    \324\ SCE Comments at 1-2.
---------------------------------------------------------------------------

3. Determination
    139. We adopt the NOPR proposal and clarify that each RTO/ISO or 
Market Monitoring Unit is required to verify that any incremental 
energy offer above $1,000/MWh reasonably reflects the associated 
resource's actual or expected costs prior to using that offer to 
calculate LMPs. We find that this verification requirement is necessary 
for incremental energy offers above $1,000/MWh because market power 
concerns are heightened when a resource's short-run marginal costs 
exceed $1,000/MWh.
    140. Based on the record, it is not practical to require that RTOs/
ISOs or Market Monitoring Units verify a resource's actual costs in all 
circumstances because a resource may not know its actual short-run 
marginal costs at the time it submits an incremental energy offer to 
the RTO/ISO for various reasons, including the timing of natural gas 
procurement. Accordingly, we clarify that an RTO/ISO or a Market 
Monitoring Unit must verify that cost-based incremental energy offers 
above $1,000/MWh reasonably reflect a resource's actual or expected 
costs. Under this requirement, the verification process for cost-based 
incremental offers above $1,000/MWh must ensure that a resource's cost-
based incremental energy offer reasonably reflects that resource's 
actual or expected costs.
    141. The RTO/ISO or Market Monitoring Unit, as prescribed in the 
RTO/ISO tariff and consistent with Order No. 719,\325\ must verify the 
costs within a cost-based incremental energy offer above $1,000/MWh 
before that offer is used to calculate LMP, subject to the condition 
that such offers are capped at $2,000/MWh for purposes of calculating 
LMP.\326\ To create such a verification process, we expect that the 
RTO/ISO would build on its existing mitigation processes for 
calculating or updating cost-based incremental energy offers.\327\ 
However, we appreciate statements from RTOs/ISOs, market monitors, and 
others about potential verification processes for incremental energy 
offers above $1,000/MWh. We recognize that the verification process for 
incremental energy offers may be a fact-specific inquiry, and we have 
previously provided Market Monitoring Units with flexibility to make 
case-specific determinations.\328\ Given the potential complexities 
involved in verifying incremental energy offers as well as the 
Commission's recognition of the need for proper mitigation methods in 
energy markets, we will require that RTOs/ISOs explain in their 
compliance filings what factors will be considered by the RTO/ISO or 
its Market Monitoring Unit in the verification process for cost-based 
incremental energy offers above $1,000/MWh and whether such factors are 
currently considered in existing market power mitigation provisions or 
whether new practices or tariff provisions are necessary given the 
verification requirement adopted in this Final Rule. Therefore, we 
disagree that the verification requirement is needlessly cumbersome 
because RTOs/ISOs may build on existing processes for market power 
mitigation.
---------------------------------------------------------------------------

    \325\ 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) (2016).
    \326\ 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) (2016). 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) (2016).
    \327\ NOPR, FERC Stats. & Regs. ] 32,714 at P 63.
    \328\ See New England Power Generators Association, Inc. v. ISO 
New England Inc., 144 FERC ] 61,157, at P 62 (2015).
---------------------------------------------------------------------------

    142. Most RTOs/ISOs prohibit incremental energy offers above 
$1,000/MWh, a prohibition that some market

[[Page 87789]]

monitors characterize as a backstop market power mitigation 
measure.\329\ The offer cap adopted in this Final Rule retains the 
backstop function that the current $1,000/MWh offer cap plays in 
existing RTO/ISO market power mitigation because it limits incremental 
energy offers that are not cost-based to $1,000/MWh. Under this Final 
Rule, incremental energy offers below $1,000/MWh will remain subject to 
existing market power mitigation measures. However, this Final Rule 
will require that all incremental energy offers equal to and above 
$1,000/MWh be cost-based, which essentially requires mitigation of all 
incremental energy offers above $1,000/MWh.
---------------------------------------------------------------------------

    \329\ NOPR, FERC Stats. & Regs. ] 32,714 at P 23.
---------------------------------------------------------------------------

    143. In this way, the verification requirement requires RTOs/ISOs 
to make only an incremental change to their existing market power 
mitigation procedures because the market power mitigation provisions 
that apply to incremental energy offers below $1,000/MWh will be 
unchanged. While in this Final Rule we increase the offer cap for cost-
based incremental energy offers, we also subject offers above $1,000/
MWh to additional market power mitigation in the form of the 
verification requirement. The verification requirement is designed to 
ensure that a cost-based incremental energy offer above $1,000/MWh is 
not an attempt by the associated resource to exercise market power. The 
verification requirement is part-and-parcel with the increase of the 
offer cap for cost-based incremental energy offers. We find that it 
would be inappropriate to raise the offer cap without imposing a 
verification requirement. The verification requirement thus serves as 
an additional backstop market power mitigation measure.\330\
---------------------------------------------------------------------------

    \330\ Moreover, existing Commission regulations establish that 
misrepresenting costs when submitting cost-based incremental energy 
offers as part of a supply offer may be in violation of 18 CFR 
35.41(b) (2016) and 18 CFR 1c.2(a)(2) (2016).
---------------------------------------------------------------------------

    144. Contrary to Potomac Economics' assertion that competition is 
not diminished when short-run marginal costs rise above $1,000/MWh, we 
find that market power concerns are heightened during such periods 
because short-run marginal costs in this range may indicate that very 
few resources are available to provide additional supply. Supply may be 
limited during such periods because of fuel supply limitations or the 
physical limitations of resources (e.g., ramping constraints). 
Accordingly, resources with available supply during such periods likely 
face little competition, particularly in real-time, and may therefore 
be able to exercise market power. We find that the verification 
requirement reasonably addresses market power concerns associated with 
incremental energy offers above $1,000/MWh because such offers will be 
required to be cost-based, which should deter attempts by resources to 
exercise market power.
    145. As discussed above, this Final Rule will require RTOs/ISOs to 
limit incremental energy offers to $2,000/MWh when calculating LMPs, 
which may be below the cost-based incremental energy offer of a 
resource. Thus, we revise the verification requirement proposed in the 
NOPR as indicated below and add new language (underlined below) to 
account for any uplift associated with the $2,000/MWh hard cap and 
adopt the following verification requirement:

    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 offer may not be used to calculate 
Locational Marginal Prices and the resource would be eligible for a 
make-whole payment if that resource is dispatched and the resource's 
costs are verified after-the-fact. A resource would also be eligible 
for a make-whole payment if it is dispatched and its verified cost-
based incremental energy offer exceeds $2,000/MWh.

    146. We will retain the proposal in the NOPR which ensures that, if 
a resource's incremental energy offer above $1,000/MWh is not verified 
but that resource is nonetheless dispatched, that resource would be 
eligible to receive an uplift payment to recover its verified costs. 
The basis of the uplift payment would be the difference between a given 
resource's energy market revenues and that resource's actual short-run 
marginal costs of the MWs dispatched, as verified after-the-fact by the 
RTO/ISO or Market Monitoring Unit.\331\ We find that such uplift 
payments are necessary given the challenges associated with the 
verification processes, to ensure that resources have an incentive to 
offer into RTO/ISO energy markets, and to ensure that resources are 
compensated for the service they provide.
---------------------------------------------------------------------------

    \331\ The Commission notes that the clarification regarding use 
of a resource's actual or expected short-run marginal costs during 
the verification process that occurs prior to the market clearing 
process is not applicable to such uplift payments. Any such uplift 
payment, which is paid after-the-fact, must be based on a resource's 
actual short-run marginal costs.
---------------------------------------------------------------------------

    147. This Final Rule will permit regional variation in the process 
for treating incremental energy offers above $1,000/MWh that the RTO/
ISO or Market Monitoring Unit 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 or to mitigate 
that offer to a level below $1,000/MWh pursuant to other applicable 
market power mitigation provisions.

C. Resource Neutrality

1. NOPR Proposal
    148. In the NOPR, the Commission proposed the following resource 
neutrality requirement:

    All resources, regardless of type, are eligible to submit cost-
based incremental energy offers in excess of $1,000/MWh.\332\
---------------------------------------------------------------------------

    \332\ NOPR, FERC Stats. & Regs, ] 32,714 at P 69.

    The Commission reasoned that 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.\333\ The Commission also stated that the proposed 
resource neutrality requirement is consistent with prior orders related 
to the offer cap in PJM and MISO.\334\
---------------------------------------------------------------------------

    \333\ Id.
    \334\ Id. (citing 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).
---------------------------------------------------------------------------

2. Comments
    149. Several commenters support the proposed resource neutrality 
requirement.\335\ For example, MISO supports the resource neutrality 
requirement and notes that the MISO tariff currently allows any 
resource, regardless of type, to establish a cost-based reference 
level.\336\ MISO adds that some resources could be constrained by the 
$1,000/MWh cap because they may be unable to provide evidence of high 
fuel costs.\337\
---------------------------------------------------------------------------

    \335\ EEI Comments at 1, 3; Ohio Commission Comments at 12; MISO 
Comments at 12.
    \336\ MISO Comments at 12 (citing MISO Tariff, Module D, 
64.1.4.a, 64.3.a, and 64.1.4.h).
    \337\ Id.
---------------------------------------------------------------------------

    150. Commenters disagree about whether demand response resources 
should be able to submit incremental energy offers above $1,000/MWh. 
Some commenters argue that demand response resources should be treated 
the same as other physical generation resources that provide 
offers.\338\

[[Page 87790]]

Additionally, MISO questions why a demand response resource should be 
prevented from submitting an offer at the same level (in $/MWh) as 
physical resources.\339\
---------------------------------------------------------------------------

    \338\ API Comments at 12-13; Competitive Suppliers Comments at 
23-24; Exelon Comments at 23 (citing PJM Manual 11 2.3.3); 
Industrial Customers Comments at 28; PJM Market Monitor Comments at 
12-13.
    \339\ MISO Comments at 7.
---------------------------------------------------------------------------

    151. However, other commenters argue that demand response should 
not be able to submit incremental energy offers above $1,000/MWh. PJM/
SPP argue that the proposed offer cap revisions should not apply to 
demand response resources because demand response resource offers are 
intended to capture foregone commercial revenues, not the short-run 
marginal cost of reducing output.\340\ ISO-NE asserts that a demand 
response resource's costs would be based on its marginal opportunity 
cost of foregone consumption, which could routinely exceed $1,000/MWh 
or $2,000/MWh, and that verifying such costs could not be accomplished 
on short notice. ISO-NE surmises that allowing demand resources to 
submit incremental energy offers above $1,000/MWh could create perverse 
incentives and may give physical resources the incentive to move behind 
the meter to exploit asymmetries in the application of the offer cap. 
Accordingly, ISO-NE requests that the Commission carefully consider its 
position on verification of the actual costs of demand response 
resources.\341\
---------------------------------------------------------------------------

    \340\ PJM/SPP Comments at 5.
    \341\ ISO-NE Comments at 7-8.
---------------------------------------------------------------------------

    152. The New Jersey Commission argues that in the absence of a 
comprehensive definition of short-run marginal costs for demand 
response resource offers, demand response resources should not be 
permitted to offer and set the market clearing price above the 
Commission's determined offer cap.\342\ The Pennsylvania Commission 
asserts that demand response resources should not be eligible to set 
LMP and should be treated as price takers, asserting that such 
resources do not generally exhibit competitive behavior in energy 
markets because the energy revenues of such resources are de minimis 
relative to their capacity market revenues.\343\
---------------------------------------------------------------------------

    \342\ New Jersey Commission Comments at 18.
    \343\ Pennsylvania Commission Comments at 14 (citing PJM, Demand 
Response Operations Market's Activity Report: February 2016 (Feb. 
16, 2016), Fig. 23; Monitoring Analytics, LLC, State of the Markets 
Report for PJM, Vol. 1., Fig. 10 (Mar. 10, 2016)).
---------------------------------------------------------------------------

    153. Several commenters express concerns about whether RTOs/ISOs or 
Market Monitoring Units can verify the costs of demand response 
resources. For example, ISO-NE asserts that a demand response 
resource's costs would be based on that resource's marginal opportunity 
cost of foregone consumption and other information that is difficult to 
validate, particularly if the demand response resource's costs increase 
significantly from the prior day.\344\ PJM/SPP state that it is not 
clear what demand response resource costs could be validated to justify 
an offer above the $1,000/MWh offer cap.\345\ The Pennsylvania 
Commission states that with the limited exception of on-site backup 
generation costs, the incremental energy costs of demand response 
capacity resources are largely unknown.\346\ ISO-NE urges the 
Commission to carefully consider whether the verification of actual 
costs should be imposed on a resource-neutral basis, and explains its 
concerns regarding its ability to timely verify the offers of demand 
response resources.\347\ AEMA argues that it is impractical, if not 
impossible, to verify the costs of a demand response resource in the 
same manner as a physical generation resource, particularly before-the-
fact.\348\ AEMA also cites a prior Commission order on ISO-NE's Order 
No. 745 compliance where the Commission found that ``unlike with supply 
resources, it would be very difficult to develop a competitive offer or 
reference price to which to mitigate each demand response resource.'' 
\349\ AEMA asserts that there is no need to create an additional 
verification requirement for demand response resources, because the 
Commission has recognized that comparability does not require identical 
treatment.\350\
---------------------------------------------------------------------------

    \344\ ISO-NE Comments at 7-8.
    \345\ PJM/SPP Comments at 5.
    \346\ Pennsylvania Commission Comments at 14.
    \347\ ISO-NE Comments at 7-8.
    \348\ AEMA Comments at 7-8.
    \349\ Id. at 8 (citing ISO New England Inc., 138 FERC ] 61,042, 
at P 138 (2012)).
    \350\ Id. at 8-9 (citing Preventing Undue Discrimination and 
Preference in Transmission Service, Order No. 890, FERC Stats. & 
Regs. ] 31,241, order on reh'g, Order No. 890-A, FERC Stats. & Regs. 
] 31,261 (2007), order on reh'g, Order No. 890-B, 123 FERC ] 61,299, 
at P 216 (2008), order on reh'g, Order No. 890-C, 126 FERC ] 61,228, 
order on clarification, Order No. 890-D, 129 FERC ] 61,126 (2009); 
Indep. Market Monitor for PJM v. PJM Interconnection, L.L.C., 155 
FERC ] 61,059, at P 31 (2016) (``comparability does not require 
identical application to demand response resources and generation 
resources of PJM's offer cap and the must-offer requirement'')).
---------------------------------------------------------------------------

    154. AEMA requests that the Commission clarify that the offer cap 
proposed in the NOPR only impacts demand response resources that 
participate in energy markets and would not apply to demand resources 
that exclusively participate in capacity markets.\351\ AEMA explains 
that demand response resources that participate exclusively in capacity 
markets do not make incremental energy offers. AEMA explains that 
capacity-only demand response resources are only dispatched on a 
reliability-based trigger that determines the price the demand resource 
is paid as opposed to an offer price-based trigger that does not 
represent the LMP at which the customer wishes to be dispatched, or the 
costs of the customer to curtail its load. AEMA asserts that forcing 
these resources to make ``incremental energy offers'' in the energy 
market would drive them away from participation.\352\
---------------------------------------------------------------------------

    \351\ Id. at 3.
    \352\ Id. at 3-5.
---------------------------------------------------------------------------

    155. AEMA requests that the Commission continue to allow demand 
response resources to submit offers up to the offer cap in energy 
markets and not impose additional verification requirements on demand 
response resource energy market offers beyond what has already been 
accepted.\353\ AEMA asserts that the Final Rule should not impact 
existing or proposed methods for monitoring and evaluating demand 
resource offers in energy markets or create additional verification 
hurdles for demand resource offers beyond those that currently 
exist.\354\
---------------------------------------------------------------------------

    \353\ Id. at 5-6.
    \354\ Id. at 2-3, 7-9.
---------------------------------------------------------------------------

3. Determination
    156. We adopt the NOPR proposal and find that resources with costs 
above $1,000/MWh should be able to submit cost-based incremental energy 
offers to recover their costs, regardless of the type of resource. 
Prohibiting a particular set of resources from submitting cost-based 
incremental energy offers above $1,000/MWh could preclude them from 
recovering their costs.
    157. In the NOPR the term ``resource'' referred to all supply 
resources, including demand response resources, that offer incremental 
energy to RTO/ISO energy markets.\355\ As such, a demand response 
resource that submits incremental energy offers to the energy market 
based on short-run marginal cost would be subject to the verification 
requirement if that incremental energy offer exceeds $1,000/MWh. For 
such a resource, the short-run marginal cost may equal its opportunity 
costs.
---------------------------------------------------------------------------

    \355\ This is consistent with prior uses of the term. See, e.g., 
Settlement Intervals and Shortage Pricing in Markets Operated by 
Regional Transmission Organizations and Independent System 
Operators, Order No. 825, 81 FR 42,882 (June 30, 2015), FERC Stats. 
& Regs. ] 31,384, at P 98 (2016).
---------------------------------------------------------------------------

    158. We recognize that the verification process for demand response 
resources will necessarily differ from the verification process for 
generation resources, as noted by ISO-NE and AEMA. The Commission has

[[Page 87791]]

recognized that demand response resources should receive comparable, 
but not necessarily identical treatment to generation resources.\356\ 
However, we decline AEMA's request to exempt demand response resources 
that submit incremental energy offers in RTO/ISO energy markets from 
any additional verification requirements associated with this Final 
Rule, because such an exemption does not constitute comparable 
treatment. However, as noted above,\357\ this Final Rule does not 
prescribe how RTOs/ISOs should verify cost-based incremental energy 
offers above $1,000/MWh, including offers from demand response 
resources.
---------------------------------------------------------------------------

    \356\ Demand Response Compensation in Organized Wholesale Energy 
Markets, Order No. 745, FERC Stats. & Regs. ] 31,322, at P 66, order 
on reh'g and clarification, Order No. 745-A, 137 FERC ] 61,215 
(2011) (``as a general matter demand response providers and 
generators should be subject to comparable rules that reflect the 
characteristics of the resource.'').
    \357\ See supra P 141.
---------------------------------------------------------------------------

    159. Finally, we find that the New Jersey and Pennsylvania 
Commissions' comments that demand response resources should not be able 
to set LMP are beyond the scope of this Final Rule, which only applies 
to incremental energy offers above $1,000/MWh, and not the general 
eligibility of demand response resources to set LMPs in RTO/ISO energy 
markets. We clarify, however, that reforms adopted in this Final Rule, 
which provide that resources are eligible to submit cost-based 
incremental energy offers in excess of $1,000/MWh and require that 
those offers be verified, do not apply to capacity-only demand response 
resources that do not submit incremental energy offers in energy 
markets.

V. Other Issues

A. Virtual Transactions

    160. Although the Commission preliminarily found in the NOPR that 
virtual supply offers and virtual demand bids (virtual transactions) 
could not provide a cost basis for offers above $1,000/MWh, it sought 
comment about 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.\358\
---------------------------------------------------------------------------

    \358\ NOPR, FERC Stats. & Regs ] 32,714 at PP 64, 73.
---------------------------------------------------------------------------

1. Comments
    161. CAISO states that virtual transactions do not face short-run 
marginal production costs and would thus be unable to justify costs 
above $1,000/MWh.\359\ However, CAISO notes that if physical resources 
can submit incremental energy offers above $1,000/MWh, then virtual 
participants should also be able to bid above $1,000/MWh to arbitrage 
those physical offers.\360\
---------------------------------------------------------------------------

    \359\ CAISO Comments at 13.
    \360\ Id.
---------------------------------------------------------------------------

    162. ISO-NE states that market participants should be able to 
submit virtual supply offers at levels as high as offers from physical 
resources to ensure that there is a liquid supply of offers that can 
compete with physical resources in the day-ahead market under all 
market conditions, which can reduce the potential exercise of market 
power during tight day-ahead conditions.\361\ ISO-NE asserts that if 
the Commission adopts a new hard cap, there is no cost-basis or market 
power rationale to limit virtual supply offers below the level of any 
hard cap.\362\
---------------------------------------------------------------------------

    \361\ ISO-NE Comments at 8.
    \362\ Id. at 8-9.
---------------------------------------------------------------------------

    163. PJM argues that virtual transactions should be permitted to 
exceed $1,000/MWh or be subject to a reasonableness screen because 
virtual transactions increase competition in the day-ahead markets and 
reduce market share, and thus reduce market power.\363\ MISO states 
that prohibiting virtual transactions above $1,000/MWh could limit 
hedging opportunities which could increase the price differentials 
between the day-ahead and real-time energy markets.\364\ MISO adds that 
revising the offer cap for virtual transactions could conceivably 
expose other market participants to high prices but notes that MISO 
already has mitigation measures in place for virtual transactions and 
that years of market experience have shown that such manipulation 
concerns are improbable.\365\
---------------------------------------------------------------------------

    \363\ PJM/SPP Comments at 27.
    \364\ MISO Comments at 18; see also PJM/SPP Comments at 27-28.
    \365\ MISO Comments at 18.
---------------------------------------------------------------------------

    164. NYISO states that cost-based incremental energy offers, 
interchange transactions (e.g., imports and exports), and virtual 
transactions should be capped at the level of the hard cap, which will 
allow market participants to continue to compete to the maximum extent 
practicable.\366\ NYISO also argues that a hard cap is appropriate for 
virtual transactions because such transactions are based on price 
expectations as opposed to verifiable costs.\367\ SPP states that it 
takes no position on the application of the proposed reforms to virtual 
transactions.\368\
---------------------------------------------------------------------------

    \366\ NYISO Comments at 7-8.
    \367\ Id. at 7.
    \368\ PJM/SPP Comments at 28.
---------------------------------------------------------------------------

    165. Potomac Economics states that competitive virtual transactions 
should be permitted to exceed $1,000/MWh when real-time prices are 
expected to exceed $1,000/MWh.\369\ Potomac Economics states that 
although virtual transactions do not have production costs, they do 
have marginal costs, and notes that the marginal cost of selling 
virtual energy in the day-ahead market is the expected cost of buying 
the energy in the real-time market.\370\ Potomac Economics states that 
virtual transactions support the competitive performance of day-ahead 
markets and thus argues that it is important to structure the rules for 
virtual transactions in a manner that does not impede their 
participation in the market.\371\
---------------------------------------------------------------------------

    \369\ Potomac Economics Comments at 10.
    \370\ Id.
    \371\ Id.
---------------------------------------------------------------------------

    166. Potomac Economics proposes that virtual transactions be 
permitted to exceed $1,000/MWh when real-time LMPs are expected to 
exceed $1,000/MWh for more than a specified period (e.g., 30 
minutes).\372\ The PJM Market Monitor argues that market participants 
should not be permitted to submit virtual transactions above $1,000/MWh 
because increasing the offer cap on virtual transactions would create 
opportunities for the exercise of market power and manipulation of 
markets and permit resource owners to avoid the requirement that 
incremental energy offers above $1,000/MWh be cost-based.\373\ The PJM 
Market Monitor states there is no evidence that virtual supply offers 
have increased competition or would increase competition in extreme 
circumstances.\374\ The PJM Market Monitor recommends that if the 
Commission wishes to permit some virtual transactions to exceed $1,000/
MWh, the Commission should: (1) Limit virtual transactions above 
$1,000/MWh to liquid trading hubs; (2) require market participants to 
explain why virtual offers or bids above $1,000/MWh are appropriate; 
and (3) subject such virtual transactions to a ``reasonableness 
screen'' and an after-the-fact review for whether they resulted in 
manipulation or market power.\375\ The PJM Market Monitor states that 
the asserted benefits of virtuals with respect to hedging, competition, 
and price convergence have not been empirically established, and, thus, 
it is unnecessary to create

[[Page 87792]]

market power risks when revising the offer cap.\376\
---------------------------------------------------------------------------

    \372\ Id. at 9-10.
    \373\ PJM Market Monitor Comments at 11; PJM Market Monitor 
Answer at 6.
    \374\ PJM Market Monitor Answer at 5.
    \375\ PJM Market Monitor Comments at 11-12.
    \376\ PJM Market Monitor Answer at 5.
---------------------------------------------------------------------------

    167. Separately, the PJM Market Monitor recommends that up-to-
congestion transactions in PJM be excluded from any offer cap reforms 
stating that because up-to-congestion transactions are spread bids 
between nodes there is no reason to relax the current rules that govern 
such transactions.\377\
---------------------------------------------------------------------------

    \377\ PJM Market Monitor Comments at 11; PJM Market Monitor 
Answer at 6.
---------------------------------------------------------------------------

    168. Several commenters argue that the Commission should allow 
virtual transactions to exceed $1,000/MWh.\378\ Some commenters focus 
on the use of virtual transactions to hedge physical transactions and 
argue that virtual transactions should thus be subject to the same 
offer caps as physical resources.\379\ Dominion states that in extreme 
winter conditions, a physical resource that faces a start-up risk and 
is likely to receive a day-ahead award may submit a virtual demand bid 
to hedge against the potential outage in real-time.\380\ Exelon also 
argues that hedging the risk of physical transactions through virtual 
transactions is especially important when the system is stressed, and 
that doing so may improve market performance by converging day-ahead 
and real-time prices.\381\ Competitive Suppliers assert that the same 
argument articulated in the NOPR for having a uniform offer cap across 
regions demands similar treatment of virtual transactions, imports, and 
emergency demand response across regions.\382\
---------------------------------------------------------------------------

    \378\ Competitive Suppliers Comments at 23-24; Dominion Comments 
at 7; Exelon Comments at 23-24; ISO-NE Comments at 8; PJM/SPP 
Comments at 27; SPP Market Monitor Comments at 12; NY Department of 
State Comments at 6.
    \379\ SPP Market Monitor Comments at 12; Competitive Suppliers 
Comments at 23-24; NY Department of State Comments at 6; Dominion 
Comments at 7.
    \380\ Dominion Comments at 7.
    \381\ Exelon Comments at 23-24.
    \382\ Competitive Suppliers Comments at 23.
---------------------------------------------------------------------------

    169. Dominion states that limiting the ability to submit virtual 
transactions above $1,000/MWh to physical resources with verified cost-
based incremental energy offers above $1,000/MWh in order to allow such 
resources to hedge would minimize concerns about market 
manipulation.\383\ The PJM Market Monitor responds that Dominion's 
proposal creates a significant risk of manipulation because Dominion 
does not propose to limit the virtual bids to the cost-based offer of 
the generator.\384\
---------------------------------------------------------------------------

    \383\ Dominion Comments at 7.
    \384\ PJM Market Monitor Answer at 6.
---------------------------------------------------------------------------

    170. Several other commenters argue that virtual transactions 
should be prohibited from submitting transactions above $1,000/
MWh.\385\ For example, several commenters argue that virtual 
transactions should not be permitted to exceed $1,000/MWh because 
allowing transactions in this range could raise clearing prices without 
a commensurate increase in short-run marginal production costs.\386\ 
Six Cities argues that permitting virtual transactions to submit offers 
above the $1,000/MWh cap would be inconsistent with the Commission's 
goals of allowing recovery of actual production costs in excess of the 
cap and establishing LMPs consistent with actual production costs under 
extreme market conditions.\387\ TAPS argues that the Commission does 
not need to allow virtual transactions to exceed $1,000/MWh to 
encourage price convergence between the day-ahead and real-time 
markets.\388\
---------------------------------------------------------------------------

    \385\ APPA, NRECA, and AMP Comments at 19; Industrial Customers 
Comments at 28-29; Ohio Commission Comments at 14; New Jersey 
Commission Comments at 17-18; Six Cities Comments at 3.
    \386\ Industrial Customers Comments at 28-29; New Jersey 
Commission Comments at 17-18; Six Cities Comments at 3; Ohio 
Commission Comments at 14; TAPS Comments at 20-21.
    \387\ Six Cities Comments at 4.
    \388\ TAPS Comments at 21.
---------------------------------------------------------------------------

    171. Some commenters argue, as the PJM Market Monitor does, that 
allowing virtual transactions above the $1,000/MWh cap could lead to 
undesirable consequences, such as creating the opportunity for market 
manipulation and the exercise of market power.\389\ For example, SCE 
cautions that allowing virtuals above $1,000/MWh would undermine the 
purpose of having a backstop for existing market power mitigation 
rules.\390\ APPA, NRECA, and AMP state that although they oppose the 
idea, any proposal to allow virtual transactions above $1,000/MWh must 
be accompanied by an assurance that the RTO/ISO and/or Market 
Monitoring Unit will be able to address any gaming or anti-competitive 
conduct.\391\ PG&E asks that the Commission direct market monitors to 
study the potential impacts and gaming opportunities associated with 
permitting virtual transactions above $1,000/MWh before revising any 
caps on virtual transactions.\392\ Midcontinent Joint Consumer 
Advocates state that while it generally supports applying the same 
offer cap to physical and virtual transactions, the issue should be 
monitored to ensure that inappropriate virtual transactions do not 
affect real-time energy prices.\393\ The Delaware Commission recommends 
that virtual transactions in PJM be limited to $400/MWh.\394\
---------------------------------------------------------------------------

    \389\ APPA, NRECA, and AMP Comments at 19; ODEC Comments at 1; 
KEPCo/NCEMC Comments at 5; New Jersey Commission Comments at 18; PJM 
Market Monitor Comments at 11-12; TAPS Comments at 21.
    \390\ SCE Comments at 2.
    \391\ APPA, NRECA, and AMP Comments at 19.
    \392\ PG&E Comments at 3-4.
    \393\ Midcontinent Joint Consumer Advocates Comments at 9.
    \394\ Delaware Commission Comments at 14. The Delaware 
Commission recommends that in PJM, virtual transactions and 
incremental energy offers that are not cost-based be limited to 
$400/MWh.
---------------------------------------------------------------------------

2. Determination
    172. In light of the comments received and our adoption of a 
$2,000/MWh hard cap, we find that it is just and reasonable to permit 
market participants to submit virtual transactions up to $2,000/MWh. We 
do not require that virtual transactions be subject to the cost 
verification described above. Allowing virtual transactions above 
$1,000/MWh could improve price convergence between day-ahead and real-
time markets.\395\ An offer cap that is lower for virtual transactions 
than for physical resources could increase divergence between day-ahead 
and real-time LMPs. This finding is consistent with prior Commission 
precedent, which finds it is reasonable to permit market participants 
to submit virtual transactions at levels commensurate with the levels 
that real-time LMPs can reach.\396\
---------------------------------------------------------------------------

    \395\ PJM Interconnection, L.L.C., 139 FERC ] 61,057 (2012).
    \396\ Id. PP 123-126. In that order, the Commission found that 
``if virtual traders and demand cannot submit higher bids in the 
day-ahead market [commensurate with the $/MWh value that real-time 
LMPs can reach if shortage pricing is in effect], that market may 
not converge with prices in the real-time market during times when 
PJM experiences shortage conditions in the real-time market.'' Id. P 
124.
---------------------------------------------------------------------------

    173. We find that market participants should be allowed to submit 
virtual transactions up to the hard cap, as they can today. As such, 
this Final Rule is therefore less likely to result in unintended 
consequences associated with capping virtual transactions at a level 
below the hard cap. For example, capping virtual transactions at 
$1,000/MWh when the incremental energy offers used to calculate LMPs 
are capped at $2,000/MWh could encourage some market participants to 
place virtual demand bids at $1,000/MWh, a transaction that may be 
profitable if real-time prices exceed $1,000/MWh but would not 
contribute to day-ahead and real-time price convergence.
    174. Under this Final Rule, LMPs may rise above $1,000/MWh. By 
permitting virtual transactions to exceed $1,000/MWh, we preserve a 
market participant's ability to use virtual

[[Page 87793]]

transactions to hedge its exposure to real-time LMPs above $1,000/MWh. 
Otherwise, if virtual transactions are limited to $1,000/MWh, as 
proposed in the NOPR, a market participant would be barred from placing 
virtual transactions commensurate with its market risks.
    175. We also find that allowing virtual transactions above $1,000/
MWh may add liquidity to day-ahead markets. Permitting virtual 
transactions in the $1,000/MWh--$2,000/MWh range could result in 
additional demand bids and supply offers (i.e., virtual demand bids and 
virtual supply offers) and will thus allow virtual transactions to 
continue to perform the functions that they do today by adding 
liquidity to the day-ahead market.
    176. We recognize that virtual transactions, by their nature, 
cannot be subjected to the type of cost-verification discussed above. 
However, in response to comments arguing that virtual transactions 
above $1,000/MWh will raise LMPs above verifiable costs and/or result 
in market power abuse, we note that Market Monitoring Units currently 
monitor for anti-competitive behavior by market participants. While 
they are not required to do so, if RTOs/ISOs determine that additional 
measures are necessary to address any concerns that arise from 
permitting virtual transactions up to $2,000/MWh, RTOs/ISOs may propose 
such additional measures in a separate filing under section 205 of the 
Federal Power Act.
    177. Dominion proposes to limit the ability to submit virtual 
transactions above $1,000/MWh to physical resources that have cost-
based offers above $1,000/MWh. We find that Dominion's proposal to 
limit virtual transactions to certain market participants would be 
unduly discriminatory. Such a limitation would treat market 
participants differently depending on whether they owned physical 
generation assets, and would be unduly discriminatory because it would 
limit the benefits of virtual transactions above $1,000/MWh to those 
participants with physical assets. Further, such a limitation could 
limit the other potential benefits of virtual transactions above 
$1,000/MWh, such as increased liquidity and increased convergence 
between day-ahead and real-time LMPs. Additionally, we find that the 
PJM Market Monitor's and Potomac Economics' proposals to limit virtual 
transactions above $1,000/MWh to certain time periods or certain 
locations lack sufficient detail and record evidence to make a finding 
that either proposal is just and reasonable. Finally, we clarify that 
this Final Rule does not apply to up-to-congestion transactions in PJM, 
because such transactions are spread bids and not virtual supply offers 
or virtual demand bids.

B. External Transactions

    178. In the NOPR, the Commission stated that 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 only apply to internal RTO/ISO resources.\397\ The Commission 
added, however, that it would consider RTO/ISO proposals to verify 
cost-based incremental energy offers from external transactions in 
their respective compliance filings.\398\ The Commission also sought 
comment on whether the offer cap proposal should apply to imports and 
whether a cost verification process for import transactions is 
feasible.\399\
---------------------------------------------------------------------------

    \397\ NOPR, FERC Stats. & Regs ] 32,714 at P 63.
    \398\ Id.
    \399\ Id. PP 63, 73.
---------------------------------------------------------------------------

1. Comments
    179. CAISO maintains that the consistent treatment of internal 
resources and external resources (e.g., imports) is key to an efficient 
market and to avoid unintended consequences.\400\ CAISO surmises that 
capping import offers to a level below the cap that internal resource 
incremental energy offers are subject to could reduce supply offers 
from imports during periods when natural gas prices in the West rise to 
a level that would justify LMPs above $1,000/MWh.\401\
---------------------------------------------------------------------------

    \400\ CAISO Comments at 13.
    \401\ Id.
---------------------------------------------------------------------------

    180. ISO-NE states that it cannot verify the costs associated with 
energy import transactions in real-time.\402\ ISO-NE explains that an 
importer's actual cost to import power into ISO-NE from an adjacent 
market is the adjacent market's real-time LMP, which is determined at 
the same time as ISO-NE's LMP. ISO-NE adds that, given the lack of 
organized markets in some control areas adjacent to ISO-NE., it is 
unclear how actual costs would be verified for import transactions from 
those areas. Accordingly, ISO-NE requests additional guidance from the 
Commission about the application of the proposed rule to imports and 
exports.\403\
---------------------------------------------------------------------------

    \402\ ISO-NE Comments at 9.
    \403\ Id.
---------------------------------------------------------------------------

    181. PJM asserts that non-emergency imports should be allowed to 
submit offers above $1,000/MWh to ensure that economic import 
transactions occur even when PJM LMPs exceed $1,000/MWh because such 
purchases and sales will benefit the market and provide electric 
supplies by allowing the lowest cost energy to serve customers.\404\ 
PJM adds that imports may also defer operational emergency procedures 
in extreme situations.\405\
---------------------------------------------------------------------------

    \404\ PJM/SPP Comments at 25.
    \405\ Id.
---------------------------------------------------------------------------

    182. PJM explains that under PJM's current rules, economic 
transactions are capped at the maximum energy price (absent congestion 
and losses) of $2,700/MWh while emergency import transactions are not. 
PJM states that the value of lost load may exceed this level and states 
that PJM is thus willing to pay more than $2,700/MWh to procure 
emergency energy to prevent load shedding.\406\ PJM notes that the 
verification of import's cost would have to follow a different process 
than internal resources because the resource behind the import is 
frequently unknown.\407\
---------------------------------------------------------------------------

    \406\ Id. at 26 (citing PJM, Intra-PJM Tariffs, OATT, Tariff 
Operating Agreement, Attachment K-Appendix, section 3.2.3.A).
    \407\ Id.
---------------------------------------------------------------------------

    183. SPP states that verifying the costs of imports could be 
problematic because it is difficult to obtain cost information from 
resources outside of SPP.\408\ SPP asks the Commission to allow 
regional flexibility for this issue, noting that it would investigate 
the issue further in response to any Final Rule issued in this 
proceeding.\409\
---------------------------------------------------------------------------

    \408\ Id. at 27.
    \409\ Id.
---------------------------------------------------------------------------

    184. According to the PJM Market Monitor, 99.99 percent of PJM 
imports are price takers but imports that are not price takers should 
continue to be limited to $1,000/MWh offers.\410\ Potomac Economics 
contends that external transactions should be eligible to submit offers 
above $1,000/MWh when prices in the real-time market exceed $1,000/MWh 
for more than a specified period of time (e.g., 30 minutes). Potomac 
Economics also asserts that Coordinated Transaction Schedules should be 
exempt from the proposed reforms because they reflect a forecast of the 
price spread between RTO/ISO markets and thus would not set the LMP in 
either market.\411\
---------------------------------------------------------------------------

    \410\ PJM Market Monitor Comments at 10.
    \411\ Potomac Economics Comments at 9-10.
---------------------------------------------------------------------------

    185. The SPP Market Monitor states that the proposed offer cap 
requirements should apply to imports because imports have the same 
potential impact on LMPs as internal resources. However, the SPP Market 
Monitor acknowledges that it is more challenging to verify the offers 
of

[[Page 87794]]

imports as compared to offers from internal SPP resources because the 
SPP market monitor may have limited access to the cost data of external 
resources.\412\
---------------------------------------------------------------------------

    \412\ SPP Market Monitor Comments at 11.
---------------------------------------------------------------------------

    186. Several commenters assert that imports should be able to offer 
above $1,000/MWh provided the costs in their offers are verified 
beforehand,\413\ and some commenters say it is possible to develop a 
workable solution for such verification.\414\ For example, the New 
Jersey Commission argues that imports that clear the PJM capacity 
auctions, which are pseudo-tied, will have short-run marginal 
production costs that are available for the market monitor to review, 
and should thus be permitted to offer into the PJM energy market above 
$1,000/MWh when their costs exceed $1,000/MWh.\415\ Midcontinent Joint 
Consumer Advocates explain that offers from imports are provided in the 
day-ahead market and then only scheduled in real-time, and imports 
cannot set real-time LMPs in MISO.\416\ However, Midcontinent Joint 
Consumer Advocates state that if imports are the source of higher 
prices in MISO markets, then it would be important to verify the costs 
of imports and in such cases, Midcontinent Joint Consumer Advocates 
would support verification for imports so that all suppliers are 
treated equally.\417\ The Delaware Commission supports the NOPR 
proposal to require verification of exchange transactions provided the 
process in an exporting region is not less objective or rigorous than 
the process in the importing region.\418\
---------------------------------------------------------------------------

    \413\ Delaware Commission Comments at 13; Midcontinent Joint 
Consumer Advocates Comments at 8; Ohio Commission Comments at 13; 
Six Cities Comments at 3.
    \414\ Midcontinent Joint Consumer Advocates Comments at 8; Six 
Cities Comments at 3; CEA Comments at 7-8.
    \415\ New Jersey Commission Comments at 18.
    \416\ Midcontinent Joint Consumer Advocates Comments at 8.
    \417\ Id.
    \418\ Delaware Commission Comments at 13.
---------------------------------------------------------------------------

    187. Powerex asks the Commission to consider adopting a 
verification process for external resources that is distinct from the 
process used for internal resources because the two resource types 
differ.\419\ Powerex states that verifying external resource costs is 
challenging in WECC because large hydroelectric storage facilities in 
the Pacific Northwest do not have easily calculable and verifiable 
short-run marginal costs, and because CAISO does not require that 
import offers be associated with a specific resource.\420\ As an 
alternative, Powerex suggests that the Commission could direct the 
RTOs/ISOs to implement an offer cap tied to prevailing market prices, 
such as capping offers from external resources at the higher of $1,000/
MWh or 120 percent of the highest market price index report in the 
region for the previous seven days.\421\ TAPS and APPA, NRECA, and AMP 
assert that the Commission should give individual RTOs/ISOs the 
discretion to determine whether to allow imports to submit cost-based 
incremental energy offers over $1,000/MWh.\422\
---------------------------------------------------------------------------

    \419\ Powerex Comments at 7-8.
    \420\ Id. at 8-9.
    \421\ Id. at 9.
    \422\ TAPS Comments at 19-20; APPA, NRECA, and AMP Comments at 
18-19.
---------------------------------------------------------------------------

    188. Several commenters argue that limiting external resources to 
$1,000/MWh offers may dissuade them from offering electricity to the 
RTO/ISO in periods when it is most needed.\423\ For example, CEA states 
that in light of the Commission's price formation proceeding, there is 
no compelling reason to adopt an asymmetrical offer cap for internal 
resources and imports and questions the wisdom of excluding external 
transactions when price signals indicate scarcity and extreme 
conditions.\424\ Powerex states that the Western Interconnection has a 
robust market for energy and ancillary services outside of CAISO and 
that non-CAISO resources may make the economically rational choice to 
sell power to a non-CAISO customer if CAISO has a lower offer cap 
compared to the non-CAISO WECC bilateral market.\425\
---------------------------------------------------------------------------

    \423\ NY Transmission Owners Comments at 5-6; CEA Comments at 7-
8; NY Department of State Comments at 5; Powerex Comments at 7-8.
    \424\ CEA Comments at 7-8.
    \425\ Powerex Comments at 7-8.
---------------------------------------------------------------------------

    189. NYISO and Competitive Power Providers state that all market 
transactions, including imports and virtual transactions, should be 
capped at the level of the hard cap, which will allow for a greater 
degree of competition.\426\
---------------------------------------------------------------------------

    \426\ Competitive Suppliers Comments at 23-24; NYISO Comments at 
7.
---------------------------------------------------------------------------

    190. Some commenters discussed emergency imports. For example, PJM 
Power Providers agrees with PJM that the Commission should not apply 
the proposed offer requirements to emergency imports because an offer 
cap on emergency energy or emergency load reductions would limit PJM's 
ability to procure sufficient resources and could threaten 
reliability.\427\
---------------------------------------------------------------------------

    \427\ PJM Power Providers Answer at 6-7.
---------------------------------------------------------------------------

    191. However, the PJM Market Monitor argues that emergency imports 
above $1,000/MWh should be subject to cost verification before they are 
eligible to set LMP in PJM and asserts that such imports currently have 
an unmitigated opportunity to exercise market power in PJM 
markets.\428\ The PJM Market Monitor states that the rules of 
competitive markets should apply, even during emergency 
conditions.\429\ The PJM Market Monitor adds that verifying the costs 
of emergency imports is feasible because they occur infrequently.\430\ 
PJM Market Monitor asserts that PJM/SPP offer no rationale for 
exempting emergency imports from the proposed offer cap requirements, 
which the PJM Market Monitor states are most critical during emergency 
situations.\431\
---------------------------------------------------------------------------

    \428\ PJM Market Monitor Comments at 11; PJM Market Monitor 
Answer at 2-3.
    \429\ PJM Market Monitor Answer at 2.
    \430\ PJM Market Monitor Comments at 11; PJM Market Monitor 
Answer at 3.
    \431\ PJM Market Monitor Answer at 3.
---------------------------------------------------------------------------

2. Determination
    192. We find that it is just and reasonable to permit economic 
exchange transactions (i.e., imports and exports) to offer up to the 
level of the $2,000/MWh hard cap. We do not require that import or 
export transactions above $1,000/MWh be subject to the verification 
requirement prior to the market clearing process.
    193. While in the NOPR the Commission proposed to make imports 
ineligible to offer above $1,000/MWh, i.e., to prohibit imports from 
making such offers, we now are persuaded that such a prohibition could 
discourage imports at times when they are most needed. Imports benefit 
the market because they offer additional supply and increase 
competition. A prohibition on imports above $1,000/MWh would discourage 
external resources with short-run marginal costs above $1,000/MWh from 
supplying energy to the RTO/ISO market, even though the market is 
willing to purchase that supply, and such a prohibition would thus put 
upward pressure on energy prices. We applied this rationale above in 
adopting the offer structure requirement and find that it applies 
equally to imports. Additionally, similar to the rationale outlined 
above for virtual transactions, allowing imports to offer up to $2,000/
MWh without cost verification is generally consistent with the current 
market structures in RTOs/ISOs, which typically allow imports to offer 
up to the same offer cap that internal RTO/ISO resources are subject 
to. A similar logic applies to export transactions.
    194. Further, prohibiting imports from offering above $1,000/MWh 
could result in uneconomic flows between RTOs/ISOs. For example, if the 
LMP in one

[[Page 87795]]

RTO/ISO is $1,500/MWh and an external resource would like to offer an 
import at a price of $1,400/MWh, a prohibition on import offers above 
$1,000/MWh would restrict that transaction and result in inefficient 
flows across RTO/ISO boundaries.
    195. Additionally, we will not require import offers above $1,000/
MWh be cost-verified and find that imports are not similarly situated 
to internal generation resources. Unlike incremental energy offers from 
internal resources, import offers are often not resource-specific and, 
thus, it is difficult--some commenters say impossible--to ascertain the 
underlying costs of most import offers. This approach is consistent 
with current market power mitigation measures in RTOs/ISOs that apply 
to internal resources but do not typically apply to imports.
    196. Additionally, RTO/ISO market participants can import energy 
from adjacent markets and sell that energy in the RTO/ISO energy 
market. Therefore, it is difficult for external resources in an 
adjacent market to withhold because internal RTO/ISO resources can 
import energy from that adjacent market. Additionally, provided the 
adjacent market is competitive, which is expected if the adjacent 
market is an RTO/ISO with market power mitigation, it would be 
difficult for an external resource to exercise market power in the 
importing RTO/ISO.
    197. Though it is not required, the Commission would consider 
proposals by RTOs/ISOs to verify or otherwise review the costs of 
imports or exports and/or develop additional mitigation provisions for 
import and export transactions above $1,000/MWh. Such proposals should 
be submitted in a separate filing under section 205 of the Federal 
Power Act.
    198. We clarify that this Final Rule will not apply to Coordinated 
Transactions Schedules, which are spread bids as opposed to energy 
offers. Additionally, the Final Rule will not apply to emergency 
purchases, which would go beyond the scope of this Final Rule because 
such transactions are administratively priced rather than based on 
short-run marginal cost.

VI. Other Comments

    199. The Commission also sought comment on various aspects of the 
verification process and the types of costs that should be considered 
in the verification. Specifically, the Commission sought comment on (1) 
whether the Market Monitoring Unit or RTOs/ISOs 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 (2) 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.\432\ Commenters also discussed the impact that the proposed offer 
cap reforms could have on other market constructs, such as shortage 
pricing.
---------------------------------------------------------------------------

    \432\ NOPR, FERC Stats. & Regs. ] 32,714 at P 73.
---------------------------------------------------------------------------

A. Verification Requirement Details

1. Comments
    200. Commenters express differing views on whether opportunity 
costs are legitimate costs, and if so, whether it is appropriate to 
include them within cost-based incremental energy offers. The PJM 
Market Monitor states that it currently calculates opportunity costs at 
the request of PJM members and does not need additional information 
about the details of opportunity costs.\433\ The SPP Market Monitor 
explains that SPP currently allows an opportunity cost adder above 
mitigated offers, which would still be appropriate to include if costs 
exceed $1,000/MWh.\434\
---------------------------------------------------------------------------

    \433\ PJM Market Monitor Comments at 8.
    \434\ SPP Market Monitor Comments at 10. The SPP Market Monitor 
notes that resources can use forecasted LMPs and production costs to 
estimate price-cost margins for each hour of the day to determine 
the opportunity cost component of the mitigated offer.
---------------------------------------------------------------------------

    201. Midcontinent Joint Consumer Advocates and TAPS oppose 
opportunity cost adders in the verification methodology for cost-based 
incremental energy offers above $1,000/MWh.\435\ Midcontinent Joint 
Consumer Advocates add that if the Commission finds that opportunity 
costs may be recoverable, then the Market Monitoring Unit should review 
such costs to ensure they are just and reasonable.\436\
---------------------------------------------------------------------------

    \435\ Midcontinent Joint Consumer Advocates Comments at 6-7; 
TAPS Comments at 16.
    \436\ Midcontinent Joint Consumer Advocates Comments at 6-7.
---------------------------------------------------------------------------

    202. Commenters expressed a range of opinions regarding whether it 
is appropriate to account for cost uncertainty or other risks through 
an adder in cost-based incremental energy offers above $1,000/MWh. SPP 
takes no position on the appropriateness of the adder but argues that 
the different RTOs/ISOs should be allowed to develop verification rules 
that are consistent with their existing rules, including adders.\437\ 
PJM, MISO, the PJM Market Monitor, and Potomac Economics support an 
adder of up to ten percent to account for uncertainty and risk.\438\ 
The ISO-NE Market Monitor states that the primary function of a ten 
percent adder is to provide for errors or under-estimation of a 
resource's marginal cost and contends that the Commission should not 
require such an adder unless it identifies specific and valid costs 
that are unique to days with abnormally high natural gas prices.\439\
---------------------------------------------------------------------------

    \437\ PJM/SPP Comments at 24.
    \438\ Id. at 22-23; MISO Comments at 15; PJM Market Monitor 
Comments at 9; Potomac Economics Comments at 7.
    \439\ ISO-NE Market Monitor Comments at 12
---------------------------------------------------------------------------

    203. Dominion, Exelon, ODEC, and PJM support the inclusion of a ten 
percent adder to cost-based incremental offers.\440\ Dominion and 
Exelon contend that a ten percent adder to cost-based incremental 
offers is appropriate because the adder accounts for some of the 
uncertainty that accompanies fuel cost estimation as well as dispatch 
instructions.\441\ ODEC maintains that the ten percent adder in cost-
based incremental energy offers is both justified and necessary in PJM 
and should not be removed because it accounts for the fact that some 
costs are unknown when PJM resources compute their cost-based 
incremental energy offers.\442\ APPA, NRECA, and AMP state that adders 
above cost are not necessary when a resource's costs can be accurately 
verified prior to the market clearing process.\443\
---------------------------------------------------------------------------

    \440\ Dominion Comments at 6; Exelon Comments at 20 (citing 
Testimony of Kevin A. Libby at 8-9 (Libby Test.)); ODEC Comments at 
5-6; PJM/SPP Comments at 22.
    \441\ Dominion Comments at 6; Exelon Comments at 20 (citing 
Libby Test. at 8-9).
    \442\ ODEC Comments at 6 (citing PJM 2015 Offer Cap Order, 153 
FERC ] 61,289 at P 30).
    \443\ APPA, NRECA, and AMP Comments at 17.
---------------------------------------------------------------------------

    204. However, the New Jersey Commission, Direct Energy, PG&E, TAPS, 
and Industrial Customers oppose including a ten percent adder in cost-
based incremental energy offers above $1,000/MWh.\444\ The New Jersey 
Commission argues that such an adder would simply afford the generators 
an additional ten percent margin of profit above their costs that 
consumers would fund.\445\ TAPS and Industrial Customers state that the 
ten percent adder should not be included in incremental energy offers 
above $1,000/MWh because the

[[Page 87796]]

adder does not constitute an actual cost.\446\
---------------------------------------------------------------------------

    \444\ Direct Energy Comments at 5; PG&E Comments at 3; New 
Jersey Commission Comments at 17; TAPS Comments at 16; Industrial 
Customers Comments at 25-26 (citing PJM Market Monitor Comments, 
Docket No. ER14-1144, at 2, n. 5 (filed Mar. 26, 2015)).
    \445\ New Jersey Commission Comments at 17.
    \446\ TAPS Comments at 16; Industrial Customers Comments at 25-
26 (citing PJM Market Monitor Comments, Docket No. ER14-1144, at p. 
2, n. 5 (filed Mar. 26, 2015)).
---------------------------------------------------------------------------

    205. With respect to other short-run marginal cost components, the 
Pennsylvania Commission, CAISO, and Industrial Customers argue that a 
resource's permissible short-run marginal costs should not include 
unauthorized natural gas costs and natural gas pipeline penalties.\447\ 
CAISO requests that the Commission convene a technical conference to 
discuss limitations in fuel markets and the appropriate parameters for 
determining prudently incurred costs.\448\ Industrial Customers recount 
the Commission's reasoning that allowing recovery for costs and 
penalties of unauthorized gas consumption could jeopardize gas pipeline 
and transmission system reliability, and that generators would still 
have sufficient flexibility.\449\
---------------------------------------------------------------------------

    \447\ Pennsylvania Commission Comments at 5, 10; CAISO Comments 
at 11-12; Industrial Customers Comments at 26.
    \448\ CAISO Comments at 12.
    \449\ Industrial Customers Comments at 26-27 (citing N.Y. Indep. 
Sys. Operator, Inc., 154 FERC ] 61,111, at P 1 (2016)).
---------------------------------------------------------------------------

    206. The Commission also sought comment on whether the verification 
of physical offer components is necessary.\450\ The ISO-NE Market 
Monitor states that ISO-NE's existing process to verify physical offer 
components takes significant time because such changes to physical 
offer parameters cannot be completed on the day that offers are 
due.\451\ The ISO-NE Market Monitor advises the Commission to avoid 
imposing time limitations that interfere with the ISO-NE Market 
Monitor's ability to review and verify physical parameters before-the-
fact.\452\ The PJM Market Monitor requests that the Commission clarify 
that the cost-based offers contemplated in the NOPR include the same 
limits on offer parameters as all other cost-based offers.\453\ Potomac 
Economics advises that any Final Rule not address physical parameters 
because additional verification of physical parameters is not needed, 
and the proposal only addressed incremental energy offers.\454\ 
Midcontinent Joint Consumer Advocates note that physical offer 
components such as generation minimum and maximum levels are already 
known and reviewed by the Market Monitoring Unit, and therefore, there 
is no need for additional verification of physical offer 
components.\455\
---------------------------------------------------------------------------

    \450\ NOPR, FERC Stats. & Regs. ] 32,714 at P 73.
    \451\ ISO-NE Market Monitor Comments at 10.
    \452\ Id. at 11.
    \453\ PJM Market Monitor Comments at 2-3.
    \454\ Potomac Economics Comments at 11 (citing Potomac Economics 
Post-Technical Workshop Comments. Docket No. AD14-14-000, at 5 
(filed Feb. 24, 2015)).
    \455\ Midcontinent Joint Consumer Advocates Comments at 6.
---------------------------------------------------------------------------

2. Determination
    207. Several commenters state that adders above costs should be 
included in cost-based offers to account for cost uncertainty or 
risk.\456\ While we will not require RTOs/ISOs to include such an 
adder, if an RTO/ISO chooses to retain an adder above cost or proposes 
to include a new adder above cost in cost-based incremental energy 
offers above $1,000/MWh, such adders may not exceed $100/MWh. On 
balance, we find that limiting adders above cost to $100/MWh is just 
and reasonable because as clarified above, the verification process may 
involve reviewing a resource's expected, rather than actual, costs, 
which could involve the use of imperfect information. Given that 
practical reality, we find that it is necessary to place an upper bound 
on the level of adders above cost when incremental energy offers exceed 
$1,000/MWh in order to ensure that cost-based incremental energy offers 
above $1,000/MWh reasonably and accurately reflect actual or expected 
short-run marginal cost.\457\ The Commission has previously found in 
PJM that adders above cost are unjust and unreasonable as applied to an 
after-the-fact review of documented costs because the costs are no 
longer uncertain.\458\ Applying that same reasoning here, if a resource 
receives uplift after-the-fact because that resource's cost-based 
incremental energy offer above $1,000/MWh could not be verified prior 
to the market clearing process or because its cost-based incremental 
energy offer exceeded $2,000/MWh, the uplift payments that the resource 
receives should not include any adders above costs. As noted above, 
after-the-fact uplift would be based on a resource's actual costs.\459\
---------------------------------------------------------------------------

    \456\ See supra P 203.
    \457\ The Commission notes that it previously accepted adders 
above costs in PJM that exceed $100/MWh. However, after reviewing 
the record before us in this proceeding, we find that it is just and 
reasonable to limit the adder to $100/MWh. See PJM 2015 Offer Cap 
Order, 153 FERC ] 61,289 at P 31.
    \458\ PJM 2015 Offer Cap Order, 153 FERC ] 61,289 at P 31 
(citing PJM Interconnection, L.L.C., 149 FERC ] 61,059 at P 13).
    \459\ See supra P 146.
---------------------------------------------------------------------------

    208. Based on the record before us, we will not require that 
additional information on short-run marginal cost components be 
provided to the RTO/ISO or Market Monitoring Unit. Furthermore, we will 
not prescribe the manner in which RTOs/ISOs or Market Monitoring Units 
verify cost-based incremental energy offers above $1,000/MWh. As 
indicated in the NOPR, RTOs/ISOs use different processes to develop and 
update the incremental energy offers used for mitigation and differ in 
how they define the components of cost-based incremental energy 
offers.\460\ While we are taking no action at this time on these issues 
and comments, we do not prejudge what RTOs/ISOs may file with the 
Commission in the future. Accordingly, the Final Rule will not require 
verification of physical offer parameters or financial offer components 
other than the incremental energy offer.
---------------------------------------------------------------------------

    \460\ NOPR, FERC Stats. & Regs. ] 32,714 at PP 61-62.
---------------------------------------------------------------------------

B. Impact of Offer Cap Reforms on Other Market Elements

    209. The Commission recognized in the NOPR that revising the offer 
cap may impact other RTO/ISO market elements that depend on the offer 
cap, such as shortage pricing levels or various penalty factors.\461\
---------------------------------------------------------------------------

    \461\ Id. P 72.
---------------------------------------------------------------------------

1. Comments
    210. Four RTOs/ISOs commented that RTO/ISO market elements other 
than the offer cap may need to be revised if the offer cap is revised. 
CAISO states that it will face significant implementation challenges if 
it changes its current $1,000/MWh offer cap because the administrative 
penalty prices CAISO uses in its market model to indicate that 
constraints have been relaxed, such as the power balance constraint, 
are based on the offer cap.\462\
---------------------------------------------------------------------------

    \462\ CAISO Comments at 14-17. CAISO requests that, prior to 
issuing the Final Rule, the Commission conduct a technical 
conference to better understand the challenges of implementation. 
CAISO Comments at 3, 17.
---------------------------------------------------------------------------

    211. PJM states that it would likely need to adjust shortage 
pricing rules in PJM in light of any Final Rule on offer caps.\463\ SPP 
states that it would likely need to revise its scarcity prices and 
violation relaxation limits to prevent instances in which LMPs exceed 
scarcity values.\464\ MISO states that it may need to revise its 
Operating Reserve Demand Curve, $3,500/MWh LMP cap, and Transmission 
Constraint Demand Curves if MISO's $1,000/MWh offer cap is 
revised.\465\
---------------------------------------------------------------------------

    \463\ PJM/SPP Comments at 28.
    \464\ Id. at 29.
    \465\ MISO Comments at 3-5.
---------------------------------------------------------------------------

    212. APPA, NRECA, and AMP and ODEC state that any Final Rule

[[Page 87797]]

regarding offer caps should be restricted to changing the offer cap and 
not address potentially associated issues such as scarcity 
pricing.\466\ In contrast, PG&E recommends that before allowing the 
offer cap to rise above $1,000/MWh, the Commission and the individual 
RTOs/ISOs should determine all related changes to the markets that 
would be needed to ensure that the markets would function 
properly.\467\
---------------------------------------------------------------------------

    \466\ ODEC Comments at 1; APPA, NRECA, and AMP Comments at 20-
21.
    \467\ PG&E Comments at 2.
---------------------------------------------------------------------------

2. Determination
    213. An RTO/ISO may file, pursuant to section 205 of the Federal 
Power Act, to propose modifications to shortage prices or other market 
elements that require revision in light of the offer cap reforms 
adopted in this Final Rule. However, we do not require such 
modifications to comply with this Final Rule. We find that it is not 
appropriate to determine in this Final Rule the changes that individual 
RTOs/ISOs should make to market elements that are not the subject of 
these reforms.

VII. Requests Beyond the Scope of This Proceeding

A. Comments

    214. Commenters raised issues that are not discussed above and that 
are outside the scope of this rulemaking. Several commenters argue that 
the focus of the recommendations in the NOPR is too narrow. API 
recommends that the Commission look for ways to encourage the 
appropriate integration of new technologies, including quickly ramping 
gas-fired generation technology, to meet rapidly changing grid-
conditions and allow prices in real-time markets to better reflect the 
true state of grid reliability at a given moment while addressing any 
remaining concerns of market power abuse.\468\ API further recommends 
that the Commission initiate an examination of opportunity costs and 
risk premiums, inclusive of a wider range of resources, in wholesale 
energy market offer pricing and how they may or may not be considered 
by various RTO/ISO market rules.\469\
---------------------------------------------------------------------------

    \468\ API Comments at 2-3.
    \469\ Id. at 8.
---------------------------------------------------------------------------

    215. The PJM Market Monitor argues that because gas is the only 
fuel likely to result in offers greater than $1,000/MWh, the removal of 
any cap on short run marginal cost therefore relies on the 
competitiveness of the gas markets.\470\ The PJM Market Monitor 
suggests that a reconsideration of the structure and design of the gas 
market and the potential for a gas market RTO/ISO is a longer term 
solution to address issues of transparency and market power in the gas 
market.\471\
---------------------------------------------------------------------------

    \470\ PJM Market Monitor Comments at 4.
    \471\ Id. at 6.
---------------------------------------------------------------------------

    216. The Pennsylvania Commission states that the Commission should 
direct PJM and other RTO/ISO stakeholders to develop a ``circuit 
breaker'' provision to cap energy market revenue during uncontrollable 
and sustained outage events.\472\ The Pennsylvania Commission states 
that during sustained outages, price signals in energy markets become 
irrelevant, and the main consideration is the time required to repair 
infrastructure as opposed to the economic theory behind energy 
markets.\473\ The Pennsylvania Commission also recommends that the 
Commission direct PJM to introduce some level of aggregate market power 
mitigation or impose a screen for aggregate market power in the PJM 
day-ahead and real-time markets.\474\ PJM Joint Consumer Advocates 
argue that shortage prices in PJM should be revised to represent 
customers' willingness to pay,\475\ and the Ohio Commission states that 
scarcity pricing may no longer be necessary in light of this Final 
Rule.\476\
---------------------------------------------------------------------------

    \472\ Pennsylvania Commission Comments at 5-7.
    \473\ Id. at 8.
    \474\ Id. at 13-14.
    \475\ PJM Joint Consumer Advocates Comments at 5-6.
    \476\ Ohio Commission Comments at 14-15.
---------------------------------------------------------------------------

    217. Industrial Customers argue that increases to the current 
$1,000/MWh offer cap should be explored simultaneously with the 
elimination of capacity markets, and that the Commission could act more 
methodically to explore ways to improve capacity market competitiveness 
and transparency.\477\
---------------------------------------------------------------------------

    \477\ Industrial Customers Comments at 29-30.
---------------------------------------------------------------------------

B. Determination

    218. We appreciate the concerns raised by numerous commenters 
requesting that the Commission undertake various initiatives, as set 
forth above. However, we find that the requested initiatives go beyond 
the scope of this rulemaking, which only addresses incremental energy 
offers above $1,000/MWh. Accordingly, we will not address those 
concerns here.

VIII. Information Collection Statement

    219. The Paperwork Reduction Act (PRA) \478\ 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,\479\ 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.
---------------------------------------------------------------------------

    \478\ 44 U.S.C. 3501-3520.
    \479\ 5 CFR 1320 (2016).
---------------------------------------------------------------------------

    220. In this Final Rule, we are amending the Commission's 
regulations to improve the operation of organized wholesale electric 
power markets operated by RTOs/ISOs. We require that each RTO/ISO (1) 
cap each resource's incremental energy offer at the higher of $1,000/
MWh or that resource's verified cost-based incremental energy offer; 
and (2) when calculating LMPs, RTOs/ISOs shall cap verified cost-based 
incremental energy offers at $2,000/MWh. The reforms required in this 
Final Rule would require a one-time tariff filing with the Commission 
due 75 days after the effective date of this Final Rule to implement 
these reforms. We anticipate the reforms required in this Final Rule, 
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 required in this 
Final Rule, they could demonstrate their compliance in the compliance 
filing required 75 days after the effective date of this 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.\480\
---------------------------------------------------------------------------

    \480\ 44 U.S.C. 3507(d).
---------------------------------------------------------------------------

    221. In the NOPR, the Commission sought 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 sought detailed 
comments on the potential cost and time necessary to implement aspects 
of the reforms proposed in the 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. The Commission also stated that although it did not 
expect other entities to incur

[[Page 87798]]

compliance costs as a result of the reforms proposed in the NOPR, it 
sought detailed comments on whether other entities, such as load-
serving entities, would incur costs as a result of the reforms proposed 
in the NOPR. The Commission received no comments in response to these 
questions.
    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 rule follow.\481\ 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.\482\ Software or hardware upgrades may not be 
required.
---------------------------------------------------------------------------

    \481\ The RTOs/ISOs (CAISO, ISO-NE., MISO, NYISO, PJM, and SPP) 
are required to comply with the reforms in this Final Rule.
    \482\ 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.

                                                FERC-516, as Modified by Final Rule in Docket RM16-5-000
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                Annual number
                                 Number of       of responses     Total number   Average  burden  (hours) &  Total annual  burden hours      Cost per
                                respondents    per  respondent    of responses        cost per  response         & total  annual cost    respondent  ($)
                                         (1)              (2)   (1) x (2) = (3)  (4).......................  (3) x (4) = (5)...........       (5) / (1)
--------------------------------------------------------------------------------------------------------------------------------------------------------
One-Time Tariff Filings                    6                1                6   500 hrs.; $37,000 \483\...  3,000 hrs.; $222,000......         $37,000
 (Year 1).
--------------------------------------------------------------------------------------------------------------------------------------------------------

    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 $222,000. After Year 1, the reforms in this Final 
Rule, once implemented, would not significantly change existing burdens 
on an ongoing basis.
---------------------------------------------------------------------------

    \483\ The estimated hourly cost (salary plus benefits) provided 
in this section is based on the salary figures for May 2015 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 June 2016 (available at 
http://www.bls.gov/news.release/ecec.nr0.htm). The hourly estimates 
for salary plus benefits are:
     Legal (code 23-0000), $128.94
     Computer and mathematical (code 15-0000), $60.54
     Information systems manager (code 11-3021), $91.63
     IT security analyst (code 15-1122), $63.55
     Auditing and accounting (code 13-2011), $53.78
     Information and record clerk (code 43-4199), $37.69
     Electrical Engineer (code 17-2071), $64.20
     Economist (code 19-3011), $74.43
     Management (code 11-0000), $88.94
    The average hourly cost (salary plus benefits), weighting all of 
these skill sets evenly, is $73.74. The Commission rounds it to $74 
per hour.
---------------------------------------------------------------------------

    The Commission notes that these estimates do not include costs for 
software or hardware. Software or hardware upgrades may not be 
required.
    Title: FERC-516C,\484\ Electric Rate Schedules and Tariff Filings.
---------------------------------------------------------------------------

    \484\ The RM16-5-000 Final Rule reporting requirements should be 
submitted to FERC-516 (OMB Control No. 1902-0096). Currently, that 
information collection is under review for an unrelated activity. 
The FERC-516C is a temporary information collection. The reporting 
requirements of the RM16-5-000 Final Rule are being submitted to 
FERC-516C to ensure timely submission to OMB.
---------------------------------------------------------------------------

    Action: Proposed revisions to an information collection.
    OMB Control No. 1902-0287.
    Respondents for this Rulemaking: RTOs/ISOs.
    Frequency of Information: One-time.
    Necessity of Information: The Federal Energy Regulatory Commission 
approves this rule to improve competitive wholesale electric markets in 
the RTO/ISO regions.
    Internal Review: The Commission has reviewed the 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.
    222. 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-516C and OMB Control No. 1902-
0287.

IX. Regulatory Flexibility Act Certification

    223. The Regulatory Flexibility Act of 1980 (RFA) \485\ 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.
---------------------------------------------------------------------------

    \485\ 5 U.S.C. 601-12.
---------------------------------------------------------------------------

    224. 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 $37,000, all in Year 1. This one-time cost of 
filing and implementing these changes is not significant.\486\ 
Additionally, the RTOs/ISOs are not small entities, as defined by the 
RFA.\487\ This is because the

[[Page 87799]]

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, we certify that the 
reforms in this Final Rule would not have a significant economic impact 
on a substantial number of small entities.
---------------------------------------------------------------------------

    \486\ This estimate does not include costs for software or 
increased time spent validating cost-based incremental energy 
offers. 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.
    \487\ 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.
---------------------------------------------------------------------------

X. Environmental Analysis

    225. 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.\488\ The 
Commission concludes that neither an Environmental Assessment nor an 
Environmental Impact Statement is required for this Final Rule under 
section 380.4(a)(15) of the Commission's regulations, which provides a 
categorical exemption for approval of actions under sections 205 and 
206 of the Federal Power Act 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.\489\
---------------------------------------------------------------------------

    \488\ 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).
    \489\ 18 CFR 380.4(a)(15) (2016).
---------------------------------------------------------------------------

XI. Document Availability

    226. 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.
    227. 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.
    228. 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].

XII. Effective Date and Congressional Notification

    229. These regulations are effective February 21, 2017. The 
Commission has determined, with the concurrence of the Administrator of 
the Office of Information and Regulatory Affairs of OMB, that this rule 
is not a ``major rule'' as defined in section 351 of the Small Business 
Regulatory Enforcement Fairness Act of 1996.

List of Subjects in 18 CFR Part 35

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

    By the Commission.

    Issued: November 17, 2016.
Nathaniel J. Davis, Sr.,
Deputy Secretary.
    In consideration of the foregoing, the Commission amends part 35, 
chapter I, title 18, Code of Federal Regulations, as follows:

PART 35--FILING OF RATE SCHEDULES AND TARIFFS

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

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


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


Sec.  35.28   Non-discriminatory open access transmission tariff.

* * * * *
    (g) * * *
    (9) A resource's incremental energy offer must be capped at the 
higher of $1,000/MWh or that resource's cost-based incremental energy 
offer. For the purpose of calculating Locational Marginal Prices, 
Regional Transmission Organizations and Independent System Operators 
must cap cost-based incremental energy offers at $2,000/MWh. 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 offer may not be used to calculate Locational Marginal Prices and 
the resource would be eligible for a make-whole payment if that 
resource is dispatched and the resource's costs are verified after-the-
fact. A resource would also be eligible for a make-whole payment if it 
is dispatched and its verified cost-based incremental energy offer 
exceeds $2,000/MWh. 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--List of Short Names/Acronyms of Commenters
------------------------------------------------------------------------
        Short name/acronym                        Commenter
------------------------------------------------------------------------
AEMA..............................  Advanced Energy Management Alliance.
AF&PA.............................  American Forest & Paper Association.
APPA, NRECA, and AMP..............  American Public Power Association,
                                     National Rural Electric Cooperative
                                     Association and American Municipal
                                     Power, Inc.
API...............................  American Petroleum Institute.
CAISO.............................  California Independent System
                                     Operator Corporation.
CEA...............................  Canadian Electricity Association.
Competitive Suppliers.............  Electric Power Supply Association,
                                     Independent Energy Producers
                                     Association, Independent Power
                                     Producers of New York Inc., New
                                     England Power Generators
                                     Association Inc., Western Power
                                     Trading Forum.
Delaware Commission...............  Delaware Public Service Commission.

[[Page 87800]]

 
Direct Energy.....................  Direct Energy Business, LLC, on
                                     behalf of itself and its affiliate,
                                     Direct Energy Business Marketing,
                                     LLC.
Dominion..........................  Dominion Resources Services, Inc.
EEI...............................  Edison Electric Institute.
Exelon............................  Exelon Corporation.
Golden Spread.....................  Golden Spread Electric Cooperative,
                                     Inc.
Industrial Customers..............  Electricity Consumers Resource
                                     Council, PJM Industrial Customer
                                     Coalition, Coalition of MISO
                                     Transmission Customers, American
                                     Chemistry Council, Association of
                                     Businesses Advocating Tariff
                                     Equity, Connecticut Industrial
                                     Energy Consumers, Illinois
                                     Industrial Energy Consumers,
                                     Indiana Industrial Energy
                                     Consumers, Inc., Louisiana Energy
                                     Users Group, Minnesota Large
                                     Industrial Group, Missouri
                                     Industrial Energy Consumers,
                                     Multiple Intervenors, New Jersey
                                     Large Energy Users Coalition,
                                     Wisconsin Industrial Energy Group,
                                     Inc.
Industrial Energy Consumers.......  Industrial Energy Consumers of
                                     America.
ISO-NE............................  ISO New England, Inc.
ISO-NE Market Monitor.............  ISO New England Inc. Internal Market
                                     Monitor.
IRC...............................  ISO/RTO Council.
KEPCo/NCEMC.......................  Kansas Electric Power Cooperative,
                                     Inc. and North Carolina Electric
                                     Membership Corporation.
Joseph Margolies..................  Joseph Margolies.
Midcontinent Joint Consumer         Indiana Office of Utility Consumer
 Advocates.                          Counselor, Iowa Office of Consumer
                                     Advocate, Michigan Citizens Against
                                     Rate Excess, Minnesota Department
                                     of Commerce, Minnesota Attorney
                                     General's Office.
MISO..............................  Midcontinent Independent System
                                     Operator, Inc.
NEI...............................  Nuclear Energy Institute.
NESCOE............................  New England States Committee on
                                     Electricity.
New Jersey Commission.............  New Jersey Board of Public
                                     Utilities.
NY Department of State............  New York State Department of State
                                     Utility Intervention Unit.
NYISO.............................  New York Independent System
                                     Operator, Inc.
New York Commission...............  New York State Public Service
                                     Commission.
NY Transmission Owners............  New York Transmission Owners
                                     (Central Hudson Gas & Electric
                                     Corporation, Consolidated Edison
                                     Company of New York, Inc., New York
                                     Power Authority, New York State
                                     Electric & Gas Corporation, Niagara
                                     Mohawk Power Corporation d/b/a
                                     National Grid, Orange and Rockland
                                     Utilities, Inc., Power Supply Long
                                     Island, Rochester Gas and Electric
                                     Corporation).
ODEC..............................  Old Dominion Electric Cooperative.
OMS...............................  Organization of MISO States.
OPSI..............................  Organization of PJM States, Inc.
Pennsylvania Commission...........  Pennsylvania Public Utility
                                     Commission.
PG&E..............................  Pacific Gas and Electric Company.
PJM/SPP...........................  PJM Interconnection, L.L.C. and
                                     Southwest Power Pool, Inc. (Joint
                                     Comments).
PJM Joint Consumer Advocates......  Delaware Division of the Public
                                     Advocate, Office of People's
                                     Counsel for the District of
                                     Columbia, Illinois Citizens Utility
                                     Board, Indiana Office of Utility
                                     Consumer Counselor, Kentucky Office
                                     of Rate Intervention, Office of
                                     Attorney General, Maryland Office
                                     of Peoples' Counsel, New Jersey
                                     Division of Rate Counsel,
                                     Pennsylvania Office of Consumer
                                     Advocate, Consumer Advocate
                                     Division of the Public Service
                                     Commission of West Virginia.
PJM Market Monitor................  Monitoring Analytics, LLC, acting in
                                     its capacity as the Independent
                                     Market Monitor for PJM.
PJM Power Providers...............  PJM Power Providers Group.
Potomac Economics.................  Potomac Economics, Ltd.
Powerex...........................  Powerex Corp.
Ohio Commission...................  Public Utilities Commission of Ohio.
SCE...............................  Southern California Edison Company.
Six Cities........................  Cities of Anaheim, Azusa, Banning,
                                     Colton, Pasadena, and Riverside,
                                     California.
SPP...............................  Southwest Power Pool, Inc.
SPP Market Monitor................  Southwest Power Pool, Inc. Market
                                     Monitoring Unit.
Steel Producers' Alliance.........  Steel Producers' Alliance.
TAPS..............................  Transmission Access Policy Study
                                     Group.
------------------------------------------------------------------------

[FR Doc. 2016-28320 Filed 12-2-16; 8:45 am]
 BILLING CODE 6717-01-P



                                               87770                  Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               DEPARTMENT OF ENERGY                                                       offer; and cap verified cost-based                                          FOR FURTHER INFORMATION CONTACT:
                                                                                                                          incremental energy offers at $2,000/                                        Emma Nicholson (Technical
                                               Federal Energy Regulatory                                                  MWh when calculating locational                                               Information), Office of Energy Policy
                                               Commission                                                                 marginal prices (LMP). Further, we                                            and Innovation, Federal Energy
                                                                                                                          clarify that the verification process for                                     Regulatory Commission, 888 First
                                               18 CFR Part 35                                                             cost-based incremental offers above                                           Street NE., Washington, DC 20426,
                                               [Docket No. RM16–5–000; Order No. 831]                                     $1,000/MWh should ensure that a                                               (202) 502–8846, emma.nicholson@
                                                                                                                          resource’s cost-based incremental                                             ferc.gov
                                               Offer Caps in Markets Operated by                                          energy offer reasonably reflects that                                       Pamela Quinlan (Technical
                                               Regional Transmission Organizations                                        resource’s actual or expected costs. This                                     Information), Office of Energy Market
                                               and Independent System Operators                                           Final Rule will improve price formation                                       Regulation, Federal Energy Regulatory
                                                                                                                          by reducing the likelihood that offer                                         Commission, 888 First Street NE.,
                                               AGENCY:  Federal Energy Regulatory                                         caps will suppress LMPs below the                                             Washington, DC 20426, (202) 502–
                                               Commission.                                                                marginal cost of production, while                                            6179, pamela.quinlan@ferc.gov
                                               ACTION: Final rule.                                                        compensating resources for the costs                                        Anne Marie Hirschberger (Legal
                                                                                                                          they incur to serve load, by enabling                                         Information), Office of the General
                                               SUMMARY:   The Federal Energy                                              RTOs/ISOs to dispatch the most
                                               Regulatory Commission is revising its                                                                                                                    Counsel, Federal Energy Regulatory
                                                                                                                          efficient set of resources when short-run                                     Commission, 888 First Street NE.,
                                               regulations to address incremental                                         marginal costs exceed $1,000/MWh, by
                                               energy offer caps. We require that each                                                                                                                  Washington, DC 20426, (202) 502–
                                                                                                                          encouraging resources to offer supply to                                      8387, annemarie.hirschberger@
                                               regional transmission organization                                         the market when it is most needed, and
                                               (RTO) and independent system operator                                                                                                                    ferc.gov
                                                                                                                          by reducing the potential for seams
                                               (ISO): Cap each resource’s incremental                                     issues.                                                                     SUPPLEMENTARY INFORMATION:
                                               energy offer at the higher of $1,000/
                                               megawatt-hour (MWh) or that resource’s                                     DATES:Effective Date: This rule will                                        Order No. 831
                                               verified cost-based incremental energy                                     become effective February 21, 2017.                                         Final Rule

                                                                                                                                               Table of Contents

                                                                                                                                                                                                                                                           Paragraph
                                                                                                                                                                                                                                                           numbers

                                               I. Introduction .........................................................................................................................................................................................           1
                                               II. Background .........................................................................................................................................................................................            7
                                                     A. Offer Caps in RTOs/ISOs ...........................................................................................................................................................                       10
                                                     B. Offer Caps Waivers and Tariff Changes ....................................................................................................................................                                14
                                               III. Need for Reform ................................................................................................................................................................................              15
                                                     A. Comments ...................................................................................................................................................................................              16
                                                         1. Comments That Support the Preliminary Finding That Current Offer Caps are Unjust and Unreasonable .................                                                                                   16
                                                         2. Comments that Oppose Reforming Current Offer Caps .....................................................................................................                                               20
                                                         3. Generally Applicable Offer Cap Reforms ...........................................................................................................................                                    27
                                                     B. Determination .............................................................................................................................................................................               34
                                               IV. Offer Cap Reforms ............................................................................................................................................................................                 42
                                                     A. Offer Cap Structure ....................................................................................................................................................................                  44
                                                         1. NOPR Proposal .....................................................................................................................................................................                   44
                                                         2. Comments .............................................................................................................................................................................                45
                                                         3. Determination .......................................................................................................................................................................                 77
                                                     B. Cost Verification .........................................................................................................................................................................               96
                                                         1. NOPR Proposal .....................................................................................................................................................................                   96
                                                         2. Comments .............................................................................................................................................................................                98
                                                         3. Determination .......................................................................................................................................................................                139
                                                     C. Resource Neutrality ....................................................................................................................................................................                 148
                                                         1. NOPR Proposal .....................................................................................................................................................................                  148
                                                         2. Comments .............................................................................................................................................................................               149
                                                         3. Determination .......................................................................................................................................................................                156
                                               V. Other Issues ........................................................................................................................................................................................          160
                                                     A. Virtual Transactions ...................................................................................................................................................................                 160
                                                         1. Comments .............................................................................................................................................................................               161
                                                         2. Determination .......................................................................................................................................................................                172
                                                     B. External Transactions .................................................................................................................................................................                  178
                                                         1. Comments .............................................................................................................................................................................               179
                                                         2. Determination .......................................................................................................................................................................                192
                                               VI. Other Comments ...............................................................................................................................................................................                199
                                                     A. Verification Requirement Details ..............................................................................................................................................                          200
                                                         1. Comments .............................................................................................................................................................................               200
                                                         2. Determination .......................................................................................................................................................................                207
sradovich on DSK3GMQ082PROD with RULES4




                                                     B. Impact of Offer Cap Reforms on Other Market Elements ........................................................................................................                                            209
                                                         1. Comments .............................................................................................................................................................................               210
                                                         2. Determination .......................................................................................................................................................................                213
                                               VII. Requests Beyond the Scope of this Proceeding .............................................................................................................................                                   214
                                                     A. Comments ...................................................................................................................................................................................             214
                                                     B. Determination .............................................................................................................................................................................              218
                                               VIII. Information Collection Statement .................................................................................................................................................                          219
                                               IX. Regulatory Flexibility Act Certification ..........................................................................................................................................                           223



                                          VerDate Sep<11>2014         19:31 Dec 02, 2016         Jkt 214001       PO 00000        Frm 00002       Fmt 4701       Sfmt 4700       E:\FR\FM\05DER4.SGM              05DER4


                                                                     Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                                                                        87771

                                                                                                                                           Table of Contents

                                                                                                                                                                                                                                                 Paragraph
                                                                                                                                                                                                                                                 numbers

                                               X. Environmental Analysis ....................................................................................................................................................................          225
                                               XI. Document Availability .....................................................................................................................................................................         226
                                               XII. Effective Date and Congressional Notification ..............................................................................................................................                       229
                                               Regulatory Text
                                               APPENDIX: List of Short Names/Acronyms of Commenters


                                               I. Introduction                                                         in some RTOs/ISOs may discourage                                        participants to follow commitment and
                                                  1. In this Final Rule, the Federal                                   resources with short-run marginal costs                                 dispatch instructions, make efficient
                                               Energy Regulatory Commission                                            above $1,000/MWh from offering supply                                   investments in facilities and equipment,
                                               (Commission) finds that current regional                                to the RTO/ISO, even though the market                                  and maintain reliability; (3) provide
                                               transmission organization (RTO) and                                     may be willing to purchase that supply.4                                transparency so that market participants
                                               independent system operator (ISO) offer                                 To remedy these problems, we are                                        understand how prices reflect the actual
                                               caps on incremental energy offers 1                                     setting forth requirements for each RTO/                                marginal cost of serving load and the
                                               (offer cap) are not just and reasonable                                 ISO regarding the offer cap in this Final                               operational constraints of reliably
                                               for the reasons discussed below. To                                     Rule. We believe generic action is                                      operating the system; and (4) ensure that
                                               remedy these unjust and unreasonable                                    appropriate to avoid the creation of                                    all suppliers have an opportunity to
                                               rates, we require, pursuant to section                                  seams that would result from different                                  recover their costs.5
                                               206 of the Federal Power Act,2 that each                                offer caps in adjacent RTO/ISO markets.                                    5. The reforms adopted in this Final
                                               RTO/ISO: (1) Cap each resource’s                                          3. We have modified the proposal in                                   Rule advance two of the Commission’s
                                               incremental energy offer at the higher of                               the Notice of Proposed Rulemaking                                       goals with respect to price formation.
                                               $1,000/megawatt-hour (MWh) or that                                      (NOPR) to include a $2,000/MWh hard                                     First, the reforms will result in LMPs
                                               resource’s verified cost-based                                          cap for the purposes of calculating                                     that are more likely to reflect the true
                                               incremental energy offer; and (2) cap                                   LMPs. While the offer cap proposed in                                   marginal cost of production when
                                               verified cost-based incremental energy                                  the NOPR would address the concerns                                     resources’ short-run marginal costs
                                               offers at $2,000/MWh when calculating                                   identified above, we are convinced by                                   exceed $1,000/MWh. In the short run,
                                               locational marginal prices (LMP) (hard                                  commenters that the absence of a hard                                   LMPs that reflect the short-run marginal
                                               cap).3 Further, we clarify that the                                     cap creates practical concerns that must                                costs of production are particularly
                                               verification process for cost-based                                     be addressed. First, several commenters                                 important during high price periods
                                               incremental offers above $1,000/MWh                                     note that RTOs/ISOs and/or Market                                       because they provide a signal to
                                               should ensure that a resource’s cost-                                   Monitoring Units may have imperfect                                     consumers to reduce consumption and
                                               based incremental energy offer                                          information about resource short-run                                    a signal to suppliers to increase
                                               reasonably reflects that resource’s actual                              marginal costs, which can create                                        production or to offer new supplies to
                                               or expected costs.                                                      challenges for the proposed requirement                                 the market. In the long run, LMPs that
                                                  2. We reach this conclusion for                                      to verify cost-based incremental energy                                 reflect the short-run marginal cost of
                                               several reasons. First, offer caps in some                              offers above $1,000/MWh prior to the                                    production are important because they
                                               RTOs/ISOs may prevent a resource from                                   market clearing process. Additionally,                                  inform investment decisions. Second,
                                               recouping its short-run marginal costs                                  as noted by market monitors, the                                        the reforms will give resources the
                                               by not permitting that resource to                                      dynamics of natural gas spot market                                     opportunity to recover their short-run
                                               include all of its short-run marginal                                   prices during periods when they rise to                                 marginal costs, thereby encouraging
                                               costs within its incremental energy                                     levels that could result in the short-run                               resources to participate in RTO/ISO
                                               offer. Second, current offer caps in some                               marginal costs of some natural gas-fired                                energy markets. Adequate investment in
                                               RTOs/ISOs are likely to suppress LMPs                                   resources exceeding $1,000/MWh can                                      resources and resource participation in
                                               below the marginal cost of production                                   make verification challenging,                                          RTO/ISO energy markets ensure
                                               during periods when fuel costs increase                                 particularly verification of expected                                   adequate and reliable energy for
                                               dramatically. Third, when several                                       costs. Thus, while a hard cap may                                       consumers. The benefits summarized
                                               resources have short-run marginal costs                                 diminish the ability to fully address the                               above and discussed in detail below
                                               above $1,000/MWh but are unable to                                      shortcomings of current offer caps                                      would ultimately help to ensure just
                                               reflect those costs within their                                        identified above in all circumstances,                                  and reasonable rates.
                                               incremental energy offers due to the                                    we find that, on balance, a hard cap is
                                                                                                                       necessary to reasonably limit the                                          6. As discussed below, we require
                                               offer cap, the RTO/ISO is unable to                                                                                                             each RTO/ISO to submit a filing with
                                               dispatch the most efficient set of                                      adverse impact that any imperfect
                                                                                                                       information during the verification                                     the tariff changes needed to implement
                                               resources because it will not be able to                                                                                                        this Final Rule within 75 days of the
                                               distinguish among the resources’ actual                                 process could have on LMPs.
                                                                                                                         4. The goals of the price formation                                   Final Rule’s effective date.
                                               costs. Finally, the $1,000/MWh offer cap
                                                                                                                       proceeding are to: (1) Maximize market
                                                                                                                                                                                                  5 See Price Formation in Energy and Ancillary
                                                 1 The  incremental energy offer is the portion of a                   surplus for consumers and suppliers; (2)
                                                                                                                                                                                               Services Markets Operated by Regional
                                                                                                                       provide correct incentives for market
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                                               resource’s energy supply offer that varies with                                                                                                 Transmission Organizations and Independent
                                               output or level of demand reduction.                                                                                                            System Operators, Notice Inviting Post-Technical
                                                 2 16 U.S.C. 824e (2012).                                                 4 Many resources are subject to must-offer                           Workshop Comments, Docket No. AD14–14–000, at
                                                 3 In this proceeding, a hard cap refers to an upper                   requirements in either the day-ahead or real-time                       1 (Jan. 16, 2015) (Notice Inviting Comments); Price
                                               limit on the incremental energy offers that RTOs/                       markets. These offer cap reforms ensure that such                       Formation in Energy and Ancillary Services Markets
                                               ISOs can use to calculate LMPs. The hard cap does                       a resource has an economic incentive that matches                       Operated by Regional Transmission Organizations
                                               not limit the cost-based incremental energy offers                      its tariff obligation and also provide an economic                      and Independent System Operators, Notice, Docket
                                               that a market participant may submit to the RTO/                        incentive to those resources that are not subject to                    No. AD14–14–000 (June 19, 2014) (Price Formation
                                               ISO.                                                                    a must-offer requirement.                                               Notice).



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                                               87772            Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               II. Background                                          reflections of a resource’s short-run                   are cost-based, but PJM applies a hard
                                                  7. In June 2014, the Commission                      marginal cost; (5) whether the proposal                 cap that limits incremental energy offers
                                               initiated a proceeding, in Docket No.                   should apply to imports and whether a                   to $2,000/MWh when calculating
                                               AD14–14–000, to evaluate issues                         cost verification process for import                    LMPs.11
                                               regarding price formation in the energy                 transactions is feasible; (6) whether                     13. While the current offer caps
                                               and ancillary services markets operated                 excluding virtual transactions above                    restrict the incremental energy offers,
                                               by RTOs/ISOs.6 In the notice initiating                 $1,000/MWh could limit hedging                          one of the components used to set LMP,
                                               that proceeding, the Commission stated                  opportunities, present opportunities for                they do not limit LMPs to the level of
                                               that there may be opportunities for the                 manipulation or gaming, or create                       the offer caps because the addition of
                                               RTOs/ISOs to improve the energy and                     market inefficiencies; and (7) the impact               the congestion and loss components of
                                               ancillary services price formation                      the proposal would have on seams.9                      the LMP can result in LMPs that exceed
                                               process. As set forth in that notice,                                                                           the offer cap. Scarcity or shortage
                                                                                                       A. Offer Caps in RTOs/ISOs                              pricing and emergency purchases can
                                               LMPs and market-clearing prices used
                                                                                                          10. Supply offers in day-ahead and                   also cause LMPs to exceed the offer cap.
                                               in energy and ancillary services markets
                                                                                                       real-time energy markets consist of both
                                               ideally ‘‘would reflect the true marginal                                                                       B. Offer Caps Waivers and Tariff
                                                                                                       financial and physical components. The
                                               cost of production, taking into account                                                                         Changes
                                                                                                       financial components of a supply offer
                                               all physical system constraints, and                                                                               14. As described in the NOPR, after
                                                                                                       are denominated in dollars (e.g., $/start
                                               these prices would fully compensate all                                                                         the extreme weather experienced during
                                               resources for the variable cost of                      and $/MWh) and represent the costs
                                                                                                       underlying a resource’s offer to supply                 the winter of 2013/14, dubbed the
                                               providing service.’’ 7                                                                                          ‘‘Polar Vortex’’, PJM, NYISO, and MISO
                                                  8. In the instant proceeding, on                     electricity in a given day-ahead or real-
                                                                                                       time interval. The physical components                  filed various requests to either
                                               January 21, 2016, the Commission
                                                                                                       of a supply offer, which are not                        temporarily or permanently revise their
                                               issued a NOPR proposing to require that
                                                                                                       denominated in dollars, describe the                    respective offer caps.12 During the
                                               each RTO/ISO: (1) Cap each resource’s
                                                                                                       resource’s physical operating                           winter months of 2014, the Commission
                                               incremental energy offer to the higher of
                                                                                                       parameters. These include, for example,                 approved requests to temporarily waive
                                               $1,000/MWh or that resource’s verified
                                                                                                       a resource’s minimum and maximum                        tariff provisions related to offer caps in
                                               cost-based incremental energy offer; and
                                                                                                       operating limits in a given day-ahead or                NYISO 13 and PJM.14 In the following
                                               (2) use verified cost-based incremental
                                                                                                       real-time interval, and are denominated                 winter of 2014/15, the Commission
                                               energy offers above $1,000/MWh to
                                                                                                       in MW, MWh, time, or some other unit.                   approved temporary changes to the PJM
                                               calculate LMPs.8
                                                  9. The Commission also sought                           11. This Final Rule addresses the                    tariff and temporarily waived some
                                               comments on the NOPR proposal                           incremental energy offer component of                   MISO tariff provisions to address issues
                                               regarding: (1) Whether a hard cap on                    a resource’s supply offer, which is a                   with the offer caps in the PJM and MISO
                                               cost-based incremental energy offers                    financial component consisting of costs                 energy markets.15 During the winter of
                                               used for purposes of calculating LMPs                   that vary with a resource’s output or                   2015/16, PJM and MISO again filed
                                               should be included in any Final Rule in                 level of demand reduction. Incremental                  requests to modify their respective offer
                                               this proceeding and, if so, whether the                 energy offers typically consist of a                    caps. On December 11, 2015, the
                                               hard cap should equal $2,000/MWh or                     supply curve made up of multiple price-                 Commission accepted tariff revisions in
                                               another value; (2) the ability of the                   quantity pairs that indicate the price,                 PJM that would raise the cap on cost-
                                               Market Monitoring Unit or RTO/ISO to                    expressed in $/MWh, that a resource is                  based incremental energy offers to
                                               verify the costs underlying incremental                 willing to accept to produce a given                    $2,000/MWh for purposes of calculating
                                               energy offers above $1,000/MWh prior                    quantity of energy.
                                                                                                                                                                  11 PJM Interconnection, L.L.C., 153 FERC ¶
                                               to the day-ahead or real-time market                       12. All six Commission-jurisdictional
                                                                                                                                                               61,289, at P 25 (2015) (PJM 2015 Offer Cap Order).
                                               clearing process, including whether the                 RTOs/ISOs have at one time imposed a                       12 NOPR, FERC Stats. & Regs ¶ 32,714 at PP 13–

                                               verification of physical offer                          $1,000/MWh cap on incremental energy                    17.
                                               components is also necessary; (3)                       offers.10 The offer cap remains at                         13 N.Y. Indep. Sys. Operator, Inc., 146 FERC ¶

                                               whether the Market Monitoring Unit or                   $1,000/MWh in CAISO, ISO–NE., MISO,                     61,061, at PP 2–4 (2014).
                                                                                                                                                                  14 PJM filed concurrently two tariff waiver
                                               RTO/ISO may need additional                             NYISO, and SPP, and resources in these
                                                                                                                                                               requests related to its offer cap. In its first request,
                                               information to ensure that all short-run                RTOs/ISOs may not submit incremental                    which the Commission granted for the January 24–
                                               marginal cost components, such as risk                  energy offers above $1,000/MWh. As                      February 10, 2014 period, PJM requested that
                                               or opportunity costs that are often                     discussed further below, resources in                   certain resources with cost-based offers above
                                                                                                       PJM may submit incremental energy                       $1,000/MWh receive uplift payments to recoup
                                               difficult to quantify, are accurately                                                                           those costs. See PJM Interconnection, L.L.C., 146
                                               reflected in a resource’s cost-based                    offers above $1,000/MWh provided they                   FERC ¶ 61,041, at P 2 (PJM 2014 Waiver Order I),
                                               incremental energy offer, and whether                                                                           order on reh’g, 149 FERC ¶ 61,059 (2014). In its
                                                                                                         9 Id. P 73.                                           second request, which the Commission granted for
                                               an adder is appropriate; (4) whether the
                                               Market Monitoring Unit or RTO/ISO                         10 See, e.g., California Independent System           the February 11–March 31, 2014 period, PJM
                                                                                                       Operator Corporation, eTariff, 39.6.1.1 (11.0.0); ISO   requested that certain resources be allowed to
                                               may need additional information or the                  New England Inc., Transmission, Markets and             submit cost-based incremental energy offers in
                                               authority to require revisions or                       Services Tariff, Market Rule 1, III.1.10.1A(c)(iv),     excess of $1,000/MWh, with no cap on cost-based
                                               corrections to cost-based incremental                   III,1.10.IA(d)(iv), III.2.6(b)(i), and III.A.15.1(b)    offers. See PJM Interconnection, L.L.C., 146 FERC ¶
                                               energy offers to ensure that cost-based                 (46.0.0); Midcontinent Independent System               61,078, at PP 3–4 (2014) (PJM 2014 Offer Cap Order
                                                                                                       Operator, Inc., FERC Electric Tariff, Module D          II).
                                               incremental energy offers are accurate                  39.2.5 (35.0.0), 39.2.5A (34.0.0), 39.2.5B (34.0.0),       15 The temporary revisions to the PJM tariff were
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                                                                                                       40.2.5 (35.0.0), 40.2.6 (35.0.0) and 40.2.7 (33.0.0);   accepted for the January 16, 2015 through March
                                                 6 Price Formation Notice, Docket No. AD14–14–
                                                                                                       New York Independent System Operator, Inc.,             31, 2015 period. See PJM Interconnection, L.L.C.,
                                               000.                                                    NYISO Tariffs, NYISO Markets and Services Tariff,       150 FERC ¶ 61,020, at P 5 (2015) (PJM 2014/15
                                                 7 Price Formation Notice, Docket No. AD14–14–         21.4 and 21.5.1 (7.0.0); PJM Interconnection, L.L.C.,   Offer Cap Order). The temporary waiver of the
                                               000 at 2.                                               Intra-PJM Tariffs, OATT, Tariff Operating               MISO tariff provisions was granted for December
                                                 8 Offer Caps in Markets Operated by Regional          Agreement, Attachment K, Appendix, 1.10.1A(d)           20, 2014 through April 30, 2015 period. See
                                               Transmission Organizations and Independent              (24.0.0); Southwest Power Pool, Inc., OATT, Sixth       Midcontinent Indep. Sys. Operator, Inc., 150 FERC
                                               System Operators, 81 FR 5951 (Feb. 4, 2016), FERC       Revised Volume No. 1, Attachment AE, Section            ¶ 61,083, at P 3 (2015) (MISO 2014/15 Offer Cap
                                               Stats. & Regs. ¶ 32,714, at P 3 (2016) (NOPR).          4.1.1 (2.0.0).                                          Order).



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                                                                 Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                                 87773

                                               LMPs.16 The Commission also granted                       unjust and unreasonable,22 and others                   because artificially suppressing day-
                                               MISO’s request to temporarily waive                       express general or conditional support                  ahead or real-time LMPs during those
                                               tariff provisions related to its $1,000/                  for the NOPR.23 Some commenters agree                   few intervals can prevent economic
                                               MWh offer cap.17 MISO recently filed                      that the $1,000/MWh offer cap prevents                  outcomes that will support reliability
                                               another request to temporarily waive                      resources from recovering their short-                  and motivate consumers to reduce
                                               tariff provisions related to its offer cap                run marginal costs.24 For example,                      consumption during stressed system
                                               for the upcoming winter of 2016/17.18                     Direct Energy states that generator cost                conditions.30 Midcontinent Joint
                                                                                                         assurance is key to maintaining                         Consumer Advocates support changing
                                               III. Need for Reform                                      reliability because it ensures that                     the offer cap because incremental
                                                  15. In the NOPR, the Commission                        resources will have the incentive to                    energy costs would only exceed $1,000/
                                               preliminarily found that the $1,000/                      follow RTO/ISO dispatch instructions                    MWh in extreme conditions.31
                                               MWh offer caps currently in effect in                     when called upon by the RTO/ISO,                           18. Other commenters agree with the
                                               some RTOs/ISOs 19 are unjust and                          without concern for receiving                           Commission’s preliminary finding that
                                               unreasonable for four reasons.20 First,                   compensation below their short-run                      the $1,000/MWh offer cap should be
                                               some current RTO/ISO offer caps may                       costs.25 Six Cities states that exceptional             reformed because it can discourage a
                                               prevent a resource from recouping its                     circumstances may give rise to marginal                 resource with costs above the offer cap
                                               short-run marginal costs by not                           costs for specific resources that exceed                from offering its supply to the RTO/ISO,
                                               permitting that resource to reflect its                   $1,000/MWh and those resources                          even though the market may be willing
                                               short-run marginal costs within its                       should have an opportunity to recover                   to purchase that supply.32 For example,
                                               incremental energy offer. Second,                         their actual costs of production.26                     OMS states that when the (primarily
                                               current offer caps may suppress LMPs                        17. Several commenters support the                    fuel) cost to generate electricity is
                                               below the marginal cost of production.                    Commission’s preliminary finding that                   unusually high, the current $1,000/
                                               Third, when several resources have                        existing RTO/ISO offer caps should be                   MWh offer cap can limit the willingness
                                               short-run marginal costs above $1,000/                    reformed because they can suppress                      of resources to offer into the day-ahead
                                               MWh but are unable to reflect those                       LMPs below the marginal cost of                         and real-time markets.33
                                               costs within their incremental energy                     production.27 For example, PJM/SPP 28                      19. CEA and EEI express general
                                               offers due to the offer cap, the RTO/ISO                  state that the current offer caps could                 support for the Commission’s
                                               may not dispatch the most efficient set                   undermine market efficiency by                          preliminary finding in the NOPR that
                                               of resources because it will not be able                  preventing legitimate incremental                       current offer caps could also prevent the
                                               to distinguish between the resources’                     energy offers above $1,000/MWh, which                   RTO/ISO from dispatching the most
                                               actual costs. Finally, the $1,000/MWh                     they state has occurred in some parts of                efficient set of resources because the
                                               offer cap in some RTOs/ISOs may                           the country, because LMPs that fail to                  RTO/ISO will not have access to the
                                               discourage resources with short-run                       reflect the cost of serving demand are                  underlying costs associated with the
                                               marginal costs above $1,000/MWh from                      inefficient.29 Competitive Suppliers                    multiple incremental energy offers
                                               offering supply to the RTO/ISO, even                      assert that while the costs of the                      above the offer cap.34
                                               though the market may be willing to                       marginal resources have not frequently
                                                                                                         exceeded $1,000/MWh, the impact of                      2. Comments That Oppose Reforming
                                               purchase that supply.21 We believe                                                                                Current Offer Caps
                                               generic action is appropriate to avoid                    the $1,000/MWh offer cap is not trivial
                                               the creation of seams that would result                                                                              20. Several commenters disagree with
                                               from different offer caps in adjacent
                                                                                                            22 See generally CEA Comments at 3–4; Direct         the Commission’s finding that the
                                                                                                         Energy Comments at 2–3; Exelon Comments at 5–           current offer cap is unjust and
                                               RTO/ISO markets. As described below,                      7; PJM/SPP Comments at 1–2; EEI Comments at 3–
                                               based on our analysis of the record, we                   4; Competitive Suppliers Comments at 4, 6, 7–15;
                                                                                                                                                                 unreasonable and therefore should be
                                               adopt the preliminary findings in the                     Ohio Commission Comments at 4. A list of                reformed. For example, CAISO argues
                                               NOPR and conclude that the current                        commenters and the abbreviated names used for           that the current $1,000/MWh offer cap
                                                                                                         them in this Final Rule appears in the Appendix.        in CAISO should not be changed
                                               offer caps in RTOs/ISOs are unjust and                       23 See generally Dominion Comments at 3; EEI
                                               unreasonable.                                                                                                     because $1,000/MWh is far in excess of
                                                                                                         Comments at 3–5; Golden Spread Comments at 1;
                                                                                                         Midcontinent Joint Consumer Advocates Comments          what the highest reasonable cost-
                                               A. Comments                                               at 2; MISO Comments at 1; NESCOE Comments at            justified offer could be from a CAISO
                                                                                                         1; New Jersey Commission Comments at 1; NY              resource.35 CAISO explains that natural
                                               1. Comments That Support the                              Transmission Owners Comments at 2; NYISO
                                               Preliminary Finding That Current Offer                                                                            gas prices have generally been stable,
                                                                                                         Comments at 2; OMS Comments at 2; OPSI
                                               Caps are Unjust and Unreasonable                          Comments at 10; PJM/SPP Comments at 1; Potomac          and argues that even if natural gas
                                                                                                         Economics Comments at 1; Powerex Comments at            market fundamentals changed, periods
                                                 16. Several commenters, for various                     6; Six Cities Comments at 2.                            when incremental energy costs exceed
                                               reasons, support the Commission’s                            24 CEA Comments at 4; Direct Energy Comments
                                                                                                                                                                 $1,000/MWh would be infrequent and
                                               preliminary finding in the NOPR that                      at 2–3; OMS Comments at 2; Six Cities Comments
                                                                                                         at 2.
                                                                                                                                                                 short-lived and do not justify the offer
                                               existing offer caps in RTOs/ISOs are                         25 Direct Energy Comments at 2.                      cap changes proposed in the NOPR.36
                                                                                                            26 Six Cities Comments at 2.                         ISO–NE does not oppose raising its
                                                  16 PJM 2015 Offer Cap Order, 153 FERC ¶ 61,289
                                                                                                            27 See generally CEA Comments at 3–4;                current offer cap to a higher fixed level,
                                               at P 25. The tariff provisions related to the offer cap
                                               do not have a sunset date.
                                                                                                         Competitive Suppliers Comments at 9–13; Exelon          but nonetheless maintains that the
                                                                                                         Comments at 5–7; EEI Comments at 3–5; PJM Power
                                                  17 Midcontinent Indep. Sys. Operator, Inc., 154
                                                                                                         Providers Comments at 1–2; PJM/SPP Comments at            30 Competitive
                                               FERC ¶ 61,006, at P 1 (2016) (MISO 2015/16 Offer                                                                                    Suppliers Comments at 9.
                                                                                                         1–2; Powerex Comments at 6.                               31 Midcontinent  Joint Consumer Advocates
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                                               Cap Order). This waiver was granted for the January          28 ‘‘PJM/SPP’’ indicates comments filed jointly by
                                               1, 2016 through April 30, 2016 period.                                                                            Comments at 3–4.
                                                                                                         PJM and SPP. PJM and SPP also make individual             32 See generally CEA Comments at 3–4;
                                                  18 Midcontinent Indep. Sys. Operator, Inc.,
                                                                                                         comments within their joint filing.
                                               Transmittal, Docket No. ER16–2685–000.                       29 PJM/SPP Comments at 1–2 (citing PJM,              Competitive Suppliers Comments at 13; OMS
                                                  19 Specifically CAISO, ISO–NE., MISO, NYISO,                                                                   Comments at 2; Powerex Comments at 6.
                                                                                                         Analysis of Operational Events and Market Impacts         33 OMS Comments at 2.
                                               and SPP. See supra n.10.                                  During the January 2014 Cold Weather Events (May
                                                  20 See NOPR, FERC Stats. & Regs. ¶ 32,714 at PP                                                                  34 CEA Comments at 2–3; EEI Comments at 3–4.
                                                                                                         8, 2014), available at http://www.pjm.com/∼/media/
                                               43–47.                                                    committeesgroups/task-forces/cstf/20140509/               35 CAISO Comments at 4.
                                                  21 Id. PP 44–47.                                       20140509-item-02-cold-weather-report.ashx).               36 Id. at 4–5.




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                                               87774            Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               current $1,000/MWh offer cap in ISO–                    above $1,000/MWh do not send a useful                 spikes have limited value in sustaining
                                               NE is just and reasonable because the                   price signal to consumers,44 and may in               resource viability or inducing
                                               cap has not inappropriately limited                     fact harm consumers because most                      consumers to make long term behavioral
                                               LMPs below the marginal cost.37                         demand for electricity is inelastic, or               changes.55 Similarly, TAPS argues that
                                                  21. The ISO–NE and SPP Market                        unresponsive to price changes.45 These                allowing offers above $1,000/MWh to
                                               Monitors assert that there is no need to                commenters argue that, because most                   set the LMP would not have a practical
                                               reform the offer caps in their markets.                 demand is inelastic, raising the offer cap            impact on resource investment
                                               The ISO–NE Market Monitor states that                   would lead to market power abuses and                 decisions because, even if the offer cap
                                               there is no need to revise ISO–NE’s                     transfer payments from load to                        were raised, the LMP would remain the
                                               $1,000/MWh offer cap because natural                    generators.46 For example, Industrial                 same in the vast majority of hours.
                                               gas prices have become more stable and,                 Customers argue that resources can take               TAPS adds that no resource owner
                                               if completed, proposed pipeline                         advantage of inelastic demand and                     would base its capital investments on
                                               expansions in New England will help                     exercise market power to obtain prices                the hope that LMPs will be extremely
                                               alleviate some of the natural gas                       above competitive levels.47 The New                   high for just a few hours every year.56
                                               congestion that led to the high LMPs                    York Commission argues that without                     26. Some commenters argue that offer
                                               observed in ISO–NE in 2014.38 The SPP                   sufficient competition, including from                cap waivers are the best remedy to
                                               Market Monitor states that SPP                          demand response, raising the offer cap                address issues associated with the offer
                                               resources have not experienced costs                    will not change behavior in NYISO and                 cap.57 For example, Industrial Energy
                                               above $1,000/MWh and the SPP Market                     will only increase prices and burden                  Consumers state that the Commission
                                               Monitor expects that fuel price spikes                  ratepayers.48 The New York                            adequately addressed the isolated Polar
                                               that would raise costs to that level                    Commission asserts that the                           Vortex event by granting either
                                               would rarely occur.39                                   Commission should not revise the offer                temporary, limited waivers, or uplift
                                                  22. A number of commenters argue,                    cap until more effective demand                       payments, thereby sending the correct
                                               for various reasons, that current RTO/                  response resources can participate in                 price signal for investment.58 AF&PA
                                               ISO offer caps should not be revised.40                 NYISO’s real-time energy market.49                    supports current Commission protocols
                                               For example, several commenters assert                     24. Many commenters argue that the                 of waivers and other reforms that allow
                                               that revising the offer cap is an                       current offer caps in RTOs/ISOs should                generators to recover verifiable costs in
                                               overreaction to anomalous, infrequent,                  be maintained because they protect                    certain situations, and supports the
                                               and/or transitory market and weather                    consumers from excessive LMPs that                    expansion and streamlining of these
                                               conditions that do not justify changing                 result from market power abuse.50 For                 protocols.59
                                               the offer cap. Steel Producers’ Alliance                example, NY Department of State argues
                                               observes that the current offer cap has                                                                       3. Generally Applicable Offer Cap
                                                                                                       that the offer cap benefits consumers by
                                               only been an issue in a handful of                                                                            Reforms
                                                                                                       shielding customers from high real-time
                                               instances, which it argues demonstrates                 LMPs or market manipulation.51                           27. In addition to the four preliminary
                                               that the offer cap is set at the                        Similarly, TAPS states that the current               findings stated above,60 the Commission
                                               appropriate level and performing as                     offer caps act as a critical safety valve             also stated in the NOPR that the lack of
                                               intended.41 APPA, NRECA, and AMP                        to protect consumers from excessive                   a uniform offer cap has the potential to
                                               assert that the offer cap issues described              prices.52 Industrial Customers assert                 exacerbate seams issues between
                                               in the NOPR are merely hypothetical,                    that increasing the offer cap above                   neighboring RTOs/ISOs.61 The
                                               and that there is insufficient evidence                 $1,000/MWh would raise consumers’                     Commission recognized in the NOPR
                                               that current offer caps are unjust and                  costs to hedge electricity                            that the proposed reforms could result
                                               unreasonable.42                                         procurements.53 Industrial Energy                     in neighboring markets having different
                                                  23. Some commenters disagree with                    Consumers stress that offer caps are                  effective offer caps in a given interval
                                               the NOPR’s preliminary finding that                     essential for consumers to be confident               because the marginal cost of production
                                               offer caps are unjust and unreasonable                  that rate structures are fair and                     in one RTO/ISO may differ from
                                               because they can suppress LMPs below                    nondiscriminatory.54                                  neighboring markets due to resources
                                               the marginal cost of production. For                       25. Some commenters argue that                     with different short-run marginal costs
                                               example, ODEC argues that a higher cap                  current offer caps do not suppress LMPs               being on the margin in those markets.62
                                               is unnecessary because LMPs are lower                   in a manner that impacts resource                     The Commission preliminarily found,
                                               in PJM than they were when PJM’s                        investment decisions. AF&PA asserts                   however, that these differences will not
                                               current higher offer cap was adopted.43                 that periodic and unpredictable price                 adversely affect seams because the
                                               Other commenters argue that LMPs                                                                              differences would be driven by actual
                                                                                                         44 NY Department of State Comments at 3; New
                                                                                                                                                             costs and not by offer caps artificially
                                                 37 ISO–NE    Comments at 1–3.                         York Commission Comments at 5–6.                      suppressing LMPs. The Commission
                                                  38 ISO–NE Market Monitor Comments at 12–14             45 AF&PA Comments at 2–3; Industrial Energy

                                                                                                       Consumers Comments at 2; Industrial Customers
                                                                                                                                                             stated that, to the extent incremental
                                               (citing ISO–NE Market Rule 1, Appendix A, Section
                                               III.A.15).                                              Comments at 10; PJM Joint Consumer Advocates          energy offers can be verified, a reform
                                                  39 SPP Market Monitor Comments at 8–9.               Comments at 4; TAPS Comments at 6, 12.                applicable to all RTOs/ISOs that allows
                                                                                                         46 Direct Energy Comments at 3–5; Industrial
                                                  40 See generally APPA, NRECA, and AMP                                                                      cost-based incremental energy offers to
                                                                                                       Customers Comments at 10; NY Department of State
                                               Comments at 5–8; AF&PA Comments at 2–3; CAISO
                                                                                                       Comments at 3; TAPS Comments at 3.
                                                                                                                                                             exceed $1,000/MWh would enhance
                                               Comments at 2; Industrial Customers Comments at           47 Industrial Customers Comments at 10.
                                               3–9; Industrial Energy Consumers Comments at 2;                                                                 55 AF&PA
                                                                                                         48 New York Commission Comments at 5–6.                           Comments at 2–3.
                                               ISO–NE Market Monitor Comments at 12–14; NY                                                                     56 TAPS   Comments at 6–7.
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                                                                                                         49 New York Commission Comments at 6.
                                               Department of State Comments at 3–5; NYPSC
                                                                                                         50 Industrial Customers Comments at 3, 10–11;         57 AF&PA Comments at 6–7; Industrial Energy
                                               Comments at 1, 4; Steel Producers’ Alliance
                                               Comments at 2–3; ODEC Comments at 3–5; PG&E             Industrial Energy Consumers Comments at 2; TAPS       Consumers Comments at 2; Steel Producers’
                                               Comments at 1–2; PJM Joint Consumer Advocates           Comments at 1, 8–12, NY Department of State           Alliance Comments at 2–3.
                                                                                                       Comments at 4.                                          58 Industrial Energy Consumers Comments at 2.
                                               Comments at 2–4; SPP Market Monitor Comments
                                               at 2, 6, 12–13; TAPS Comments at 1, 4–7.                  51 NY Department of State Comments at 4.              59 AF&PA Comments at 6.
                                                  41 Steel Producers’ Alliance Comments at 2.            52 TAPS Comments at 1.                                60 See supra P 2.
                                                  42 APPA, NRECA, and AMP Comments at 9–13.              53 Industrial Customers Comments at 20.               61 NOPR, FERC Stats. & Regs. ¶ 32,714 at P 70.
                                                  43 ODEC Comments at 3–4.                               54 Industrial Energy Consumers Comments at 2.         62 Id. P 71.




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                                                                Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                                   87775

                                               market efficiency and mitigate the                      that, in instituting the existing offer cap           recognizing and accommodating
                                               potential for seams issues.63 The                       in WECC, the Commission recognized                    regional differences.82 APPA, NRECA,
                                               Commission sought comment on these                      the interdependency between CAISO                     and AMP state that a concern over
                                               preliminary findings and other seams                    and WECC and therefore stated that it                 seams is not adequate justification for
                                               issues related to this proposal.                        would be unjust and unreasonable to                   the rule because it fails to account for
                                                  28. The majority of commenters agree                 have different offer caps in these two                regional differences, and because the
                                               with the NOPR’s proposal to make a                      regions.73 CAISO further asserts that for             Commission determined that the need
                                               change in the offer cap across all RTOs/                those RTOs/ISOs, such as CAISO, that                  for an increase in the offer cap
                                               ISOs in order to avoid seams issues,64                  do not share a seam with another RTO/                 outweighed seams issues when it
                                               and several commenters generally agree                  ISO, the Final Rule should allow these                approved PJM’s $2,000/MWh offer
                                               with the importance of mitigating seams                 RTOs/ISOs to demonstrate that raising                 cap.83
                                               issues.65 For example, the IRC notes the                the offer cap is unnecessary.74
                                               importance of uniformity in the                                                                               B. Determination
                                                                                                          31. Some market participants support
                                               treatment of offer caps, particularly in                the NOPR’s applicability to all RTOs/                    34. Based on our analysis of the
                                               neighboring RTOs/ISOs.66 NYISO                          ISOs in theory, but argue that the effect             record, we adopt the preliminary
                                               supports a uniform RTO/ISO offer cap                    on seams would depend on                              findings in the NOPR, and conclude that
                                               and argues that, in areas with a common                 implementation. The Delaware                          the offer caps currently in effect in
                                               fuel source, differing offer caps in                    Commission cautions that the degree to                RTOs/ISOs are unjust and unreasonable.
                                               neighboring regions could lead to                       which the verification of cost-based                  We find that the currently effective offer
                                               restricted fuel procurement in the region               offers above $1,000/MWh is sufficiently               caps may prevent a resource from
                                               with the lower offer cap.67 MISO asserts                rigorous will determine the effect on                 recovering its short-run marginal costs,
                                               that without a common offer cap, tight                  seams and that this will not be known                 which could result in that resource
                                               operating conditions could provide                      until implementation.75 ISO–NE agrees                 operating at a loss.84 We also find that
                                               counterproductive arbitrage                             that consistent energy offer caps are                 the $1,000/MWh offer caps in effect in
                                               opportunities.68 The ISO–NE Market                      important to prevent flows that run                   some RTOs/ISOs may suppress LMPs
                                               Monitor notes that different offer caps in              contrary to reliability needs, but argues             below the marginal cost of production
                                               neighboring regions could be                            that the NOPR’s actual effect on seams                given that recent history demonstrates
                                               detrimental to ISO–NE’s ongoing efforts                 is unknown because real-time cost                     that resource short-run marginal costs
                                               to develop a clearing mechanism to                      verification for imports is not possible.76           can exceed $1,000/MWh.85 We also find
                                               select external resources in economic                   PJM Joint Consumer Advocates argue                    that preventing resources from
                                               merit order.69                                          that the Commission’s proposal could                  including all of their short-run marginal
                                                  29. The PJM Market Monitor states                    exacerbate seams because shortage                     costs in their incremental energy offers
                                               that the proposal’s impact on seams                     pricing mechanisms vary across RTOs/                  when those costs exceed $1,000/MWh
                                               would be consistent with efficient                      ISOs.77 Industrial Energy Consumers                   may discourage resources that are not
                                               markets whereby energy would flow to                                                                          subject to must-offer requirements from
                                                                                                       note that allowing different offer caps in
                                               where it is valued most.70 EEI argues                                                                         offering their supply to the RTO/ISO
                                                                                                       adjacent markets could create seams
                                               that the actual effect of the NOPR on                                                                         energy market. Finally, preventing
                                                                                                       issues.78
                                               seams would be determined by market                        32. Other commenters argue that there              resources from including their short-run
                                               forces and the marginal cost to operate                                                                       marginal costs in their incremental
                                                                                                       should be regional flexibility in
                                               the system.71                                                                                                 energy offers when those costs exceed
                                                                                                       implementing an offer cap. PG&E argues
                                                  30. With respect to the Western                                                                            $1,000/MWh may also prevent the RTO/
                                                                                                       that a one-size-fits-all solution for all
                                               Electricity Coordinating Council                                                                              ISO from dispatching the most efficient
                                                                                                       RTO/ISO markets is not appropriate.79
                                               (WECC), CAISO and Exelon argue that                                                                           resources when several resources have
                                                                                                       As noted above, the NY Transmission
                                               the Commission must address how it                                                                            short-run marginal costs above $1,000/
                                                                                                       Owners suggest that different hard caps
                                               will ensure consistency between the                                                                           MWh.
                                               proposed offer cap in CAISO and the                     in different regions might be justified, so              35. We disagree with commenters
                                               existing $1,000/MWh offer cap in                        long as regions that are dependent on                 who argue that there is no need to
                                               WECC.72 CAISO and Exelon observe                        the same gas supply coordinate their                  reform the offer cap or that the problems
                                                                                                       caps.80 Direct Energy supports the                    described in the NOPR are hypothetical
                                                 63 Id. P 48.
                                                                                                       NOPR’s proposal for verified cost-based               and that insufficient evidence exists to
                                                 64 See  generally Dominion Comments at 8;             offers above $1,000/MWh, but argues
                                               Competitive Suppliers Comments at 23, 25; EEI           that individual RTOs/ISOs should be                     82 APPA,    NRECA, and AMP Comments at 5–6.
                                               Comments at 4; Exelon Comments at 22–23; MISO           able to set offer caps above $1,000/MWh                 83 Id. at 6 (citing PJM 2015 Offer Cap Order, 153
                                               Comments at 19; NESCOE Comments at 2; PJM
                                               Power Providers Comments at 6–7; OMS Comments
                                                                                                       in recognition of regional differences.81             FERC ¶ 61,289 at P 55). Additionally, APPA,
                                                                                                          33. APPA, NRECA, and AMP assert                    NRECA, and AMP argue that the fact that PJM has
                                               at 4; PJM/SPP Comments at 2–3; IRC Comments at
                                                                                                                                                             this higher offer cap and it has not resulted in seams
                                               3; NY Department of State Comments at 6; NYISO          that the NOPR runs counter to the                     issues proves that concerns over seams are purely
                                               Comments at 9–10; ISO–NE Market Monitor                 Commission’s usual practice of
                                               Comments at 14; Steel Producers’ Alliance                                                                     hypothetical. Id.
                                                                                                                                                                84 As discussed above, the Commission has
                                               Comments at 3–4. Some of these commenters
                                               express conditional or qualified support of the           73 CAISO Comments at 14 (citing Western Electric    previously accepted temporary changes to tariff
                                               NOPR and/or propose alternative offer caps.             Coordinating Council, 133 FERC ¶ 61,026 (2010));      provisions in MISO that enabled resources to
                                                  65 Industrial Customers Comments at 21, 24;          Exelon Comments at 22 (citing Western Electric        receive uplift for short-run marginal costs above the
                                               Midcontinent Joint Consumer Advocates Comments          Coordinating Council, 131 FERC ¶ 61,145 (2010)).      $1,000/MWh offer cap. However, cost recovery
                                               at 9–10; TAPS Comments at 21–22.                          74 CAISO Comments at 2, 4.                          through uplift is only guaranteed if a resource
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                                                  66 IRC Comments at 1, 3.                               75 Delaware Commission Comments at 14–15.           experiences short-run marginal costs above $1,000/
                                                  67 NYISO Comments at 10.                               76 ISO–NE Comments at 9.                            MWh during the time period for which the
                                                                                                         77 PJM Joint Consumer Advocates Comments at
                                                                                                                                                             Commission has accepted tariff revisions related to
                                                  68 MISO Comments at 19.
                                                                                                                                                             the offer cap. See supra P 14. Currently, resources
                                                  69 ISO–NE Market Monitor Comments at 14.             6–7.                                                  in many RTOs/ISOs do not have the opportunity to
                                                  70 PJM Market Monitor Comments at 12.                  78 Industrial Energy Consumers Comments at 2.
                                                                                                                                                             recover short-run marginal costs above $1,000/
                                                                                                         79 PG&E Comments at 1–2.
                                                  71 EEI Comments at 4.                                                                                      MWh without a tariff modification.
                                                  72 CAISO Comments at 14; Exelon Comments at            80 NY Transmission Owners Comments at 4–5.             85 PJM 2014/15 Offer Cap Order, 150 FERC

                                               22.                                                       81 Direct Energy Comments at 5–6.                   ¶ 61,020 at P 6.



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                                               87776             Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               conclude that the current offer caps are                 occasions that LMPs based on short-run                   also find that problems identified with
                                               unjust and unreasonable. As discussed                    marginal cost send efficient short-run                   the current offer caps are better
                                               in the NOPR, three RTOs/ISOs made                        and long-run signals to the market.89 In                 addressed through a rulemaking rather
                                               filings with the Commission (two on                      the short-run, LMPs based on short-run                   than through continued use of either ad
                                               multiple occasions) to address issues                    marginal costs are an effective way to                   hoc actions to approve tariff waivers or
                                               related to the level of the offer cap.86                 communicate information to market                        temporary changes to tariff provisions to
                                               The waiver requests and high natural                     participants about the cost of providing                 remedy issues associated with existing
                                               gas costs experienced during the Polar                   the next unit of energy. For example,                    RTO/ISO offer caps.
                                               Vortex, which could have caused some                     when LMPs are high, they provide a                          41. We find that the reasons for
                                               resources to experience costs above                      signal to customers to reduce                            requiring the proposed offer cap reforms
                                               $1,000/MWh, demonstrate that the                         consumption and a signal to suppliers                    apply equally to CAISO. As discussed
                                               deficiencies of current offer caps, in                   to increase production or to offer new                   above, the potential for resources to
                                               particular the $1,000/MWh offer cap,                     supplies to the market. In the long-run,                 have short-run marginal costs above
                                               are concrete rather than hypothetical.                   LMPs based on short-run marginal costs                   CAISO’s current $1,000/MWh offer cap
                                                  36. Without Commission action to                      can help to inform investment                            requires some action to ensure that
                                               remedy these deficiencies, some                          decisions.90                                             resources have an opportunity to
                                               resources could be forced to operate at                     38. Furthermore, as noted by                          recover costs. As in other RTO/ISO
                                               a loss and some resources would be                       Competitive Suppliers and EEI, even if                   markets, increasing the offer cap will
                                               discouraged from offering their supply                   LMPs exceed $1,000/MWh for only a                        improve price formation in CAISO at
                                               to the grid when it is most needed. A                    few hours during the year, the resulting                 times when the short-run marginal costs
                                               central tenet of sound wholesale electric                LMPs in those hours could affect long-                   of CAISO resources exceed $1,000/
                                               market design is that resources must                     term price signals.91 For all of these                   MWh. CAISO’s lack of a seam with
                                               have an opportunity to recover their                     reasons, we conclude that the existing                   another RTO/ISO does not alter these
                                               costs, so the question left to the                       offer caps are not just and reasonable                   effects. Contrary to the implication of
                                               Commission is how to provide that                        and, thus, need to be reformed.                          CAISO’s argument, as explained above,
                                               opportunity for cost recovery when                          39. With respect to the applicability of              we are not relying on the avoidance of
                                               short-run marginal costs exceed the                      the reforms adopted in this Final Rule,                  seams issues as the sole rationale for
                                               $1,000/MWh offer cap. We have                            we find that making the reforms                          adopting this Final Rule. With respect to
                                               essentially two choices to enable                        applicable to all RTOs/ISOs will avoid                   comments regarding the WECC offer
                                               resources to recover short-run marginal                  seams issues that could arise if RTOs/                   cap, we find that this issue is unique to
                                               costs above $1,000/MWh: To allow cost                    ISOs had different offer caps.92 We find                 CAISO, and if CAISO finds that this
                                               recovery through energy prices or                        that these offer cap reforms will also                   Final Rule raises seams issues with
                                               through uplift. Short-run marginal costs,                result in more economically efficient                    WECC, it may raise such issues
                                               which resources include in the                           flows between RTOs/ISOs because                          elsewhere.
                                               incremental energy component of their                    transactions across RTO/ISO seams will
                                                                                                        occur based on economic merit rather                     IV. Offer Cap Reforms
                                               supply offers, are typically used to
                                               calculate LMP. As noted above,87                         than based on differences in the offer                     42. Having concluded that the
                                               ensuring that LMPs reflect the marginal                  cap.93                                                   existing offer caps are not just and
                                               cost of production sends critical                           40. We also find that continued use of                reasonable, section 206 of the Federal
                                               information to market participants,                      temporary waivers related to the offer                   Power Act requires that the Commission
                                               improves transparency, and generally                     cap, as advocated by some commenters,                    determine the practices that are just and
                                               results in more efficient outcomes in                    is an inappropriate remedy for problems                  reasonable.95 We direct each RTO/ISO
                                               RTO/ISO energy markets. We find that                     associated with current offer caps in                    to establish in their tariffs the following
                                               recovery through energy prices, in most                  RTOs/ISOs. The reforms adopted in this                   three requirements:
                                               circumstances, will provide the                          Final Rule will provide more certainty                     (1) A resource’s incremental energy
                                               additional benefit that LMPs reflect the                 to market participants and reduce the                    offer must be capped at the higher of
                                               marginal cost of production, will                        administrative burden on RTOs/ISOs                       $1,000/MWh or that resource’s cost-
                                               increase transparency about the                          associated with requests for temporary                   based incremental energy offer. For the
                                               functioning of RTO/ISO energy markets,                   waivers of various tariff provisions                     purpose of calculating Locational
                                               and will facilitate efficient dispatch of                related to the $1,000/MWh offer caps                     Marginal Prices, Regional Transmission
                                               resources with short-run marginal costs                  prior to the start of every winter to                    Organizations and Independent System
                                               above $1,000/MWh.88 While we                             ensure that resources are given the                      Operators must cap cost-based
                                               recognize that offer caps may not bind                   opportunity to recover their costs.94 We                 incremental energy offers at $2,000/
                                               frequently, the Federal Power Act                                                                                 MWh. (Offer cap structure requirement)
                                               requires the Commission to ensure that
                                                                                                          89 PJM Interconnection, L.L.C., 110 FERC ¶               (2) The costs underlying a resource’s
                                                                                                        61,053, at P 114 (2005) (‘‘offers [in a competitive      cost-based incremental energy offer
                                               rates are just and reasonable.                           market] should set the market clearing price in
                                                  37. We also disagree with commenters                  order to send appropriate price signals about the        above $1,000/MWh must be verified
                                               that LMPs above $1,000/MWh do not                        need for new generation or enhanced load                 before that offer can be used for
                                               send useful price signals to market                      response’’). PJM 2014 Offer Cap Order II, 146 FERC       purposes of calculating Locational
                                                                                                        ¶ 61,078 at P 40 (‘‘By limiting legitimate, cost-based   Marginal Prices. If a resource submits an
                                               participants because, in fact, the                       bids to no more than $1,000/MWh, the market
                                               Commission has found on prior                            produces artificially suppressed market prices and       incremental energy offer above $1,000/
                                                                                                        inefficient resource selection’’).                       MWh and the costs underlying that offer
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                                                 86 NOPR,   FERC Stats. & Regs. ¶ 32,714 at PP 13–
                                                                                                          90 NOPR, FERC Stats. & Regs. ¶ 32,714 at P 7.          cannot be verified before the market
                                               17.                                                        91 Competitive Suppliers Comments at 9; EEI
                                                                                                                                                                 clearing process begins, that offer may
                                                 87 Seesupra P 5.                                       Comments at 5.
                                                                                                          92 NOPR, FERC Stats. & Regs. ¶ 32,714 at PP 70–
                                                                                                                                                                 not be used to calculate Locational
                                                 88 We note that uplift is necessary in some
                                                                                                        71.                                                      Marginal Prices and the resource would
                                               circumstances. For example, resource start-up and
                                               no-load costs are not typically included in LMP,           93 Id. P 74.                                           be eligible for a make-whole payment if
                                               and some resources receive uplift to recover these         94 Id. PP 45, 49 (citing Notice Inviting Comments,

                                               costs.                                                   Docket No. AD14–14–000 at 2).                             95 16   U.S.C. 824e (2012).



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                                                                  Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                                   87777

                                               that resource is dispatched and the                         cost-based to $1,000/MWh as a backstop                 threshold which it states is above a
                                               resource’s costs are verified after-the-                    mitigation measure.98 As discussed                     recent fully supported cost-based
                                               fact. A resource would also be eligible                     further below,99 many commenters                       incremental energy offer of $1,724/MWh
                                               for a make-whole payment if it is                           support the verification requirement                   seen in PJM in 2014.108 Exelon also
                                               dispatched and its verified cost-based                      proposed in the NOPR and stress that                   recommends that this threshold be
                                               incremental energy offer exceeds                            incremental energy offers above $1,000/                reevaluated on a triennial basis to
                                               $2,000/MWh. (Verification requirement)                      MWh must be cost-based incremental                     ensure it reflects market realities.109
                                                 (3) All resources, regardless of type,                    energy offers before such offers are
                                               are eligible to submit cost-based                           eligible to calculate LMPs.100                            50. Other commenters support an
                                               incremental energy offers in excess of                         47. Regarding offer caps in general,                absolute cap on the incremental energy
                                               $1,000/MWh. (Resource neutrality                            MISO states that the offer cap is                      offers, even if a resource’s short-run
                                               requirement)                                                currently necessary because demand in                  marginal costs exceed that cap.110
                                                 43. The offer cap structure                               RTO/ISO energy and ancillary service                   Industrial Customers also claim that if
                                               requirement is discussed in section                         markets is inelastic and also because                  incremental energy offers above $1,000/
                                               IV.A. The verification requirement is                       they serve as a safety net.101 MISO adds               MWh are permitted, resources would
                                               discussed in section IV.B. The resource                     that offer caps should be set high                     have no incentive to minimize their fuel
                                               neutrality requirement is discussed in                      enough so as not to interfere with valid               costs because they would recover all of
                                               section IV.C.                                               market dynamics.102 NY Transmission                    their costs if they were dispatched by
                                                                                                           Owners maintain that the $1,000/MWh                    the RTO/ISO.111 Potomac Economics
                                               A. Offer Cap Structure                                      offer cap is an important backstop to                  states that resources should be
                                               1. NOPR Proposal                                            protect consumers from the exercise of                 prohibited from submitting incremental
                                                                                                           market power should mitigation fail.103                energy offers above $2,000/MWh, and
                                                  44. In the NOPR, the Commission                             48. Some commenters argue that the
                                               proposed the following offer cap                                                                                   claims that without such an absolute
                                                                                                           $1,000/MWh threshold, above which a
                                               structure requirement:                                                                                             cap, natural gas prices could be bid up
                                                                                                           resource’s incremental energy offer
                                                                                                           submitted to the RTO/ISO must be cost-                 to extraordinary levels.112
                                                 A resource’s incremental energy offer used
                                               for purposes of calculating Locational                      based, is too high. The Delaware and                      51. However, several commenters
                                               Marginal Prices in energy markets must be                   New Jersey Commissions recommend                       state that resources should be able to
                                               capped at the higher of $1,000/MWh or that                  that in PJM, all incremental energy                    submit incremental energy offers that
                                               resource’s cost-based incremental energy                    offers above $400/MWh be verified                      reflect their short-run marginal costs,
                                               offer.96                                                    before such offers are eligible to set                 even if those offers exceed $1,000/
                                               The Commission sought comments on                           LMP,104 and the Pennsylvania                           MWh.113 For example, CEA argues that
                                               this proposed offer cap structure                           Commission asks the Commission to                      it is prudent to modify current offer
                                               requirement and whether a hard cap                          carefully consider the threshold above                 caps to allow resources to submit
                                               that limited the incremental energy                         which incremental energy offers are                    incremental energy offers above $1,000/
                                               offers used to calculate LMPs would be                      verified.105 The PJM Market Monitor                    MWh when fuel and other inputs cause
                                               necessary. The Commission also sought                       states that there is no reason that                    the marginal cost of production to
                                               comment on whether the level of the                         $1,000/MWh should be the dividing
                                                                                                                                                                  exceed $1,000/MWh.114 PJM Power
                                               hard cap should be $2,000/MWh or                            line between incremental energy offers
                                                                                                                                                                  Providers argue that raising the offer cap
                                               another value.97                                            that can include markups and
                                                                                                           incremental energy offers that must be                 is important because it would allow
                                               2. Comments                                                 cost-based, and that the threshold could               energy clearing prices to reflect market
                                                 45. Comments about the proposed                           be lowered to $500/MWh in PJM noting                   conditions and provide stability to
                                               offer cap structure focus on two key                        that only 0.17 percent of all offers were              consumers and suppliers by eliminating
                                               areas: (1) Whether incremental energy                       above $400/MWh in 2015.106                             the need for ad hoc waivers.115
                                               above $1,000/MWh should be cost-                               49. Exelon states that while it                        52. Some commenters argue that offer
                                               based; and (2) how LMPs should be                           supports removing the offer cap                        caps that limit the incremental energy
                                               calculated when resource short-run                          completely, if the Commission finds                    offers that resources can submit should
                                               marginal costs exceed $1,000/MWh,                           that incremental energy offers above a
                                               including whether resources with costs                      certain threshold must be cost-based,107                 108 Exelon   Comments at 9–10.
                                               above $1,000/MWh should be                                  Exelon recommends a $2,000/MWh                           109 Id. at 10.
                                               compensated through higher LMPs or                                                                                    110 Industrial Customers Comments at 10;
                                                                                                             98 MISO Comments at 7; NY Transmission
                                               through uplift, whether a hard cap is                                                                              Potomac Economics Comments at 7.
                                                                                                           Owners Comments at 2–3.
                                               necessary, and the appropriate level of                       99 See infra PP 100–101.                                111 Industrial Customers Comments at 19.

                                               any hard cap..                                                100 See generally NYISO Comments at 2; SCE              112 Potomac Economics Comments at 7. Potomac

                                                                                                           Comments at 1–2; PG&E Comments at 3; NY                Economics is the external independent market
                                               a. Whether Incremental Energy Offers                        Transmission Owners Comments at 3; Golden              monitor for NYISO, MISO, and ISO–NE. ISO–NE
                                               Above $1,000/MWh Should be Cost                             Spread Comments at 3; Delaware Commission              and NYISO also have internal Market Monitoring
                                               Based                                                       Comments at 11; TAPS Comments at 12; NESCOE            Units.
                                                                                                           Comments at 3.                                            113 See generally Competitive Suppliers
                                                 46. Commenters differed on the                              101 MISO Comments at 7.

                                               proposal to limit incremental energy                          102 Id. at 7.
                                                                                                                                                                  Comments at 12–14; Dominion Comments at 3–4;
                                                                                                                                                                  EEI Comments at 3–4; Golden Spread Comments at
                                               offers above $1,000/MWh to cost-based
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                                                                                                             103 NY Transmission Owners Comments at 2–3.
                                                                                                                                                                  1; MISO Comments at 6; NY Transmission Owners
                                               incremental energy offers. Some                               104 Delaware Commission Comments at 4–7; New
                                                                                                                                                                  Comments at 3; OMS Comments at 3; PJM/SPP
                                               commenters support this proposal and                        Jersey Commission Comments at 9.
                                                                                                             105 Pennsylvania Commission Comments at 10–          Comments at 6; PJM Market Monitor Comments at
                                               argue that it is appropriate to limit                       13.                                                    1; Six Cities Comments at 2.
                                               incremental energy offers that are not                        106 PJM Market Monitor Comments at 2.
                                                                                                                                                                     114 CEA Comments at 3–4.

                                                                                                             107 Exelon refers to this threshold as a ‘‘market-      115 PJM Power Providers Comments at 1–2 (citing
                                                 96 NOPR,     FERC Stats. & Regs. ¶ 32,714 at P 53.                                                               NOPR, FERC Stats. & Regs. ¶ 32,714 at PP 14, 16,
                                                                                                           based offer cap.’’ See, e.g., Exelon Comments at 1,
                                                 97 See   id. P 55.                                        7–10.                                                  17).



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                                               87778            Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               be increased 116 or removed entirely.117                exceed $1,000/MWh, with some                          example, the New York Commission
                                               For example, API and the Texas                          commenters arguing that LMPs should                   argues that an uplift mechanism could
                                               Commission argue that the offer cap                     rise to reflect the marginal cost of                  ensure that generators can recover all
                                               should be raised significantly.118 The                  production and others arguing that                    short-run marginal costs.133 KEPCo/
                                               Texas Commission asserts that MISO’s                    resources with short-run marginal costs               NCEMC asserts that if cost-based
                                               offer cap should be raised significantly                above $1,000/MWh should be                            incremental energy offers above $1,000/
                                               to provide greater assurance of resource                compensated outside of the market                     MWh are based on inaccurate fuel cost
                                               adequacy, reduce administrative                         through uplift rather than through                    estimates, there may be no means of
                                               complexity, and minimize uplift                         higher LMPs. Commenters also discuss                  remedying the effects on the markets.134
                                               charges.119                                             the need for a hard cap and the                       KEPCo/NCEMC add that uplift is a more
                                                  53. MISO states that it does not                     appropriate level for any hard cap.                   cost effective way to ensure both
                                               oppose the NOPR proposal to revise the                                                                        resource cost recovery and just and
                                               offer cap because the proposal will                     i. Whether To Compensate Resources
                                                                                                       With Costs Above $1,000/MWh                           reasonable prices.135 Industrial
                                               allow market clearing prices to more                                                                          Customers assert that uplift is preferable
                                               accurately reflect the true marginal cost               Through Uplift or Higher LMPs
                                                                                                                                                             to using incremental energy offers above
                                               of production while protecting                             56. As noted above,126 several                     $1,000/MWh to calculate LMP because
                                               consumers from the effects of                           commenters state that incremental                     uplift payments ensure cost recovery
                                               manipulation and improving price                        energy offers above $1,000/MWh should                 and can be limited to the resources that
                                               transparency, and the proposal should                   be used to calculate LMPs because the                 are necessary to balance supply and
                                               also reduce uplift payments.120                         resulting LMPs will better reflect the                demand, rather than compensating all
                                               However, MISO urges the Commission                      marginal costs of production.127 MISO                 resources.136
                                               to consider whether the offer cap                       states that permitting cost-based
                                               proposal in the NOPR is an appropriate                  incremental energy offers above $1,000/               ii. Whether To Adopt a Hard Cap
                                               long-term approach and states that it                   MWh to set LMPs should improve price                     58. Comments differ on the need for
                                               could support a gradual relaxation of                   transparency and should reduce uplift                 a hard cap that would limit the
                                               offer caps to allow market forces to                    payments.128 EEI states that competitive              incremental energy offers RTOs/ISOs
                                               respond accordingly.121                                 wholesale electricity markets should                  use to calculate LMPs, a limit referred
                                                  54. PJM Power Providers assert that                  provide accurate price signals and that               to herein as a hard cap. Many
                                               resources should be able to submit cost-                cost-based incremental energy offers                  commenters support a hard cap,137 and
                                               based incremental energy offers that                    above $1,000/MWh should be used to                    some argue that a hard cap serves as an
                                               reflect all short-run marginal costs.122                calculate LMPs because LMPs should                    important backstop mitigation measure
                                               Competitive Suppliers and Exelon argue                  reflect the marginal cost of operating the            to address concerns about the
                                               that the offer cap should be removed                    system, which will promote efficient                  competitiveness of natural gas markets
                                               entirely, or raised to avoid adverse                    operation, resource accuracy, and result              or as a means to protect consumers from
                                               impacts on the market.123 According to                  in savings for consumers.129                          unreasonably high LMPs.138
                                               Competitive Suppliers, significant                         57. However, other commenters argue                   59. CAISO, ISO–NE, and NYISO
                                               improvements in electricity markets and                 that incremental energy offers above                  support a hard cap. CAISO asserts that,
                                               market monitoring have occurred since                   $1,000/MWh, even if they are cost-                    assuming it were able to verify cost-
                                               the $1,000/MWh offer cap was put in                     based, should not be able to set LMP.130              based offers above $1,000/MWh, a hard
                                               place nearly 20 years ago.124                           For example, Industrial Customers argue               cap is necessary if the Commission
                                               Competitive Suppliers also argue that,                  that letting incremental energy offers set            permits resources to submit incremental
                                               given these improvements, the offer cap                 LMP would be a windfall to                            energy offers above $1,000/MWh.139
                                               should be removed, or if that approach                  resources.131 Many commenters argue                   CAISO adds that a hard cap may help
                                               is not taken, the verification process                  that uplift or temporary waivers should               mitigate price spikes in fuel markets.140
                                               should involve minimal distortions.125                  be used to account for instances when                 ISO–NE supports a hard cap established
                                                                                                       resources’ short-run marginal costs                   at a fixed level and argues that any new
                                               b. How LMPs Should Be Calculated                        exceed the offer cap. Some commenters
                                               When Resource Short-Run Marginal                                                                              offer cap should be imposed in a
                                                                                                       argue that rather than letting                        straightforward manner such that
                                               Costs Exceed $1,000/MWh                                 incremental energy offers above $1,000/               market participants know the level of
                                                  55. Several commenters discuss how                   MWh set LMP, resources with costs
                                               LMPs should be calculated when                          above the $1,000/MWh offer cap should                 Comments at 5–6; New York Commission
                                               resource short-run marginal costs                       be compensated through uplift.132 For                 Comments at 6–7; SPP Market Monitor Comments
                                                                                                                                                             at 2, 4, 6–7; Industrial Energy Consumers
                                                  116 API Comments at 3, 8, 13; Exelon Comments          126 See supra P 17.                                 Comments at 2.
                                               at 7; OMS Comments (on behalf of Public Utility           127 CEA                                                133 New York Commission Comments at 6–7.
                                                                                                                  Comments at 3–4; Competitive Suppliers
                                               Commission of Texas (Texas Commission), referring       Comments at 9–13; EEI Comments at 3; Exelon              134 KEPCo/NCEMC Comments at 4.
                                               to MISO’s $1,000/MWh offer cap) at 3 n. 7; NEI          Comments at 5–7; Powerex Comments at 6; PJM              135 Id. at 4.
                                               Comments at 2, 4–5.                                     Providers Group Comments at 2; Golden Spread             136 Industrial Customers Comments at 8–9.
                                                  117 NEI Comments at 2, 4–5; Competitive
                                                                                                       Comments at 1; MISO Comments at 6; PJM/SPP               137 ISO–NE Comments at 3; ISO–NE Market
                                               Suppliers Comments at 4–5, 7, 13–15; Exelon             Comments at 1–2.                                      Monitor Comments at 12; Joseph Margolies
                                               Comments at 9–10.                                         128 MISO Comments at 6.
                                                  118 API Comments at 3, 8, 13; OMS Comments (on
                                                                                                                                                             Comments at 8; NYISO Comments at 7; SPP Market
                                                                                                         129 EEI Comments at 3–4.                            Monitor Comments at 2, 13; TAPS Comments at 7.
                                               behalf of Texas Commission) at 3 n.7.                     130 APPA, NRECA, and AMP Comments at 8–10;             138 Direct Energy Comments at 3–5; Industrial
                                                  119 OMS Comments (on behalf of Texas
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                                                                                                       Industrial Customers Comments at 9; NY                Customers Comments at 12; ISO–NE Comments at
                                               Commission) at 3 n.7.                                   Department of State Comments at 3; ODEC               3; Joseph Margolies Comments at 3; Potomac
                                                  120 MISO Comments at 6.
                                                                                                       Comments at 3; PJM Joint Consumer Advocates           Economics Comments at 7; NY Department of State
                                                  121 Id. at 7.
                                                                                                       Comments at 5; TAPS Comments at 5–6; Steel            Comments at 3; TAPS Comments at 7.
                                                  122 PJM Power Providers Comments at 2.
                                                                                                       Producers’ Alliance Comments at 3.                       139 CAISO Comments at 10. As noted in P 20,
                                                  123 Competitive Suppliers Comments at 4–5, 8,          131 Industrial Customers Comments at 9.             supra, CAISO opposes raising CAISO’s current
                                               14; Exelon Comments at 10.                                132 APPA, NRECA, and AMP Comments at 8, 13–         $1,000/MWh offer cap.
                                                  124 Competitive Suppliers Comments at 8, 14–15.
                                                                                                       14, 16; Industrial Customers Comments at 8–9, 23–        140 Id. at 10. CAISO refers to the hard cap as a
                                                  125 Id. at 4–5.                                      24; KEPCo/NCEMC Comments at 4; TAPS                   ‘‘secondary hard cap.’’



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                                                                Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                               87779

                                               the offer cap with certainty when                       natural gas resources, particularly                   market monitors to ascertain whether
                                               making advance fuel supply                              resources with must-offer requirements,               the price a resource has paid for natural
                                               arrangements.141 NYISO asserts that a                   are the marginal customers in natural                 gas reflects its expectations about the
                                               hard cap will protect the market from                   gas markets and thus have a significant               electricity market or an attempt to
                                               the inadvertent submission of offers                    impact on natural gas prices.149                      impact LMPs, and suggests that a hard
                                               above the cap, create bounds for offers                    62. Although the PJM Market Monitor                cap can address these issues.155 The
                                               that are difficult to verify, and prevent               argues that, in the absence of market                 New Jersey Commission similarly states
                                               potential attempts to exercise market                   power, there should be no absolute cap                that, absent a hard cap, market power in
                                               power that are not otherwise addressed                  on the short-run marginal costs reflected             natural gas markets could drive up cost-
                                               by existing mitigation rules.142 While                  in an incremental energy offer,150 the                based incremental energy offers in
                                               MISO takes no position on a hard cap                    PJM Market Monitor opines that the                    electricity markets and increase
                                               as discussed further below,143 MISO                     removal of hard caps in electricity                   LMPs.156
                                               states that a hard cap is easier to                     markets should be considered in light of                 65. The SPP Market Monitor states
                                               integrate with other market design                      the competitiveness of natural gas                    that it would prefer to maintain SPP’s
                                               elements because it is more challenging                 markets. The PJM Market Monitor                       existing $1,000/MWh offer cap, but if it
                                               to establish the appropriate levels for                 asserts that it is essential that market              is to be revised, it would prefer a new
                                               other market elements, such as MISO’s                   participants have confidence in the                   fixed hard cap to serve as a backstop
                                               Operating Reserve and Transmission                      competitiveness of natural gas markets                market power mitigation measure
                                               Constraint demand curves, without a                     before removing hard caps in electricity              during periods of market anomalies
                                               hard cap because the maximum                            markets.151                                           when existing measures may fail to
                                               incremental energy offers would not be                     63. The ISO–NE, PJM, and SPP market                protect consumers.157
                                               limited to a pre-defined value.144                      monitors also explain that when natural                  66. Comments from other
                                                  60. Potomac Economics, and the ISO–                  gas supplies are scarce, open exchanges               stakeholders generally support a hard
                                               NE and PJM market monitors stress the                   for natural gas, such as the                          cap to protect customers against market
                                               need for the hard cap to address                        Intercontinental Exchange (ICE), tend to              power abuse.158 For example, the Ohio
                                               concerns about uncompetitive                            have low liquidity and wide bid-ask                   Commission asserts that if the
                                               conditions in natural gas markets when                  spreads. These market monitors state                  Commission does not require PJM and
                                               natural gas supplies are scarce.145                     that it can be difficult to verify the                the PJM Market Monitor to jointly
                                               Potomac Economics contends that                         short-run marginal cost of natural gas                review these cost-based energy offers,
                                               during natural gas shortages, natural gas               resources during periods when open                    the $2,000/MWh hard cap in PJM
                                               markets have two dominant customer                      natural gas exchanges have low                        should remain to protect against market
                                               types: Local gas distribution companies                 liquidity because natural gas resources               power concerns and unverified price
                                               and natural gas generators.146 Potomac                  may purchase natural gas bilaterally                  increases.159 Industrial Customers argue
                                               Economics states that natural gas                       rather than through the exchanges, and                that the offer cap works in tandem with
                                               generators are frequently the marginal                  therefore the bid and ask spreads and                 market power mitigation measures to
                                               buyers since local gas distribution                     settled transactions observed on the                  prevent excessive prices when supplies
                                               companies will not interrupt supply to                  open exchanges may not represent the                  are tight given that demand is
                                               their customers at any price. Potomac                   costs of the natural gas resources that               inelastic.160
                                               Economics asserts that without a hard                   make bilateral natural gas purchases.                    67. Some commenters argue that a
                                               cap, natural gas prices could be bid up                 Furthermore, when liquidity in the open               hard cap is necessary to protect
                                               to extraordinary levels because local                   exchanges is low and the bid-ask                      customers from unjust and unreasonable
                                               distribution companies are guaranteed                   spreads are wide, the ISO–NE, PJM, and                prices resulting from market aberrations
                                               to recover their cost, regardless of how                SPP market monitors explain that there                or other events when RTOs/ISOs fail to
                                               high.147 The PJM Market Monitor also                    may be little basis on which to verify a              function properly.161 For example,
                                               states that vertically-integrated utilities             resource’s natural gas procurement                    TAPS asserts that removing the offer cap
                                               with a gas marketing function could                     costs.152                                             entirely would result in the Commission
                                               have the incentive to exercise market                      64. The New Jersey Commission and                  failing to meet its statutory duty to
                                               power in natural gas markets during                     NY Transmission Owners also argue                     protect against excessive prices,162 and
                                               extreme conditions in an effort to                      that a hard cap is necessary to address               it argues that the hard cap provides
                                               exercise market power in electricity                    issues related to the interactions                    crucial damage control to shield
                                               markets.148                                             between the gas and electricity                       consumers from unreasonably high
                                                  61. The ISO–NE Market Monitor also                   markets.153 NY Transmission Owners                    prices.163 Industrial Customers argue
                                               asserts that natural gas markets lack                   explains that resource owners with costs              that the hard cap helps discipline
                                               structural measures to prevent the                      above $1,000/MWh that also own infra-                 generator fuel procurement costs, stating
                                               exercise of market power. According to                  marginal resources may benefit from                   that full cost recovery would
                                               the ISO–NE Market Monitor, the offer                    paying more for natural gas which in                  significantly reduce incentives for
                                               cap in electricity markets can impact                   turn increases LMPs and thus the
                                                                                                                                                               155 Id.
                                               prices in natural gas markets when                      revenues that infra-marginal resources
                                                                                                                                                               156 New    Jersey Commission Comments at 9.
                                               natural gas supplies are scarce because                 receive.154 NY Transmission Owners                      157 SPP   Market Monitor Comments at 6, 13.
                                                                                                       further states that it will be difficult for             158 See generally Direct Energy Comments at 4–
                                                 141 ISO–NE   Comments at 2–3.                                                                               5; Ohio Commission Comments at 6–7; Industrial
                                                 142 NYISO   Comments at 8.                              149 ISO–NE   Market Monitor Comments at 13–14.
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                                                                                                                                                             Customers Comments at 10–11; TAPS Comments at
                                                 143 See infra P 69.                                     150 PJM Market Monitor Comments at 1.               8–10; New Jersey Commission Comments at 7.
                                                 144 MISO Comments at 13.                               151 Id. at 4.                                           159 Ohio Commission Comments at 6–7.
                                                 145 ISO–NE Market Monitor Comments at 13–14;           152 ISO–NE Market Monitor Comments at 8; PJM            160 Industrial Customers Comments at 10–11.

                                               Potomac Economics Comments at 7; PJM Market             Market Monitor Comments at 6; SPP Market                 161 TAPS Comments at 8–9; Industrial Customers
                                               Monitor Comments at 4.                                  Monitor Comments at 7.                                Comments at 19–20.
                                                 146 Potomac Economics Comments at 7.                   153 NY Transmission Owners Comments at 3–4;             162 TAPS Comments at 10 (citing FERC v. Elec.
                                                 147 Id.                                               New Jersey Commission Comments at 9.                  Power Supply Ass’n, 136 S. Ct. 760, 764 (2016)).
                                                 148 PJM Market Monitor Comments at 4.                  154 NY Transmission Owners Comments at 4.               163 Id. at 9–10.




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                                               87780              Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               generators to minimize their costs if                     above $1,000/MWh, render a hard cap                    than as a compromise between PJM
                                               these costs can be passed on to                           unnecessary and duplicative.174 For                    stakeholders.182 Midcontinent Joint
                                               consumers.164                                             example, Dominion states that a hard                   Consumer Advocates argue that a
                                                  68. Commenters opposed to the                          cap is not necessary for cost-based                    $2,000/MWh hard cap is unreasonably
                                               inclusion of a hard cap on offers used                    incremental energy offers because                      high and could cause prices to rise up
                                               to calculate LMPs generally argue that                    market power concerns are not relevant                 to $2,000/MWh.183
                                               any cap would artificially suppress                       for cost-based incremental energy offers                 75. As noted above, some commenters
                                               LMPs and increase uplift payments.165                     as offers based on resource costs do not               support a $1,000/MWh hard cap on the
                                               PJM/SPP state that there should not be                    constitute an exercise of market                       incremental energy offers that are used
                                               a hard cap on cost-based offers used to                   power.175                                              to calculate LMPs.184 For example,
                                               calculate LMPs provided that                                72. Commenters disagree about the                    APPA, NRECA, and AMP assert that the
                                               appropriate verification processes are in                 appropriate level for any new hard cap.                hard cap should be set to $1,000/MWh
                                               place to ensure cost-based incremental                    ISO–NE states that it does not have                    in all RTOs/ISOs, including PJM, which
                                               offers reflect legitimate costs.166 PJM/                  evidence to substantiate a specific                    currently has a $2,000/MWh hard
                                               SPP also assert that a hard cap can                       recommendation for the level of any                    cap.185 Direct Energy and NY
                                               create unhedgeable uplift payments.167                    new hard cap.176 NYISO states that the                 Transmission Owners state that
                                               PJM Power Providers assert that                           Commission should hold a technical                     different hard caps across RTOs/ISOs
                                               resources should be able to submit cost-                  workshop to determine the appropriate                  may be justified given differences in
                                               based incremental energy offers that                      level of the hard cap that analyzes the                regional natural gas prices, but add that
                                               reflect their short-run marginal costs                    elasticity of the fuel markets, including              RTOs/ISOs with the same natural gas
                                               and that those offers should be able to                   natural gas markets, and fuel prices at                supply should have the same hard
                                               set the LMP.168                                           various demand levels.177                              cap.186 Additionally, APPA, NRECA,
                                                  69. MISO states that it does not have                    73. Potomac Economics states that the                and AMP, ODEC, PJM Joint Consumer
                                               a strong preference on the imposition of                  $2,000/MWh level approved in PJM                       Advocates, and Steel Producers’
                                               a hard cap and notes that the same                        would be a reasonable hard cap for all                 Alliance all ask the Commission to
                                               benefits and drawbacks that exist for the                 RTOs/ISOs in the Eastern                               reinstate PJM’s previous $1,000/MWh
                                               current $1,000/MWh hard cap (in some                      Interconnect.178 However, Potomac                      offer cap.187 ODEC and PJM Joint
                                               markets) would apply to any new hard                      Economics states that the Commission                   Consumer Advocates state that although
                                               cap.169 MISO identifies two drawbacks                     should adopt a $2,000/MWh cap that                     they supported the consensus position
                                               of a hard cap: (1) A hard cap could                       not only caps the incremental energy                   on PJM’s current $2,000/MWh offer cap
                                               suppress LMPs below the marginal cost                     offers eligible to set LMP but also                    as an interim measure, they state that
                                               of production; and (2) a special uplift                   prevents resources from recovering                     they were awaiting Commission action
                                               mechanism would be needed for offers                      incremental energy costs above $2,000/                 on offer caps and do not support such
                                               that exceed the hard cap.170 MISO states                  MWh.179 Potomac Economics adds that                    a cap as a long-term policy.188 ODEC
                                               that a hard cap may not be necessary                      the loss of generation resulting from any              and PJM Joint Consumer Advocates
                                               because the verification requirement                      natural gas resources that do not                      argue that the $2,000/MWh offer cap on
                                               safeguards the market and states that the                 procure natural gas during natural gas                 cost-based offers is no longer necessary
                                               limitations and implementation costs                      shortages due to such a cap will not                   and that a $1,000/MWh offer cap is
                                               associated with a hard cap would likely                   substantially increase the probability of              more appropriate because new
                                               overshadow the benefits.171                               an electric outage.180                                 measures, such as PJM’s new capacity
                                                  70. Exelon and EEI oppose a hard cap,                    74. TAPS argues that offers above                    construct and additional measures
                                               arguing that it is important for LMPs to                  $1,500/MWh should not be used to                       implemented in response to the Polar
                                               be as consistent as possible with the                     calculate LMPs because a MISO analysis                 Vortex, will ensure that prices remain at
                                               marginal cost of operating the system                     indicated that natural gas resources in                reasonable levels.189
                                               and that, therefore, resources should                     MISO would have a marginal cost below                    76. Dominion states that the NOPR
                                               always be permitted to offer their costs,                 $1,138/MWh if natural gas prices                       proposal will result in more accurate
                                               and that such offers should always be                     reached $65/MMBtu and that more than                   price signals and a better understanding
                                               eligible to set LMP.172 As noted above,                   98 percent of MISO’s gas capacity                      of the true costs of serving demand,
                                               Competitive Suppliers assert that the                     would have a marginal cost below                       reduce uplift during stressed periods,
                                               offer cap should be removed entirely.173                  $1,500/MWh if gas prices reached $100/                 and allow customers to more effectively
                                                  71. Additionally, some commenters                      MMBtu.181 TAPS further argues that                     hedge the costs of reliability through
                                               opposed to a hard cap assert that                         $2,000/MWh is too high and that the                    market participation.190 NESCOE states
                                               existing market monitoring and                            value was not supported by PJM other
                                               mitigation measures, as well as the                                                                               182 Id.   at 11.
                                               proposed verification requirement for                       174 Competitive   Suppliers Comments at 14; PJM/      183 Midcontinent   Joint Consumer Advocates
                                               cost-based incremental energy offers                      SPP Comments at 6; Dominion Comments at 4.             Comments at 4.
                                                                                                           175 Dominion Comments at 4.                            184 New Jersey Commission Comments at 8–9;

                                                 164 Industrial
                                                                                                           176 ISO–NE Comments at 3.                            TAPS Comments at 10–11; APPA, NRECA, and
                                                              Customers Comments at 19–20.                 177 NYISO Comments at 8.                             AMP Comments at 8–9.
                                                 165 Competitive Suppliers Comments at 12–15;              178 Potomac Economics Comments at 7–8.                 185 APPA, NRECA, and AMP Comments at 9.
                                               Dominion Comments at 4; Exelon Comments at 21–                                                                     186 Direct Energy Comments at 3–4; NY
                                                                                                           179 Id. at 8. Potomac Economics notes that its
                                               22; Golden Spread Comments at 2; PJM/SPP
                                                                                                         recommendation would require modifying PJM’s           Transmission Owners Comments at 5.
                                               Comments at 6; EEI Comments at 7.
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                                                                                                                                                                  187 APPA, NRECA, and AMP Comments at 7;
                                                 166 PJM/SPP Comments at 6.                              current offer cap, which permits resources to
                                                 167 Id.                                                 recover costs above PJM’s $2,000/MWh hard cap.         ODEC Comments at 3–5; PJM Joint Consumer
                                                                                                           180 Id.                                              Advocates Comments at 2–4; Steel Producers’
                                                 168 PJM Power Providers Comments at 2.
                                                                                                           181 TAPS Comments at 10–11. TAPS uses the            Alliance Comments at 5.
                                                 169 MISO Comments at 13.                                                                                         188 ODEC Comments at 3; PJM Joint Consumer
                                                 170 Id.
                                                                                                         phrase ‘‘hard offer cap,’’ which could indicate that
                                                                                                         RTOs/ISOs should limit offers to $1,500/MWh for        Advocates Comments at 2.
                                                 171 MISO Comments at 13.                                                                                         189 ODEC Comments at 5; PJM Joint Consumer
                                                                                                         purposes of calculating LMPs or that resources
                                                 172 Exelon Comments at 21; EEI Comments at 4.                                                                  Advocates Comments at 2–3.
                                                                                                         should not be able to submit incremental energy
                                                 173 Competitive Suppliers Comments at 13.               offers above $1,500/MWh.                                 190 Dominion Comments at 3.




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                                                                Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                        87781

                                               that the offer cap reforms proposed in                  places an upper limit on the                          resources’ short-run marginal costs
                                               the NOPR appear to appropriately                        incremental energy offers that the RTO/               exceed $1,000/MWh.
                                               balance price formation issues, seams                   ISO can use to calculate LMPs.193 We                     83. We also find that the offer cap
                                               issues, and the potential for market                    note that the resulting LMPs may exceed               structure will mitigate market power
                                               power abuse while allowing for regional                 $2,000/MWh due to losses and                          associated with incremental energy
                                               variation in implementing consumer                      congestion. Additionally, resources with              offers above $1,000/MWh, as some
                                               protection mechanisms.191                               verified cost-based incremental energy                commenters suggest. The requirement
                                                                                                       offers above $2,000/MWh will be                       that incremental energy offers above
                                               3. Determination
                                                                                                       eligible to receive uplift.                           $1,000/MWh be cost-based retains the
                                                  77. The Commission is adopting                          79. After consideration of the record              backstop mitigation function that
                                               aspects of the offer cap structure set                  in this proceeding, including responses               current offer caps play in existing RTO/
                                               forth in the NOPR, which caps a                         to the question we asked about the need               ISO market power mitigation because
                                               resource’s incremental energy offer used                for a hard cap, we adopt a modified                   incremental energy offers that are not
                                               for purposes of calculating LMPs in day-                version of the offer cap structure                    cost-based may not exceed $1,000/
                                               ahead and real-time energy markets at                   proposed in the NOPR. This modified                   MWh. A cost-based incremental energy
                                               the higher of $1,000/MWh or that                        version recognizes the practical issues               offer is based on the associated
                                               resource’s cost-based incremental                       raised by commenters. While a hard cap                resource’s short-run marginal cost,
                                               energy offer. Based on the comments                     may diminish the ability to fully                     which constitutes a competitive offer
                                               received in this proceeding, the                        address the shortcomings of the current               free from the exercise of market-power.
                                               Commission is also adopting a hard cap                  offer caps identified above 194 in all
                                               as part of this Final Rule.192 Although                                                                          84. Revising the offer cap to permit
                                                                                                       circumstances, we find that, on balance,
                                               a resource may submit a cost-based                                                                            cost-based incremental energy offers up
                                                                                                       a hard cap is necessary to reasonably
                                               incremental energy offer above $2,000/                                                                        to $2,000/MWh to set LMP will reduce
                                                                                                       limit the adverse impact that imperfect
                                               MWh, the hard cap will prohibit the use                                                                       the likelihood that the offer cap will
                                                                                                       information about a resource’s short-run
                                               of such offers above $2,000/MWh when                                                                          suppress LMPs below the marginal cost
                                                                                                       marginal costs during the verification
                                               calculating LMPs. As discussed further                                                                        of production. Permitting cost-based
                                                                                                       process could have on LMPs.
                                               in section IV.B below, incremental                         80. First, the offer cap structure will            incremental energy offers up to $2,000/
                                               energy offers above $1,000/MWh must                     reduce the likelihood that the $1,000/                MWh to set LMP will also reduce uplift
                                               be verified before they are used to                     MWh offer cap in effect in some RTOs/                 associated with the current offer caps,
                                               calculate LMPs. As noted above, RTOs/                   ISOs 195 will suppress LMPs below the                 which will be beneficial to the market
                                               ISOs must cap verified cost-based                       marginal cost of production. Ideally,                 because uplift payments are less
                                               incremental energy offers at $2,000/                    LMPs in RTO/ISO energy markets                        transparent to market participants than
                                               MWh when calculating LMPs.                              should reflect the short-run marginal                 LMPs that reflect the marginal cost of
                                                  78. As a result of this Final Rule, an               cost of the marginal resource. Under the              production. Therefore, we disagree with
                                               RTO/ISO will treat resources’                           offer cap structure adopted in this Final             arguments that all resources with short-
                                               incremental energy offers differently,                  Rule, cost-based incremental energy                   run marginal costs above $1,000/MWh
                                               depending on the level of the offer itself.             offers up to $2,000/MWh that have been                should be compensated through uplift
                                               Each RTO/ISO shall treat incremental                    verified by either the RTO/ISO or                     rather than through the LMP. As
                                               energy offers below $1,000/MWh as it                    Market Monitoring Unit as being a                     discussed further below, we adopt a
                                               currently does. Such offers: (1) Are                    reasonable reflection of a resource’s                 hard cap and provide cost recovery for
                                               subject to existing RTO/ISO market                      actual or expected short-run marginal                 resources with short-run marginal costs
                                               power mitigation procedures and are                     cost may be used to calculate LMPs.                   above $2,000/MWh to address practical
                                               not required to be cost-based; and (2)                     81. Second, the offer cap structure                concerns raised about the offer
                                               may be used to calculate LMPs. A                        and associated uplift payments                        verification process. As discussed
                                               resource may only submit an                             discussed further in section IV.B below               further below, some resources may not
                                               incremental energy offer equal to or                    give resources the opportunity to be                  know their actual short-run marginal
                                               above $1,000/MWh if the offer is cost-                  compensated for the short-run marginal                costs at the time they submit cost-based
                                               based, that is, if the offer accurately                 costs they incur to provide service,                  incremental energy offers.196
                                               reflects that resource’s actual or                      which achieves the price formation goal               Accordingly, the RTO/ISO or Market
                                               expected short-run marginal costs. For                  of ensuring that resources have an                    Monitoring Unit will have to verify that
                                               an incremental energy offer equal to or                 opportunity to recover their costs.                   such offers reasonably reflect the
                                               above $1,000/MWh and less than or                          82. Third, the offer cap structure                 associated resource’s expected short-run
                                               equal to $2,000/MWh, the RTO/ISO or                     adopted in this Final Rule will                       marginal costs, which necessarily
                                               Market Monitoring Unit must verify that                 encourage a resource to offer supply to               involves an estimate. Furthermore, the
                                               the offer is cost-based before the RTO/                 the market when it is needed most. A                  information that RTOs/ISOs and/or
                                               ISO may use the offer to calculate LMPs.                resource that is compensated for its                  Market Monitoring Units have to
                                               For an incremental energy offer above                   costs has an incentive to offer its supply            estimate and/or verify the short-run
                                               $2,000/MWh, the RTO/ISO or Market                       into the market even when those costs                 marginal costs of some resources may be
                                               Monitoring Unit must also verify that                   are high, which often occurs when                     imperfect. For example, as noted above,
                                               the offer is cost-based. Cost-based                     supplies are tight. Fourth, the offer cap             information about the short-run fuel
                                               incremental energy offers in excess of                  structure enables RTOs/ISOs to dispatch               costs of certain natural gas-fired
                                               $2,000/MWh will be capped at $2,000/                    the most efficient set of resources when              resources may be limited when natural
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                                               MWh for purposes of calculating LMPs.                                                                         gas supplies are scarce because publicly
                                               As such, the $2,000/MWh hard cap                          193 The $2,000/MWh hard cap requires that the       available natural gas indices may not be
                                                                                                       cost-based incremental energy offers that RTOs/       representative of the price that such
                                                 191 NESCOE    Comments at 2.                          ISOs may use to calculate LMPs may not exceed
                                                                                                       $2,000/MWh.
                                                                                                                                                             resources actually pay for fuel.197 Given
                                                 192 The  hard cap was not included in the proposal
                                                                                                         194 See supra P 2.
                                               set forth in the NOPR, but the Commission sought
                                                                                                         195 Specifically CAISO, ISO–NE, MISO, NYISO,          196 See   infra PP 105–108.
                                               comment on it. See NOPR, FERC Stats. & Regs. ¶
                                               32,714 at P 55.                                         and SPP.                                                197 See   supra P 63.



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                                               87782            Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               these limitations, we find it is                        result in the short-run marginal costs of                Commission has previously relied upon
                                               appropriate to include a hard cap to                    some natural gas-fired resources                         high and volatile natural gas prices as a
                                               ensure that LMPs calculated based on                    exceeding $1,000/MWh, over-the-                          justification for increasing offer caps.201
                                               verified cost-based incremental energy                  counter natural gas markets often lack                   This $2,000/MWh level was also
                                               offers above $1,000/MWh are just and                    liquidity or have wide bid-ask spreads,                  generally supported by Potomac
                                               reasonable.                                             which can make verification                              Economics.202 With respect to treatment
                                                  85. We disagree with Industrial                      challenging, particularly verification of                of cost-based incremental energy offers
                                               Customers that resources would have no                  expected costs. At those times, a market                 above $2,000/MWh, we expect RTOs/
                                               incentive to minimize their fuel costs if               participant’s expected costs could vary                  ISOs to use such offers to determine
                                               the offer cap is above $1,000/MWh                       significantly from its actual costs.                     merit-order dispatch. We note that the
                                               because, in the absence of market                       Although, as discussed further below,                    Commission allowed this approach
                                               power, resources have an incentive to                   only verified cost-based incremental                     when accepting PJM’s current offer cap
                                               compete with other resources in order to                energy offers above $1,000/MWh may be                    structure, in which PJM uses cost-based
                                               clear the RTO/ISO day-ahead and real-                   used to calculate LMPs subject to the                    incremental energy offers above $2,000/
                                               time energy markets. Any resource that                  $2,000/MWh hard cap. We find that, on                    MWh to determine merit order dispatch
                                               is able to procure natural gas at a cost                balance, a hard cap will reasonably limit                but limits cost-based incremental energy
                                               less than the cost that sets the LMP will               the adverse impact that any imperfect                    offers to $2,000/MWh for purposes of
                                               earn a profit and thus has a strong                     information about resources’ short-run                   calculating LMPs.203
                                               incentive to manage its fuel                            marginal costs during the verification                      91. We recognize that a $2,000/MWh
                                               procurement.                                            process could have on LMPs.                              hard cap leaves some possibility for
                                                  86. However, as part of the offer cap                   88. Second, we agree with MISO that                   price suppression when the marginal
                                               structure, we will require a hard cap of                a hard cap will be easier to integrate                   cost of production legitimately exceeds
                                               $2,000/MWh on offers that are used to                   with other market constructs that place                  $2,000/MWh. However, by allowing
                                               calculate LMPs. Under the hard cap, an                  caps or upper bounds on various market                   verified cost-based incremental energy
                                               RTO/ISO must place an upper limit, or                   elements (e.g., penalty factors associated               offers in the $1,000/MWh–$2,000/MWh
                                               hard cap, on the cost-based incremental                 with shortage pricing or violating                       range to set LMPs, we significantly
                                               energy offers that it uses to calculate                 transmission constraints).                               reduce the likelihood of such price
                                               LMPs.198 To implement the hard cap,                        89. We are not persuaded by                           suppression, and we find this balanced
                                               we modify the offer cap structure                       comments that a hard cap is duplicative                  approach just and reasonable.
                                               requirement proposed in the NOPR and                    of existing market power mitigation                         92. We decline to hold a technical
                                               adopt the following offer cap structure                 rules because existing market power                      workshop as suggested by NYISO or a
                                               requirement:                                            mitigation provisions in most RTOs/                      triennial review as suggested by Exelon
                                                                                                       ISOs only apply under certain                            to determine an appropriate level for the
                                                 A resource’s incremental energy offer must
                                               be capped at the higher of $1,000/MWh or
                                                                                                       circumstances, whereas this Final Rule                   hard cap because there is sufficient
                                               that resource’s cost-based incremental energy           essentially mitigates all incremental                    evidence in this record to support
                                               offer. For the purpose of calculating                   energy offers above $1,000/MWh to a                      $2,000/MWh as a just and reasonable
                                               Locational Marginal Prices, Regional                    level based on short-run marginal costs.                 value. Based on the record, we decline
                                               Transmission Organizations and                          Additionally, as noted above, the hard                   to adopt a lower hard cap level, such as
                                               Independent System Operators must cap                   cap is necessary to address concerns                     the $1,500/MWh value TAPS proposes,
                                               cost-based incremental energy offers at                 about the imperfect information that
                                               $2,000/MWh.
                                                                                                                                                                because this level is demonstrably lower
                                                                                                       RTOs/ISOs and/or Market Monitoring                       than cost-based incremental energy
                                                  87. We find that a hard cap is                       Units have about resources’ short-run                    offers observed during the Polar Vortex.
                                               necessary for two primary reasons. First,               marginal costs during the verification                   Additionally, the PJM Market Monitor
                                               a hard cap will address the fact that                   process.                                                 reported that on 54 occasions in early
                                               RTOs/ISOs and/or Market Monitoring                         90. Having determined that a hard cap                 2015, resources submitted cost-based
                                               Units may have imperfect information                    is necessary, we find that $2,000/MWh                    incremental energy offers at prices
                                               about resources’ short-run marginal                     is a just and reasonable level for that                  above $1,000/MWh.204
                                               costs during the verification process. As               hard cap based on the record in this
                                               discussed further in section IV.B below,                proceeding. Historically, high natural                   deserves our deference notwithstanding that there
                                               several commenters note that there may                  gas prices during the Polar Vortex                       might also be another reasonable view.’’). See also
                                               be imperfect information associated                     resulted in at least one resource with a                 Michigan Consol. Gas Co. v. F.E.R.C., 883 F.2d 117,
                                                                                                                                                                124 (1989) (‘‘It is also quite clear FERC may make
                                               with the verification of cost-based                     cost-based incremental energy offer of                   predictions—‘‘[m]aking . . . predictions is clearly
                                               incremental energy offers above $1,000/                 $1,724/MWh.199 Based on this                             within the Commission’s expertise’’ and will be
                                               MWh prior to the market clearing                        experience and noting that it occurred                   upheld if ‘‘rationally based on record evidence.’’)
                                               process because some of those offers                    in an otherwise low natural gas price                    (citing East Tennessee Natural Gas Co. v. FERC, 863
                                                                                                                                                                F.2d 932, 938–39 (1988) (citing Associated Gas
                                               will be based on a resource’s estimate of               environment, we expect that resources                    Distributors v. FERC, 824 F.2d 981, 1008 (1987)).
                                               its costs and RTOs/ISOs or Market                       may experience costs that approach but                      201 See California Indep. Sys. Operator Corp., 114

                                               Monitoring Units may not have perfect                   are unlikely to exceed $2,000/MWh.                       FERC ¶ 61,026, at P 25 (2006) (In CAISO, natural
                                               information with which to estimate                      With a hard cap of $2,000/MWh, we                        gas prices rose from $3–$4/MMBtu when the bid
                                                                                                       find that resources will be able to                      cap in CAISO was $250/MWh to $14/MMBtu.
                                               those costs. Additionally, as noted by                                                                           Based on this information, the Commission found
                                               market monitors, when natural gas spot                  recover those costs and that LMPs will                   ‘‘that raising the bid cap is justified by the well-
                                               market prices rise to levels that could                 reflect marginal costs.200 The
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                                                                                                                                                                documented rise in gas prices’’ and accepted
                                                                                                                                                                CAISO’s proposal to raise the bid cap from $250/
                                                 198 We note that PJM currently permits resources         199 NOPR, FERC Stats. & Regs. ¶ 32,714 at P 13        MWh to $400/MWh.).
                                                                                                                                                                   202 Potomac Economics Comments at 8.
                                               to submit cost-based incremental energy offers          (citing PJM 2014 Offer Cap Order I, 146 FERC ¶
                                               above its current $2,000/MWh hard cap, and PJM          61,041 at P 2).                                             203 PJM 2015 Offer Cap Order, 153 FERC ¶ 61,289

                                               may use such offers to dispatch resources. However,        200 See Envtl. Action, Inc. v. FERC, 939 F.2d 1057,   at P 11.
                                               incremental energy offers are capped at $2,000/         1064 (D.C. Cir. 1991) (‘‘it is within the scope of the      204 Monitoring Analytics, Report on PJM Energy

                                               MWh for purposes of calculating LMPs. See PJM           agency’s expertise to make such a prediction about       Market Offers January 16 to March 31, 2015, at 2
                                               2015 Offer Cap Order, 153 FERC ¶ 61,289.                the market it regulates, and a reasonable prediction     (May 1, 2015), available at http://



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                                                                Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                                   87783

                                                  93. With respect to APPA, NRECA,                     Marginal Prices. In such circumstances a              litigation costs associated with re-
                                               and AMP’s argument that concerns over                   resource would be eligible for a make-whole           running markets after-the-fact in the
                                               seams do not justify revising RTO/ISO                   payment if that resource clears the energy            event that an LMP is subsequently
                                                                                                       market and the resource’s costs are verified
                                               offer caps, particularly because the                    after-the-fact.207                                    found not to be cost-justified.214 PG&E
                                               Commission accepted PJM’s current                                                                             and SCE generally support the
                                               $2,000/MWh offer cap, we reiterate that                   97. The Commission reasoned that                    prevention of unverified incremental
                                               the Commission’s finding in that order                  this requirement would ensure that the                energy offers above $1,000/MWh from
                                               was limited to the facts in that record.                proposal results in LMPs that reflect the             setting the LMP, although PG&E does
                                               In accepting PJM’s proposal, the                        marginal cost of production during                    not support the proposal overall.215
                                               Commission stated that it would not                     intervals when the marginal resource’s
                                               prejudge broader reforms in the price                   short-run marginal cost exceeds $1,000/                  101. PJM Joint Consumer Advocates
                                               formation proceeding.205                                MWh. Further, in the NOPR, the                        argue that the only way to protect
                                                  94. We decline to hold, as CAISO                     Commission preliminarily found that                   consumers from unfair prices is to verify
                                               suggests, a technical workshop on                       the verification requirement was                      offers prior to the market clearing
                                               implementation challenges. We expect                    necessary to reduce the potential                     process and that fairness demands such
                                               that any issues regarding the                           exercise of market power by resources,                a review, even if the verification process
                                               implementation of this Final Rule will                  which could result in unjust and                      is technically complex. PJM Joint
                                               be raised by RTOs/ISOs on compliance,                   unreasonable rates.208                                Consumer Advocates assert that market-
                                               and the Commission will address them                                                                          based offers, which are not strictly tied
                                                                                                       2. Comments
                                               at that time. We also decline to                                                                              to costs, should not be eligible to set
                                               implement a $400/MWh cap on                                98. As discussed further below, the                LMP because they would unfairly
                                               incremental energy offers that are not                  Commission received several comments                  inflate costs to consumers and result in
                                               cost-based, as some commenters have                     about the proposed verification                       a windfall for suppliers.216
                                               suggested. We find that the fact that                   requirement. Comments about the
                                                                                                       proposed verification requirement focus                  102. Other commenters assert that the
                                               resources rarely submit incremental                                                                           verification requirement is
                                               energy offers above $400/MWh does not                   on whether it is needed and what type
                                                                                                       of verification would be acceptable and               unnecessary 217 or unduly
                                               indicate that allowing resources to                                                                           cumbersome.218 Potomac Economics
                                               submit incremental energy offers as high                feasible. A number of commenters
                                                                                                       generally support the proposed                        and PJM Power Providers argue that cost
                                               as $1,000/MWh which are not cost-                                                                             verification is unnecessary given other
                                               based (referred to as ‘‘market-based                    verification requirement, but they
                                                                                                       express concerns or seek clarification                RTO/ISO market constructs.219 Potomac
                                               offers’’ in PJM) will result in unjust and                                                                    Economics states that the justification
                                               unreasonable rates.                                     about the proposed verification
                                                                                                       requirement.209                                       for the proposed verification
                                                  95. In response to MISO’s suggestion
                                                                                                                                                             requirement is limited because
                                               that future adjustments to the offer cap                a. Need for the Verification Requirement              competition is not diminished during
                                               may be needed in response to market-                       99. Commenters disagree about                      the fuel price spikes that could cause a
                                               based solutions that increase demand                    whether the proposed verification                     resource’s short-run marginal costs to
                                               elasticity or resource mix changes, we                  requirement for cost-based incremental
                                               decline to speculate as to what changes                                                                       exceed $1,000/MWh. Potomac
                                                                                                       energy offers above $1,000/MWh is                     Economics also argues that existing
                                               may or may not be necessary in the                      necessary to reduce the potential
                                               future.                                                                                                       RTO/ISO market power mitigation
                                                                                                       exercise of market power. Several                     measures address market power
                                               B. Cost Verification                                    commenters support the verification                   concerns.220 PJM Power Providers state
                                                                                                       requirement,210 some asserting that the               that the verification requirement is
                                               1. NOPR Proposal
                                                                                                       verification requirement is a critical                unnecessary because resources have the
                                                  96. In the NOPR, the Commission                      element of the proposal.211                           incentive to submit incremental energy
                                               proposed the requirement that cost-                        100. OMS contends that the                         offers that reflect actual costs. PJM
                                               based incremental energy offers above                   verification requirement protects retail              Power Providers assert that the threat of
                                               $1,000/MWh be verified by the RTO/                      consumers from unlimited and                          an investigation from the Commission’s
                                               ISO or Market Monitoring Unit prior to                  unjustified wholesale price increases.212             Office of Enforcement and possible
                                               being used to calculate LMPs                            The Delaware Commission and TAPS                      associated fines incent good behavior
                                               (verification requirement).206 The                      assert that the verification requirement              and discourage the exercise of market
                                               Commission proposed the following                       is necessary to address market power                  power.221 Industrial Energy Consumers
                                               verification requirement:                               concerns.213 TAPS states that although                also state that the NOPR could lead
                                                 The costs underlying a resource’s cost-               it opposes revisions to the offer cap, the            markets to become more complicated
                                               based incremental energy offer above $1,000/            proposed verification requirement is
                                               MWh must be verified before that offer can              needed to protect the integrity of the                     214 TAPS   Comments at 12–13.
                                               be used for purposes of calculating                     RTO/ISO markets and will help avoid                        215 PG&E   Comments at 1–3; SCE Comments at 1–
                                               Locational Marginal Prices. If a resource
                                                                                                                                                             2.
                                               submits an incremental energy offer above                 207 Id.                                                  216 PJM   Joint Consumer Advocates Comments at
                                               $1,000/MWh and the costs underlying that                  208 Id. P 57.                                       5.
                                               offer cannot be verified before the market                 209 ISO–NE Comments at 6; NYISO Comments at          217 Potomac Economics Comments at 12; PJM
                                               clearing process begins, that resource’s                2; PJM/SPP Comments at 2–3; TAPS Comments at          Power Providers Comments at 5.
                                               incremental energy offer in excess of $1,000/
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                                                                                                       12.                                                     218 OMS Comments (on behalf of Texas
                                               MWh may not be used to calculate Locational                210 SCE Comments at 1–2; PG&E Comments at 1–       Commission) at 3 n.7.
                                                                                                       3; NY Transmission Owners Comments at 3.                219 Potomac Economics Comments at 12; PJM

                                               www.monitoringanalytics.com/reports/Reports/               211 Golden Spread Comments at 3; Delaware          Power Providers Comments at 5.
                                               2015/IMM_Informational_Filing_Docket_No_EL15-           Commission Comments at 11; TAPS Comments at             220 Potomac Economics Comments at 12.
                                               31-000_20150505.pdf.                                    12; NESCOE Comments at 3.                               221 Exelon Comments at 9; PJM Power Providers
                                                  205 PJM 2015 Offer Cap Order, 153 FERC ¶ 61,289         212 OMS Comments at 3.
                                                                                                                                                             Comments at 5 (citing Public Citizen, Inc. v.
                                               at P 55.                                                   213 Delaware Commission Comments at 11; TAPS       Midcontinent Indep. Sys. Operator, Inc., 154 FERC
                                                  206 NOPR, FERC Stats. & Regs. ¶ 32,714 at P 56.      Comments at 12–13.                                    ¶ 61,224, at P 88 (2016)).



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                                               87784              Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               and opaque, potentially leading to                        they submit incremental energy offers to              substantiate risks on either an before-
                                               unintended consequences.222                               the RTO/ISO markets, and thus ISO–NE                  the-fact or after-the-fact basis.235
                                                                                                         and PJM/SPP state that such resources                 Additionally, EEI states that a resource
                                               b. Verification Standard
                                                                                                         often submit offers based on the cost                 that is not committed or not fully
                                                  103. The Commission sought                             that the resources expect to pay for                  committed in the day-ahead market may
                                               comment on the Market Monitoring                          natural gas on the natural gas spot                   not procure enough natural gas to meet
                                               Unit’s or RTO’s/ISO’s ability to timely                   market.226 For example, PJM/SPP state                 its full output in the real-time market
                                               verify cost-based incremental energy                      that some natural gas resources procure               and may need to purchase fuel in the
                                               offers above $1,000/MWh prior to the                      all or part of their natural gas                      intra-day natural gas market where
                                               day-ahead or real-time market clearing                    requirements in the daily natural gas                 prices are significantly higher and more
                                               process.223 In response, the Commission                   spot market, which is more volatile than              volatile than the day-ahead natural gas
                                               received a wide array of comments                         month-ahead index prices because of                   market.236
                                               about the feasibility of the proposed                     changes in commodity prices and
                                               verification requirement and the                                                                                ii. Cost Verification During Peak Periods
                                                                                                         weather, as well as interstate natural gas
                                               challenges associated with                                pipeline capacity curtailments and                       109. Several commenters state that the
                                               implementing the requirement.                             maintenance activities.227                            challenges associated with pre-
                                                  104. Many of the comments                                 107. Comments from market monitors                 verification become more acute during
                                               highlighted the difference between                        also suggest that some natural gas                    stressed system conditions when natural
                                               verification of actual costs and                          resources do not know their actual fuel               gas supplies are limited, which is
                                               verification of expected costs. They                      costs at the time they submit offers.228              precisely when resources may have
                                               noted that because verification has to                    For example, the ISO–NE Market                        incremental energy costs above $1,000/
                                               occur before the market runs,                             Monitor states that natural gas resources             MWh.237
                                               verification of actual costs was more                     that have not purchased natural gas in                   110. PJM states that higher natural gas
                                               difficult than verification of expected                   advance submit offers based on their                  prices have led to higher cost-based
                                               costs. Indeed, several commenters                         best estimate of what they expect to pay              incremental energy offers from
                                               contend that it is not possible prior to                  for natural gas in real-time.229 Potomac              resources, but verifying resource costs
                                               the market clearing process to verify                     Economics and the ISO–NE Market                       with natural gas price indices can be
                                               that a resource’s cost based-incremental                  Monitor state that resources submit                   challenging because there is not a strong
                                               energy offer equals that resource’s                       initial incremental energy offers 230 or              or straightforward correlation between
                                               actual costs.224 Commenters raise two                     updates to their cost-based incremental               changes in natural gas index prices and
                                               key obstacles to the verification of a                    energy offers 231 based on expected,                  the magnitude of changes in cost-based
                                               resource’s actual costs prior to the                      rather than actual costs. Potomac                     offers, particularly when cost-based
                                               market clearing process: (1) Some                         Economics adds that such offers reflect               incremental energy offers in PJM are
                                               natural gas resources do not know their                   a resource’s expectation of its costs, and            high.238 ISO–NE argues that indices may
                                               actual costs at the time they submit                      these costs may be subject to substantial             not fairly represent the fuel prices that
                                               offers; and (2) natural gas resource fuel                 uncertainty and thus cannot be verified               resources must pay, particularly when
                                               costs are particularly difficult to verify                in advance.232 The ISO–NE Market                      natural gas supplies are tight.239 ISO–
                                               during periods when natural gas                           Monitor, Potomac Economics, and the                   NE notes that there may be scant
                                               supplies are scarce. Each obstacle is                     SPP Market Monitor conclude that strict               independent or timely information on
                                               discussed in turn below.                                  verification of a resource’s actual costs             natural gas resources’ costs during such
                                                                                                         prior to the market clearing process is               times.240 Various commenters explain
                                               i. Resource Cost Uncertainty When                         not possible.233                                      that during such times, natural gas
                                               Submitting Offers                                            108. Generators also state that                    resources must often purchase natural
                                                  105. Many commenters, including                        verification of actual costs may not be               gas outside of the exchange trading
                                               RTOs/ISOs, market monitors, and                           possible because some natural gas                     platforms 241 through bilateral deals that
                                               generators, assert that because some                      resources can only submit an estimate of              are not reported on such exchanges, and
                                               resources, specifically natural gas                       their expected fuel costs.234 For                     that a significant amount of such
                                               resources, do not know their actual fuel                  example, Exelon states that when a                    purchases tends to make natural gas
                                               procurement costs when they submit                        resource submits a day-ahead offer,
                                               incremental energy offers to the RTO/                     which is due 24–48 hours prior to actual                235 Exelon  Comments at 11–17.
                                                                                                                                                                 236 EEI  Comments at 5–6.
                                               ISO, it is impossible to verify the                       dispatch, that resource must consider
                                                                                                                                                                  237 See generally Dominion Comments at 4–5;
                                               incremental energy offers of such                         numerous costs and may have to make
                                                                                                                                                               PJM/SPP Comments 11; ISO–NE Comments at 4–5;
                                               resources prior to the market clearing                    complicated and somewhat imprecise                    SPP Market Monitor Comments at 7; PJM Market
                                               process.225                                               judgments to predict future events,                   Monitor Comments at 6; EEI Comments at 6; Exelon
                                                  106. ISO–NE, MISO, and PJM/SPP                         which makes it difficult to quantify and              Comments at 13–14; PJM Power Providers
                                                                                                                                                               Comments at 3.
                                               state that some natural gas resources                                                                              238 PJM/SPP Comments at 11 (citing Attachment
                                               have not procured fuel by the time that                      226 ISO–NE Comments at 5; MISO Comments at
                                                                                                                                                               A). Attachment A presents an analysis of cost-based
                                                                                                         9; PJM/SPP Comments at 9.
                                                                                                            227 PJM/SPP Comments at 9–10.
                                                                                                                                                               incremental energy offers and natural gas prices
                                                 222 IndustrialEnergy Consumers Comments at 2.                                                                 during the winters of 2013/14, 2014/15, and 2015/
                                                                                                            228 ISO–NE Market Monitor Comments at 7;
                                                 223 NOPR,  FERC Stats. & Regs. ¶ 32,714 at P 59.                                                              16. The analysis in Attachment A shows that for
                                                  224 EEI Comments at 6; Exelon Comments at 11;
                                                                                                         Potomac Economics Comments at 4; SPP Market           cost-based offers in the $500/MWh–$750/MWh
                                                                                                         Monitor Comments at 9.                                range, the median gas price corresponding to the
                                               IRC Comments at 2–3; ISO–NE Comments at 2, 6–                229 ISO–NE Market Monitor Comments at 7.
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                                               7; MISO Comments at 9; PJM/SPP Comments at 12–                                                                  range of offers was $10.44/MMBtu in the 2013/14
                                                                                                            230 Potomac Economics Comments at 4.
                                               13; Potomac Economics Comments at 3–4; SPP                                                                      winter, $15.62 MMBtu in the 2014/15 winter, and
                                                                                                            231 ISO–NE Market Monitor Comments at 7.           $3.75/MMBtu in the 2015/16 winter.
                                               Market Monitor Comments at 9.
                                                  225 Dominion Comments at 5; Exelon Comments               232 Potomac Economics Comments at 4.                  239 ISO–NE Comments at 4–5.
                                                                                                            233 ISO–NE Market Monitor Comments at 4;              240 Id.
                                               at 16; ISO–NE Market Monitor Comments at 7; ISO–
                                               NE Comments at 6; MISO Comments at 9; PJM                 Potomac Economics Comments at 3–4; SPP Market            241 Industrial Customers Comments at 16; ISO–NE

                                               Market Monitor Comments at 6; PJM/SPP                     Monitor Comments at 9.                                Comments at 4–5; ISO–NE Market Monitor
                                               Comments at 10; Potomac Economics Comments at                234 Dominion Comments at 5; Exelon Comments        Comments at 8; PJM Market Monitor Comments at
                                               3–5; SPP Market Monitor Comments at 9.                    at 11–16.                                             6; SPP Market Monitor Comments at 7.



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                                                                Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                             87785

                                               indices less representative of the price                actual short-run marginal costs is not                challenges associated with before-the-
                                               natural gas resources pay for natural                   possible within the timeframe of the                  fact verification, Industrial Customers
                                               gas.242                                                 RTO/ISO day-ahead and real-time                       argue that the proposal in the NOPR
                                                  111. The ISO–NE., PJM, and SPP                       market clearing process.250                           may not be beneficial because pre-
                                               market monitors state that cost                            113. For example, Potomac                          verification presents significant
                                               verification is most challenging when                   Economics states that time constraints                challenges given time constraints.258
                                               natural gas demand is high because of                   will make the proposal infeasible if the              KEPCo/NCEMC states that RTOs/ISOs
                                               low liquidity and high bid-ask spreads                  proposed verification requires that                   may not be in a position to verify cost-
                                               for natural gas purchased on open                       resource cost data be collected and fully             based incremental energy offers prior to
                                               exchanges such as the ICE.243 For                       validated to actual cost prior to market              market clearing without substantial
                                               example, the PJM Market Monitor and                     clearing.251 The ISO–NE Market                        investment in both new technology and
                                               the ISO–NE Market Monitor state that                    Monitor states that the lack of solid                 significant changes to the existing RTO/
                                               the natural gas market is least                         information about natural gas prices on               ISO tariffs and business practice
                                               transparent on days with very high                      high-volatility, low-liquidity days                   manuals.259 KEPCo/NCEMC argues that
                                               electric demand and that the ICE index                  makes validation of a resource’s                      the verification requirement involves
                                               is likely to be unsuitable for verification             expected short-run marginal costs                     substantial technological and regulatory
                                               purposes because there are either no                    difficult, particularly if many resources             costs for wholesale market participants,
                                               completed trades reported, a low                        seek to update their cost-based                       which KEPCo/NCEMC asserts are
                                               number of completed gas trades (i.e.,                   incremental energy offers.252 The PJM                 unwarranted given the limited nature of
                                               low liquidity), or the bid-ask spread is                Market Monitor notes that in PJM, a                   the problem with the current RTO/ISO
                                               so wide as to be meaningless.244 The                    large volume of data, including                       offer caps.260
                                               SPP Market Monitor states that the risk                 information from approximately 420                       116. EEI maintains that the NOPR
                                               inherent in determining accurate fuel                   gas-fired resources and about 35 gas                  proposal is heavily dependent on
                                               costs from natural gas indices is                       trading points, must be processed to                  having a verification process that is not
                                               acceptable in most periods, but that the                review cost-based incremental energy                  so cumbersome as to prevent a
                                               risk increases to unacceptable levels                   offers.253 The SPP Market Monitor states              resource’s cost based incremental
                                               during extremely stressed fuel supply                   that verification prior to market clearing            energy offer from being verified in time
                                               conditions.245 Comments from                            may not be feasible in SPP given the                  to be used in the LMP calculation. It
                                               generators also suggest that natural gas                tight timeline, particularly during                   argues that the use of make-whole
                                               indices become less reliable during                     sudden fuel shortages and fuel price                  payments would not serve the
                                               periods when natural gas supplies are                   spikes, and adds that it would need                   Commission’s goal of having clearing
                                               limited and natural gas prices spike.246                additional technical capabilities for                 prices that reflect the true marginal cost
                                               Dominion and Exelon assert that                         such verification.254 The SPP Market                  of production, taking into account all
                                               purchasing natural gas outside of an                    Monitor states that the proposal could                physical constraints.261 NEI states that
                                               exchange through marketers or bilateral                 also negatively affect RTO/ISO market
                                                                                                                                                             the manner in which the verification is
                                               deals also increases the risks that a                   monitors’ ability to conduct timely
                                                                                                                                                             performed is a key concern, and without
                                               natural gas resource faces when it                      market power mitigation under the
                                                                                                                                                             a simple and efficient process, there is
                                               formulates its bid, and can increase the                proposed timeline because market
                                                                                                                                                             risk that the LMP will not reflect the
                                               error associated with a resource’s                      monitors would be required to perform
                                                                                                                                                             true costs of operating the system
                                               estimate of its actual costs.247                        cost verification and market mitigation
                                                                                                                                                             because it will exclude offers above the
                                                                                                       before completion of the market clearing
                                               c. Feasibility of Verification                                                                                cap. NEI maintains that an alternative
                                                                                                       process.255
                                               Requirement                                                114. Industrial Customers argue that               approach would be warranted if market
                                                  112. The Commission sought                           market monitors cannot be expected to                 monitors cannot validate incremental
                                               comment on the feasibility of the                       have the ability to assess the legitimacy             energy offers in excess of $1,000/MWh
                                               proposed verification requirement.248                   of the cost component of resource offers              quickly and efficiently.262 Competitive
                                               As discussed further below, ISO–NE,                     in real-time.256 Industrial Customers                 Suppliers contend that the proposed
                                               MISO, and NYISO state that current                      add that even if a resource has a natural             verification requirement would result in
                                               mitigation procedures could satisfy the                 gas invoice with a high price and                     cost-based offers above $1,000/MWh
                                               proposed verification requirement if the                provides it to the market monitor, this               being unable to set the LMP because
                                               Commission clarifies that the                           alone does not provide adequate                       cost verification prior to the market
                                               verification process can include                        consumer protection because the market                clearing process is not possible.263
                                               expected, rather than actual, costs.249                 monitor must investigate, understand,                    117. Competitive Suppliers argue that
                                               Several commenters express concerns                     and accept the dynamics that led to that              removing the offer cap entirely or
                                               that timely verification of a resource’s                invoice.257                                           increasing it significantly would
                                                                                                          115. Citing CAISO’s prior comments                 alleviate any challenges inherent in a
                                                  242 ISO–NE Market Monitor Comments at 8; PJM         about practical implementation                        before-the-fact cost verification
                                               Market Monitor Comments at 6.                                                                                 process.264 Similarly, NEI states that
                                                  243 ISO–NE Market Monitor Comments at 8; PJM           250 Exelon Comments at 11; Industrial Customers     instead of the verification requirement,
                                               Market Monitor Comments at 6; SPP Market                Comments at 13–16; ISO–NE Market Monitor              the Commission should lift caps to a
                                               Monitor Comments at 7.                                  Comments at 9; Joseph Margolies Comments at 13;
                                                  244 ISO–NE Market Monitor Comments at 7–8;           Potomac Economics Comments at 3–4; SPP Market
                                                                                                                                                               258 Id. at 14–16 (citing CAISO Post-Technical
                                               PJM Market Monitor Comments at 6.                       Monitor Comments at 2, 7, 9.
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                                                  245 SPP Market Monitor Comments at 7.                  251 Potomac Economics Comments at 3–4.              Workshop Comments, Docket No. AD14–14–000, at
                                                  246 EEI Comments at 6; Exelon Comments at 13–          252 ISO–NE Market Monitor Comments at 9.            4–6 (Mar. 6, 2015)).
                                                                                                                                                               259 KEPCo/NCEMC Comments at 5.
                                               14; PJM Power Providers Comments at 3.                    253 PJM Market Monitor Comments at 7.
                                                  247 Dominion Comments at 5; Exelon Comments            254 SPP Market Monitor Comments at 2, 7, 9, 10–       260 Id.
                                                                                                                                                               261 EEI Comments at 5.
                                               at 13–14.                                               11.
                                                  248 NOPR, FERC Stats. & Regs. ¶ 32,714 at PP 59,       255 Id. at 9.                                         262 NEI Comments at 4.

                                               73.                                                       256 Industrial Customers Comments at 14.              263 Competitive Suppliers Comments at 17–18.
                                                  249 See infra PP 126–127.                              257 Industrial Customers Comments at 19.              264 Id.




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                                               87786            Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               level that does not artificially constrain              based incremental energy offer cannot                    123. Several commenters maintain
                                               LMPs.265                                                be verified even after the market has                 that a prior-to-the-market-clearing
                                                  118. Midcontinent Joint Consumer                     run, then that resource’s cleared energy              verification process that requires cost-
                                               Advocates and TAPS argue that it is                     should instead be compensated at the                  based offers be equal to actual costs will
                                               possible to perform the proposed cost                   LMP.273 PJM Power Providers and                       likely result in fewer incremental energy
                                               verification prior to the market clearing               Competitive Suppliers assert that even                offers above $1,000/MWh that are
                                               process.266 Midcontinent Joint                          after-the-fact verification of a resource’s           eligible to set LMP.282 For example, EEI
                                               Consumer Advocates state that the                       costs will be challenging, and, according             states that its primary concern with the
                                               MISO Market Monitor has publicly                        to Competitive Suppliers, it will be                  NOPR is the verification process and
                                               confirmed its ability to verify offers                  particularly challenging for natural gas              whether it is workable.283 The ISO–NE
                                               prior to market clearing and that it                    resources that have complex fuel supply               Market Monitor and PJM/SPP state that
                                               currently tracks fuel prices that could be              arrangements.274                                      there is a trade-off between the level of
                                               used to make adjustments to gas and                        120. Competitive Suppliers state that              precision of the cost-based offer
                                               fuel costs included in a MISO resource’s                in some instances, a resource may not                 verification, the number of offers that
                                               cost-based incremental energy offer.267                 be able to use the RTO’s/ISO’s                        will be eligible to set LMPs, and the
                                               According to TAPS, MISO’s current                       verification process to set the market                level of uplift.284
                                               process for developing and updating                     clearing price (for offers above $1,000/                 124. Several commenters ask the
                                               cost-based incremental offers for                       MWh) and in such rare cases, it may be                Commission to indicate the types of
                                               resources is workable because the vast                  necessary to compensate that resource                 verification processes it would
                                               majority of resources will never                                                                              accept.285 ISO–NE., MISO, and NYISO
                                                                                                       through an uplift payment based on
                                               experience cost levels close to $1,000/                                                                       state that their current process for
                                                                                                       after-the-fact cost verification.275
                                               MWh, and the resources that are likely                                                                        developing and updating cost-based
                                                                                                       Competitive Suppliers assert that if a
                                               to reach such levels should have already                                                                      incremental energy offers, known as
                                                                                                       resource incurs justifiable and
                                               provided the Market Monitoring Unit                                                                           reference levels, could comply with the
                                                                                                       demonstrable short-run marginal costs,
                                               with up-to-date information about their                                                                       proposal as clarified to include
                                                                                                       those costs should be recovered so that
                                               heat rates, which will allow the Market                                                                       estimated costs.286
                                                                                                       the resource does not operate at a loss                  125. CAISO states that the simplest
                                               Monitoring Unit to quickly calculate                    and so that the resource is not
                                               cost-based incremental energy offers for                                                                      method of verifying cost-based
                                                                                                       discouraged from offering supply to the               incremental energy offers would involve
                                               such resources.268 TAPS states that                     market.276
                                               MISO’s current methodology for                                                                                reviewing a broker quote or
                                                                                                          121. NEI states that, given that the               procurement invoice provided as
                                               verification of cost-based incremental
                                                                                                       Commission’s price formation reforms                  evidence of a resource’s costs, but
                                               offers could be modified and adapted in
                                                                                                       are aimed at reducing the use of out-of-              CAISO questions whether such
                                               all RTOs/ISOs.269
                                                                                                       market payments, NEI is disappointed                  information would be sufficient.287
                                               d. Uplift Payments                                      by the NOPR proposal to include uplift                CAISO predicts that incremental energy
                                                  119. Several stakeholders commented                  payments as a fall back if before-the-fact            offers above $1,000/MWh are not likely
                                               on the after-the-fact review of costs in                cost verification proves infeasible in                to be eligible to set the clearing price in
                                               the event that the RTO/ISO or Market                    practice.277 However, Direct Energy                   CAISO and that instead a resource with
                                               Monitoring Unit is unable to verify a                   states that if a resource’s verified cost-            costs above $1,000/MWh would receive
                                               resource’s incremental energy offer                     based incremental energy offer exceeds                an uplift payment, assuming that the
                                               above $1,000/MWh prior to the market                    the cap, that resource should be entitled             resource’s costs were verified after-the-
                                               clearing process.270 MISO states that                   to full cost recovery of RTO/ISO                      fact.288
                                               market participants should be required                  approved costs through uplift.278                        126. PJM/SPP state that the principles
                                               to consult with the Market Monitoring                                                                         outlined in the NOPR are sound,
                                                                                                       e. Specific Proposals for the Verification
                                               Unit before the submission of an offer in                                                                     provided that the Final Rule allows
                                                                                                       Requirement
                                               order for that market participant to be                                                                       RTOs/ISOs flexibility to design
                                               eligible for make-whole payments after-                   122. Given the concerns about                       verification procedures that are
                                               the-fact, and asserts that market                       verification of actual costs, several                 consistent with current RTO/ISO
                                               participants should not be eligible for                 commenters, including RTOs/ISOs,279                   rules.289 PJM/SPP outline conceptual
                                               cost recovery above their offers just                   Market Monitoring Units,280 and other                 initial proposals for verification, but
                                               because in hindsight, their offers were                 stakeholders,281 request that the                     stress the need to provide RTOs/ISOs
                                               below their actual costs.271 PG&E states                Commission clarify that if it is not                  with latitude to develop the final
                                               that if a cost-based incremental energy                 possible to verify a resource’s actual                verification process with
                                               offer is verified after the market has run,             costs prior to setting LMP, it will accept            stakeholders.290 PJM presents a possible
                                               energy cleared from such an offer                       a process that verifies that a resource’s             verification process that involves an
                                               should be compensated on an ‘‘as bid’’                  incremental energy offer reasonably                   automatic screen to filter out
                                               basis.272 PG&E maintains that if a cost-                reflects that resource’s expected costs.              unreasonably high offers and to create a
                                                                                                                                                             range of reasonableness based on an
                                                 265 NEI                                                 273 Id.
                                                          Comments at 4.
                                                 266 Midcontinent                                         274 Competitive Suppliers Comments at 19; PJM        282 CEA    Comments at 5; EEI Comments at 5.
                                                                   Joint Consumer Advocates
                                               Comments at 5; TAPS Comments at 13–15.                  Power Providers Comments at 4.                          283 EEI   Comments at 5.
                                                 267 Midcontinent Joint Consumer Advocates                275 Competitive Suppliers Comments at 20–21.          284 ISO–NE Market Monitor Comments at 5; PJM/
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                                               Comments at 5.                                             276 Id. at 21.                                     SPP Comments at 13.
                                                 268 TAPS Comments at 13–14.                              277 NEI Comments at 4.                                285 CEA Comments at 6; IRC Comments at 2.

                                                 269 Id. at 14–15.                                        278 Direct Energy Comments at 3.                      286 ISO–NE Comments at 6; MISO Comments at

                                                 270 Competitive Suppliers Comments at 19; MISO           279 ISO–NE Comments at 4–7; NYISO Comments         8; NYISO Comments at 2.
                                                                                                                                                                287 CAISO Comments at 11.
                                               Comments at 10; PG&E Comments at 3; PJM Power           at 2; PJM/SPP Comments at 12–13.
                                               Providers Comments at 4.                                   280 Potomac Economics Comments at 3–4; ISO–           288 Id.
                                                 271 MISO Comments at 10.                              NE Market Monitor Comments at 4.                         289 PJM/SPP Comments at 2–3.
                                                 272 PG&E Comments at 3.                                  281 EEI Comments at 6–7; Exelon Comments at 17.       290 Id. at 14–21.




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                                                                Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                                87787

                                               index of natural gas prices, the bid/ask                and updating reference levels would                    significant penalties for rule violations
                                               spread, and resource heat rates.291 PJM                 comply with a Final Rule which                         determined during the after-the-fact
                                               states that the verification requirement                clarified that before-the-fact verification            review. According to the PJM Market
                                               could use a screening process that                      of a resource’s expected costs is                      Monitor, a resource should be required
                                               determines whether certain resources’                   acceptable.300 Potomac Economics                       to have in place a fuel cost policy that
                                               incremental energy offers in a given area               explains that in MISO, cost-based offers               has been approved by both the PJM
                                               are within ten percent or $100/MWh of                   are calculated on the day before every                 Market Monitor and PJM before the
                                               a benchmark offer based on a natural gas                operating day based on next-day fuel                   resource is able to submit an offer in
                                               price index.292 SPP states that it could                price indices.301 In real-time, the MISO               excess of $1,000/MWh.308 The PJM
                                               develop additional rules that facilitate                Market Monitor (i.e., Potomac                          Market Monitor states that if a
                                               resources’ submission of the fuel cost                  Economics), reviews natural gas prices                 resource’s cost-based incremental
                                               component of their cost-based                           on ICE at various delivery points, and if              energy offer above $1,000/MWh is used
                                               incremental energy offers that is                       natural gas prices rise significantly                  in the market clearing process, the PJM
                                               consistent with the resource’s actual                   compared to the next-day fuel index, the               Market Monitor would perform a timely
                                               costs where possible, or that is a                      MISO Market Monitor adjusts the cost-                  after-the-fact review to determine
                                               reasonably accurate representation of                   based incremental energy offers of any                 whether a resource’s offer was based
                                               those costs. SPP states that given the                  affected resources.302 Potomac                         upon the best information available at
                                               need to approximate fuel costs that are                 Economics adds that a MISO resource                    the time the resource submitted the
                                               difficult to verify, in most cases such a               can also consult with the Market                       cost-based incremental energy offer.309
                                               verification process could be subject to                Monitor and request to raise its cost-                 The PJM Market Monitor states that, in
                                               a reasonable margin of error.293                        based offer beyond this adjustment if                  cases where an offer above $1,000/MWh
                                                  127. ISO–NE states that if its current               the resource provides supporting                       is not permitted, the PJM Market
                                               cost verification process is acceptable to              information, which may or may not be                   Monitor would perform a timely after-
                                               the Commission, then the offer cap                      approved.303                                           the-fact review to determine the actual
                                               proposal may be workable and would                         130. Potomac Economics explains that
                                                                                                                                                              incurred costs of a resource, and uplift
                                               help improve price formation if high                    a NYISO resource may also request to
                                                                                                                                                              would be paid if the costs exceeded the
                                               fuel prices cause generation costs to                   update its cost-based incremental
                                                                                                                                                              market clearing price.310 Any uplift
                                               exceed $1,000/MWh.294 MISO contends                     energy offer through a software process
                                                                                                                                                              payments for such offers would be
                                               that its current process to establish and               that automatically permits such an
                                                                                                                                                              based on the actual gas cost incurred.
                                               adjust cost-based offers can be used to                 increase, provided the increase does not
                                                                                                                                                              The PJM Market Monitor also
                                               verify incremental energy offers above                  exceed a predetermined threshold.304
                                                                                                                                                              recommends that the $1,000/MWh offer
                                               $1,000/MWh.295 NYISO also states that                   Potomac Economics maintains that
                                                                                                                                                              cap apply to a resource’s ‘‘operating
                                               its current review process of a resource’s              NYISO may need to adjust the
                                               incremental energy costs could be used                  validation threshold to account for                    rate,’’ which is calculated by adding a
                                               to satisfy the proposed verification                    periods of unusually high fuel price                   resource’s incremental offer to its no-
                                               requirement.296                                         volatility, but that with such an                      load offer.311
                                                  128. The ISO–NE Market Monitor                       adjustment, NYISO’s current                               132. The PJM Market Monitor also
                                               states that the Commission should                       verification process could comply with                 maintains that it is essential that any
                                               revise the proposed verification                        the proposal.305                                       verification process include a rigorous
                                               requirement to permit use of ISO–NE’s                      131. The PJM Market Monitor                         and timely after-the-fact review and a
                                               current Commission-approved process                     explains that resource owners in PJM                   requirement that a resource follows the
                                               where a resource can update its cost-                   are responsible for submitting their own               cost-based offer submission rules and
                                               based incremental energy offer, which                   cost-based offers and fuel cost policies,              abides by its approved fuel cost policy.
                                               occurs through a ‘‘Fuel Price                           and that fuel costs are an essential part              The PJM Market Monitor states that the
                                               Adjustment.’’ 297 The ISO–NE Market                     of the verification process.306 The PJM                verification process requires strong
                                               Monitor states that ISO–NE’s Fuel Price                 Market Monitor states that it does not                 compliance incentives, and the
                                               Adjustment mechanism balances the                       have the authority to tell a resource                  Commission should impose significant
                                               desire to reflect resource costs in cost-               owner what its fuel cost is or what its                penalties if a resource violates the cost-
                                               based incremental energy offers, the                    offer should be, but it does have the                  based incremental energy offer
                                               limited information the ISO–NE Market                   authority to verify cost-based offers, to              guidelines.312
                                               Monitor has available to verify costs,                  discuss cost issues with resource                         133. Commenters representing
                                               and the need to deter abuse.298 The                     owners, and to refer resource owners to
                                                                                                                                                              generator and load interests also
                                               ISO–NE Market Monitor explains that                     the Commission for rule violations and
                                                                                                                                                              proposed verification processes.
                                               ISO–NE’s market power mitigation                        for the attempted or actual exercise of
                                                                                                                                                              Competitive Suppliers and NEI state
                                               software automatically calculates cost-                 market power.307 It states that it is
                                                                                                                                                              that lifting the offer cap to a level that
                                               based incremental energy offers for                     essential that the Commission impose
                                                                                                                                                              does not artificially constrain LMPs is
                                               resources, which may be based on a
                                                                                                                                                              preferable to developing a verification
                                               day-ahead fuel price index.299                            300 Potomac   Economics Comments at 5.
                                                  129. Potomac Economics states that                     301 Id. at 4.                                        process, as removing the cap allows the
                                               MISO’s current process for developing                     302 Id. In MISO, cost-based offers are referred to   market price to convey accurate
                                                                                                       as reference levels.                                   information of the state of the system
                                                 291 Id. at 15–16.
                                                                                                         303 Id. at 5.
                                                                                                                                                              even during high stress.313
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                                                                                                         304 Id. NYISO states that a resource that updates
                                                 292 Id. at 16–17.                                     the fuel type or fuel cost information associated        308 Id.
                                                 293 Id. at 19.
                                                                                                       with its cost-based incremental energy offer must                  at 6.
                                                 294 ISO–NE Comments at 6.                                                                                      309 Id.   at 7–8.
                                                                                                       make supporting documentation available for
                                                 295 MISO Comments at 8.                                                                                        310 Id.
                                                                                                       NYISO’s review after-the-fact. See NYISO
                                                 296 NYISO Comments at 3.                              Comments at 4.                                           311 Id.
                                                                                                                                                                      at 2.
                                                 297 ISO–NE Market Monitor Comments at 5–10.             305 Potomac Economics Comments at 6.                   312 Id.
                                                                                                                                                                      at 7.
                                                 298 Id. at 5.                                           306 PJM Market Monitor Comments at 4–5.                313 Competitive Suppliers Comments at 18; NEI
                                                 299 Id. at 6.                                           307 Id. at 5.                                        Comments at 4.



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                                               87788            Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                                  134. Competitive Suppliers prefer no                 resources.321 The New Jersey                             141. The RTO/ISO or Market
                                               verification requirement but contends                   Commission and OPSI assert that                       Monitoring Unit, as prescribed in the
                                               that if the Commission requires that all                resource fuel cost policies should be                 RTO/ISO tariff and consistent with
                                               cost-based incremental energy offers                    derived from a verifiable, algorithmic,               Order No. 719,325 must verify the costs
                                               above $1,000/MWh be verified, the                       and systematic approach consistent                    within a cost-based incremental energy
                                               RTO/ISO and the generator should be                     with the PJM Market Monitor’s fuel cost               offer above $1,000/MWh before that
                                               able to identify a set of accepted criteria             policy guidelines.322 The Delaware and                offer is used to calculate LMP, subject
                                               and data inputs such that resources can                 Pennsylvania Commissions and OPSI                     to the condition that such offers are
                                               submit offers that can be accepted and                  argue that PJM should clarify the role of             capped at $2,000/MWh for purposes of
                                               thus eligible to set LMP.314 Competitive                PJM and the PJM Market Monitor in the                 calculating LMP.326 To create such a
                                               Suppliers state that PJM’s Cost                         review and approval of fuel cost policies             verification process, we expect that the
                                               Development Guidelines provide a                        and assert that the PJM Market Monitor                RTO/ISO would build on its existing
                                               means of verifying resource costs and                   should have the authority to verify                   mitigation processes for calculating or
                                               may provide an alternative approach to                  offers above $1,000/MWh.323                           updating cost-based incremental energy
                                               the proposed verification                                 138. SCE argues that each RTO/ISO                   offers.327 However, we appreciate
                                               requirement.315                                         should utilize its own stakeholder                    statements from RTOs/ISOs, market
                                                  135. Exelon proposes that the                        processes to develop specific                         monitors, and others about potential
                                               Commission require RTOs/ISOs to                         verification rules, which may reflect                 verification processes for incremental
                                               adopt tariff provisions that will permit                regional factors such as differences in               energy offers above $1,000/MWh. We
                                               timely review and approval of                           market power mitigation processes and                 recognize that the verification process
                                               resources’ cost-based offers based on a                 region-specific costs such as emissions               for incremental energy offers may be a
                                               resource-specific ‘‘safe harbor’’ formula               and greenhouse gas costs.324                          fact-specific inquiry, and we have
                                               that is agreed upon in advance.316                      3. Determination                                      previously provided Market Monitoring
                                               Exelon proposes that, at a minimum, the                                                                       Units with flexibility to make case-
                                               safe harbor formula should include a ten                   139. We adopt the NOPR proposal                    specific determinations.328 Given the
                                               percent uncertainty component and a                     and clarify that each RTO/ISO or Market               potential complexities involved in
                                               fuel cost component based on a daily                    Monitoring Unit is required to verify                 verifying incremental energy offers as
                                                                                                       that any incremental energy offer above               well as the Commission’s recognition of
                                               natural gas index, natural gas adders,
                                                                                                       $1,000/MWh reasonably reflects the                    the need for proper mitigation methods
                                               balancing costs, transportation costs,
                                                                                                       associated resource’s actual or expected              in energy markets, we will require that
                                               and a risk adder.317
                                                  136. Dominion supports a verification                costs prior to using that offer to                    RTOs/ISOs explain in their compliance
                                                                                                       calculate LMPs. We find that this                     filings what factors will be considered
                                               process that uses fuel estimates based
                                                                                                       verification requirement is necessary for             by the RTO/ISO or its Market
                                               on recent prices, historical prices during
                                                                                                       incremental energy offers above $1,000/               Monitoring Unit in the verification
                                               similar conditions, or a combination of
                                                                                                       MWh because market power concerns                     process for cost-based incremental
                                               both.318 Dominion would support
                                                                                                       are heightened when a resource’s short-               energy offers above $1,000/MWh and
                                               allowing market participants to submit
                                                                                                       run marginal costs exceed $1,000/MWh.                 whether such factors are currently
                                               cost-based offers within a reasonable                      140. Based on the record, it is not
                                               range of a reference price that would be                                                                      considered in existing market power
                                                                                                       practical to require that RTOs/ISOs or                mitigation provisions or whether new
                                               based on a historical fuel price index or               Market Monitoring Units verify a
                                               an average of ask prices within a given                                                                       practices or tariff provisions are
                                                                                                       resource’s actual costs in all                        necessary given the verification
                                               fuel market, and that offers which fall in              circumstances because a resource may
                                               the range of that reference price and                                                                         requirement adopted in this Final Rule.
                                                                                                       not know its actual short-run marginal                Therefore, we disagree that the
                                               clear the market should be eligible to set              costs at the time it submits an
                                               LMP.319                                                                                                       verification requirement is needlessly
                                                                                                       incremental energy offer to the RTO/ISO               cumbersome because RTOs/ISOs may
                                                  137. The New Jersey and                              for various reasons, including the timing
                                               Pennsylvania Commissions and OPSI                                                                             build on existing processes for market
                                                                                                       of natural gas procurement.                           power mitigation.
                                               maintain that in order to implement the                 Accordingly, we clarify that an RTO/
                                               proposal in PJM, resources should be                                                                             142. Most RTOs/ISOs prohibit
                                                                                                       ISO or a Market Monitoring Unit must                  incremental energy offers above $1,000/
                                               required to have a fuel cost policy                     verify that cost-based incremental
                                               approved by the Market Monitoring                                                                             MWh, a prohibition that some market
                                                                                                       energy offers above $1,000/MWh
                                               Unit prior to submission of cost-based                  reasonably reflect a resource’s actual or                325 Wholesale Competition in Regions with
                                               incremental energy offers above $1,000/                 expected costs. Under this requirement,               Organized Electric Markets, Order No. 719, FERC
                                               MWh.320 The Pennsylvania Commission                     the verification process for cost-based               Stats. & Regs. ¶ 31,281, at PP 370–375 (2008), order
                                               states that pre-approved resource fuel                  incremental offers above $1,000/MWh                   on reh’g, Order No. 719–A, FERC Stats. & Regs.
                                                                                                                                                             ¶ 31,292 (2009), order on reh’g, Order No. 719–B,
                                               cost policies in PJM would speed up the                 must ensure that a resource’s cost-based              129 FERC ¶ 61,252 (2009). See also 18 CFR
                                               verification process, foster market                     incremental energy offer reasonably                   35.28(g)(3)(iii)(B) (2016).
                                               stability, and provide certainty to                     reflects that resource’s actual or                       326 Pursuant to 18 CFR 35.28(g)(3)(iii)(B), either

                                                                                                                                                             the internal or external market monitor can
                                                                                                       expected costs.                                       ‘‘provide the inputs required to conduct prospective
                                                 314 Competitive   Suppliers Comments at 19.
                                                 315 Id.                                                                                                     mitigation . . . including, but not limited to
                                                                                                         321 Pennsylvania  Commission Comments at 9.         reference levels, identification of system
                                                 316 Exelon   Comments at 11.                            322 New  Jersey Commission Comments at 13;          constraints, and cost calculations.’’ 18 CFR
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                                                 317 Id. at 17–20 (citing Testimony of Leslie O.
                                                                                                       OPSI Comments at 8 (citing Monitoring Analytics,      35.28(g)(3)(iii)(B) (2016). However, prospective
                                               Dedrickson at 29–31).                                   Fuel Cost Policy Guidelines: Gas Replacement Cost     mitigation may only be carried out by an internal
                                                 318 Dominion Comments at 5.
                                                                                                       (Sept. 24, 2015), available at http://                market monitor if the RTO/ISO has a hybrid Market
                                                 319 Id.                                               www.monitoringanalytics.com/reports/                  Monitoring Unit structure. 18 CFR 35.28(g)(3)(iii)(D)
                                                 320 New Jersey Commission Comments at 12–13;          Market_Messages/Messages/                             (2016).
                                               Pennsylvania Commission Comments at 9; OPSI             IMM_Fuel_Cost_Policy_Guidelines_20150924.pdf).           327 NOPR, FERC Stats. & Regs. ¶ 32,714 at P 63.
                                                                                                         323 Delaware Commission Comments at 12; OPSI
                                               Comments at 7–9. This issue was also raised in                                                                   328 See New England Power Generators

                                               comments in PJM’s offer flexibility proposal in         Comments at 7–9.                                      Association, Inc. v. ISO New England Inc., 144
                                               Docket No. ER16–372–000.                                  324 SCE Comments at 1–2.                            FERC ¶ 61,157, at P 62 (2015).



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                                                                 Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                                     87789

                                               monitors characterize as a backstop                      verification requirement reasonably                    treating incremental energy offers above
                                               market power mitigation measure.329                      addresses market power concerns                        $1,000/MWh that the RTO/ISO or
                                               The offer cap adopted in this Final Rule                 associated with incremental energy                     Market Monitoring Unit cannot verify
                                               retains the backstop function that the                   offers above $1,000/MWh because such                   prior to the start of the market clearing
                                               current $1,000/MWh offer cap plays in                    offers will be required to be cost-based,              process. For example, the RTO/ISO
                                               existing RTO/ISO market power                            which should deter attempts by                         could have procedures to change the
                                               mitigation because it limits incremental                 resources to exercise market power.                    incremental energy offer to $1,000/MWh
                                               energy offers that are not cost-based to                   145. As discussed above, this Final                  or to mitigate that offer to a level below
                                               $1,000/MWh. Under this Final Rule,                       Rule will require RTOs/ISOs to limit                   $1,000/MWh pursuant to other
                                               incremental energy offers below $1,000/                  incremental energy offers to $2,000/                   applicable market power mitigation
                                               MWh will remain subject to existing                      MWh when calculating LMPs, which                       provisions.
                                               market power mitigation measures.                        may be below the cost-based
                                               However, this Final Rule will require                    incremental energy offer of a resource.                C. Resource Neutrality
                                               that all incremental energy offers equal                 Thus, we revise the verification                       1. NOPR Proposal
                                               to and above $1,000/MWh be cost-                         requirement proposed in the NOPR as                       148. In the NOPR, the Commission
                                               based, which essentially requires                        indicated below and add new language                   proposed the following resource
                                               mitigation of all incremental energy                     (underlined below) to account for any                  neutrality requirement:
                                               offers above $1,000/MWh.                                 uplift associated with the $2,000/MWh
                                                  143. In this way, the verification                    hard cap and adopt the following                          All resources, regardless of type, are
                                               requirement requires RTOs/ISOs to                                                                               eligible to submit cost-based incremental
                                                                                                        verification requirement:
                                               make only an incremental change to                                                                              energy offers in excess of $1,000/MWh.332
                                                                                                          The costs underlying a resource’s cost-
                                               their existing market power mitigation                   based incremental energy offer above $1,000/              The Commission reasoned that this
                                               procedures because the market power                      MWh must be verified before that offer can             requirement would ensure that the
                                               mitigation provisions that apply to                      be used for purposes of calculating                    eligibility to submit cost-based
                                               incremental energy offers below $1,000/                  Locational Marginal Prices. If a resource              incremental energy offers in excess of
                                               MWh will be unchanged. While in this                     submits an incremental energy offer above              $1,000/MWh would not be applied in
                                               Final Rule we increase the offer cap for                 $1,000/MWh and the costs underlying that               an unduly discriminatory or unduly
                                               cost-based incremental energy offers, we                 offer cannot be verified before the market             preferential manner.333 The
                                               also subject offers above $1,000/MWh to                  clearing process begins, that offer may not be         Commission also stated that the
                                                                                                        used to calculate Locational Marginal Prices
                                               additional market power mitigation in                                                                           proposed resource neutrality
                                                                                                        and the resource would be eligible for a
                                               the form of the verification requirement.                make-whole payment if that resource is                 requirement is consistent with prior
                                               The verification requirement is designed                 dispatched and the resource’s costs are                orders related to the offer cap in PJM
                                               to ensure that a cost-based incremental                  verified after-the-fact. A resource would also         and MISO.334
                                               energy offer above $1,000/MWh is not                     be eligible for a make-whole payment if it is
                                               an attempt by the associated resource to                 dispatched and its verified cost-based                 2. Comments
                                               exercise market power. The verification                  incremental energy offer exceeds $2,000/                  149. Several commenters support the
                                               requirement is part-and-parcel with the                  MWh.                                                   proposed resource neutrality
                                               increase of the offer cap for cost-based                   146. We will retain the proposal in                  requirement.335 For example, MISO
                                               incremental energy offers. We find that                  the NOPR which ensures that, if a                      supports the resource neutrality
                                               it would be inappropriate to raise the                   resource’s incremental energy offer                    requirement and notes that the MISO
                                               offer cap without imposing a                             above $1,000/MWh is not verified but                   tariff currently allows any resource,
                                               verification requirement. The                            that resource is nonetheless dispatched,               regardless of type, to establish a cost-
                                               verification requirement thus serves as                  that resource would be eligible to                     based reference level.336 MISO adds that
                                               an additional backstop market power                      receive an uplift payment to recover its               some resources could be constrained by
                                               mitigation measure.330                                   verified costs. The basis of the uplift                the $1,000/MWh cap because they may
                                                  144. Contrary to Potomac Economics’                   payment would be the difference                        be unable to provide evidence of high
                                               assertion that competition is not                        between a given resource’s energy                      fuel costs.337
                                               diminished when short-run marginal                       market revenues and that resource’s                       150. Commenters disagree about
                                               costs rise above $1,000/MWh, we find                     actual short-run marginal costs of the                 whether demand response resources
                                               that market power concerns are                           MWs dispatched, as verified after-the-                 should be able to submit incremental
                                               heightened during such periods because                   fact by the RTO/ISO or Market                          energy offers above $1,000/MWh. Some
                                               short-run marginal costs in this range                   Monitoring Unit.331 We find that such                  commenters argue that demand
                                               may indicate that very few resources are                 uplift payments are necessary given the                response resources should be treated the
                                               available to provide additional supply.                  challenges associated with the                         same as other physical generation
                                               Supply may be limited during such                        verification processes, to ensure that                 resources that provide offers.338
                                               periods because of fuel supply                           resources have an incentive to offer into
                                               limitations or the physical limitations of               RTO/ISO energy markets, and to ensure
                                                                                                                                                                 332 NOPR,    FERC Stats. & Regs, ¶ 32,714 at P 69.
                                               resources (e.g., ramping constraints).                   that resources are compensated for the
                                                                                                                                                                 333 Id.

                                               Accordingly, resources with available                    service they provide.
                                                                                                                                                                 334 Id. (citing MISO 2014/15 Offer Cap Order, 150

                                               supply during such periods likely face                                                                          FERC ¶ 61,083 at P 16; PJM 2014/15 Offer Cap
                                                                                                          147. This Final Rule will permit                     Order, 150 FERC ¶ 61,020 at P 39).
                                               little competition, particularly in real-                regional variation in the process for                    335 EEI Comments at 1, 3; Ohio Commission
                                               time, and may therefore be able to
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                                                                                                                                                               Comments at 12; MISO Comments at 12.
                                               exercise market power. We find that the                    331 The Commission notes that the clarification        336 MISO Comments at 12 (citing MISO Tariff,

                                                                                                        regarding use of a resource’s actual or expected       Module D, 64.1.4.a, 64.3.a, and 64.1.4.h).
                                                 329 NOPR,                                                                                                       337 Id.
                                                            FERC Stats. & Regs. ¶ 32,714 at P 23.       short-run marginal costs during the verification
                                                 330 Moreover,  existing Commission regulations         process that occurs prior to the market clearing         338 API Comments at 12–13; Competitive

                                               establish that misrepresenting costs when                process is not applicable to such uplift payments.     Suppliers Comments at 23–24; Exelon Comments at
                                               submitting cost-based incremental energy offers as       Any such uplift payment, which is paid after-the-      23 (citing PJM Manual 11 2.3.3); Industrial
                                               part of a supply offer may be in violation of 18 CFR     fact, must be based on a resource’s actual short-run   Customers Comments at 28; PJM Market Monitor
                                               35.41(b) (2016) and 18 CFR 1c.2(a)(2) (2016).            marginal costs.                                        Comments at 12–13.



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                                               87790            Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               Additionally, MISO questions why a                      consumption and other information that                  markets do not make incremental energy
                                               demand response resource should be                      is difficult to validate, particularly if the           offers. AEMA explains that capacity-
                                               prevented from submitting an offer at                   demand response resource’s costs                        only demand response resources are
                                               the same level (in $/MWh) as physical                   increase significantly from the prior                   only dispatched on a reliability-based
                                               resources.339                                           day.344 PJM/SPP state that it is not clear              trigger that determines the price the
                                                  151. However, other commenters                       what demand response resource costs                     demand resource is paid as opposed to
                                               argue that demand response should not                   could be validated to justify an offer                  an offer price-based trigger that does not
                                               be able to submit incremental energy                    above the $1,000/MWh offer cap.345 The                  represent the LMP at which the
                                               offers above $1,000/MWh. PJM/SPP                        Pennsylvania Commission states that                     customer wishes to be dispatched, or
                                               argue that the proposed offer cap                       with the limited exception of on-site                   the costs of the customer to curtail its
                                               revisions should not apply to demand                    backup generation costs, the                            load. AEMA asserts that forcing these
                                               response resources because demand                       incremental energy costs of demand                      resources to make ‘‘incremental energy
                                               response resource offers are intended to                response capacity resources are largely                 offers’’ in the energy market would
                                               capture foregone commercial revenues,                   unknown.346 ISO–NE urges the                            drive them away from participation.352
                                               not the short-run marginal cost of                      Commission to carefully consider                           155. AEMA requests that the
                                               reducing output.340 ISO–NE asserts that                 whether the verification of actual costs                Commission continue to allow demand
                                               a demand response resource’s costs                      should be imposed on a resource-                        response resources to submit offers up
                                               would be based on its marginal                          neutral basis, and explains its concerns                to the offer cap in energy markets and
                                               opportunity cost of foregone                            regarding its ability to timely verify the              not impose additional verification
                                               consumption, which could routinely                      offers of demand response resources.347                 requirements on demand response
                                               exceed $1,000/MWh or $2,000/MWh,                        AEMA argues that it is impractical, if                  resource energy market offers beyond
                                               and that verifying such costs could not                 not impossible, to verify the costs of a                what has already been accepted.353
                                               be accomplished on short notice. ISO–                   demand response resource in the same                    AEMA asserts that the Final Rule
                                               NE surmises that allowing demand                        manner as a physical generation                         should not impact existing or proposed
                                               resources to submit incremental energy                  resource, particularly before-the-fact.348              methods for monitoring and evaluating
                                               offers above $1,000/MWh could create                    AEMA also cites a prior Commission                      demand resource offers in energy
                                               perverse incentives and may give                        order on ISO–NE’s Order No. 745                         markets or create additional verification
                                               physical resources the incentive to                     compliance where the Commission                         hurdles for demand resource offers
                                               move behind the meter to exploit                        found that ‘‘unlike with supply                         beyond those that currently exist.354
                                               asymmetries in the application of the                   resources, it would be very difficult to
                                               offer cap. Accordingly, ISO–NE requests                 develop a competitive offer or reference                3. Determination
                                               that the Commission carefully consider                  price to which to mitigate each demand                     156. We adopt the NOPR proposal
                                               its position on verification of the actual              response resource.’’ 349 AEMA asserts                   and find that resources with costs above
                                               costs of demand response resources.341                  that there is no need to create an                      $1,000/MWh should be able to submit
                                                  152. The New Jersey Commission                       additional verification requirement for                 cost-based incremental energy offers to
                                               argues that in the absence of a                         demand response resources, because the                  recover their costs, regardless of the
                                               comprehensive definition of short-run                   Commission has recognized that                          type of resource. Prohibiting a particular
                                               marginal costs for demand response                      comparability does not require identical                set of resources from submitting cost-
                                               resource offers, demand response                        treatment.350                                           based incremental energy offers above
                                               resources should not be permitted to                       154. AEMA requests that the                          $1,000/MWh could preclude them from
                                               offer and set the market clearing price                 Commission clarify that the offer cap                   recovering their costs.
                                               above the Commission’s determined                       proposed in the NOPR only impacts                          157. In the NOPR the term ‘‘resource’’
                                               offer cap.342 The Pennsylvania                          demand response resources that                          referred to all supply resources,
                                               Commission asserts that demand                          participate in energy markets and would                 including demand response resources,
                                               response resources should not be                        not apply to demand resources that                      that offer incremental energy to RTO/
                                               eligible to set LMP and should be                       exclusively participate in capacity                     ISO energy markets.355 As such, a
                                               treated as price takers, asserting that                 markets.351 AEMA explains that                          demand response resource that submits
                                               such resources do not generally exhibit                 demand response resources that                          incremental energy offers to the energy
                                               competitive behavior in energy markets                  participate exclusively in capacity                     market based on short-run marginal cost
                                               because the energy revenues of such                                                                             would be subject to the verification
                                               resources are de minimis relative to                      344 ISO–NE    Comments at 7–8.                        requirement if that incremental energy
                                               their capacity market revenues.343                        345 PJM/SPP    Comments at 5.                         offer exceeds $1,000/MWh. For such a
                                                  153. Several commenters express                        346 Pennsylvania Commission Comments at 14.
                                                                                                                                                               resource, the short-run marginal cost
                                               concerns about whether RTOs/ISOs or                       347 ISO–NE Comments at 7–8.
                                                                                                                                                               may equal its opportunity costs.
                                                                                                         348 AEMA Comments at 7–8.
                                               Market Monitoring Units can verify the                                                                             158. We recognize that the
                                                                                                         349 Id. at 8 (citing ISO New England Inc., 138
                                               costs of demand response resources. For                                                                         verification process for demand
                                                                                                       FERC ¶ 61,042, at P 138 (2012)).
                                               example, ISO–NE asserts that a demand                     350 Id. at 8–9 (citing Preventing Undue               response resources will necessarily
                                               response resource’s costs would be                      Discrimination and Preference in Transmission           differ from the verification process for
                                               based on that resource’s marginal                       Service, Order No. 890, FERC Stats. & Regs.             generation resources, as noted by ISO–
                                               opportunity cost of foregone                            ¶ 31,241, order on reh’g, Order No. 890–A, FERC         NE and AEMA. The Commission has
                                                                                                       Stats. & Regs. ¶ 31,261 (2007), order on reh’g, Order
                                                                                                       No. 890–B, 123 FERC ¶ 61,299, at P 216 (2008),
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                                                 339 MISO  Comments at 7.                                                                                        352 Id.
                                                                                                       order on reh’g, Order No. 890–C, 126 FERC                         at 3–5.
                                                 340 PJM/SPP   Comments at 5.                                                                                    353 Id.
                                                                                                       ¶ 61,228, order on clarification, Order No. 890–D,                at 5–6.
                                                  341 ISO–NE Comments at 7–8.
                                                                                                       129 FERC ¶ 61,126 (2009); Indep. Market Monitor           354 Id. at 2–3, 7–9.
                                                  342 New Jersey Commission Comments at 18.            for PJM v. PJM Interconnection, L.L.C., 155 FERC          355 This is consistent with prior uses of the term.
                                                  343 Pennsylvania Commission Comments at 14           ¶ 61,059, at P 31 (2016) (‘‘comparability does not      See, e.g., Settlement Intervals and Shortage Pricing
                                               (citing PJM, Demand Response Operations Market’s        require identical application to demand response        in Markets Operated by Regional Transmission
                                               Activity Report: February 2016 (Feb. 16, 2016), Fig.    resources and generation resources of PJM’s offer       Organizations and Independent System Operators,
                                               23; Monitoring Analytics, LLC, State of the Markets     cap and the must-offer requirement’’)).                 Order No. 825, 81 FR 42,882 (June 30, 2015), FERC
                                               Report for PJM, Vol. 1., Fig. 10 (Mar. 10, 2016)).        351 Id. at 3.                                         Stats. & Regs. ¶ 31,384, at P 98 (2016).



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                                                                Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                                   87791

                                               recognized that demand response                         $1,000/MWh.359 However, CAISO notes                      165. Potomac Economics states that
                                               resources should receive comparable,                    that if physical resources can submit                 competitive virtual transactions should
                                               but not necessarily identical treatment                 incremental energy offers above $1,000/               be permitted to exceed $1,000/MWh
                                               to generation resources.356 However, we                 MWh, then virtual participants should                 when real-time prices are expected to
                                               decline AEMA’s request to exempt                        also be able to bid above $1,000/MWh                  exceed $1,000/MWh.369 Potomac
                                               demand response resources that submit                   to arbitrage those physical offers.360                Economics states that although virtual
                                               incremental energy offers in RTO/ISO                       162. ISO–NE states that market                     transactions do not have production
                                               energy markets from any additional                      participants should be able to submit                 costs, they do have marginal costs, and
                                               verification requirements associated                    virtual supply offers at levels as high as            notes that the marginal cost of selling
                                               with this Final Rule, because such an                   offers from physical resources to ensure              virtual energy in the day-ahead market
                                               exemption does not constitute                           that there is a liquid supply of offers               is the expected cost of buying the energy
                                               comparable treatment. However, as                       that can compete with physical                        in the real-time market.370 Potomac
                                               noted above,357 this Final Rule does not                resources in the day-ahead market                     Economics states that virtual
                                               prescribe how RTOs/ISOs should verify                   under all market conditions, which can                transactions support the competitive
                                               cost-based incremental energy offers                    reduce the potential exercise of market               performance of day-ahead markets and
                                               above $1,000/MWh, including offers                      power during tight day-ahead                          thus argues that it is important to
                                               from demand response resources.                         conditions.361 ISO–NE asserts that if the             structure the rules for virtual
                                                 159. Finally, we find that the New                    Commission adopts a new hard cap,                     transactions in a manner that does not
                                               Jersey and Pennsylvania Commissions’                    there is no cost-basis or market power                impede their participation in the
                                               comments that demand response                           rationale to limit virtual supply offers              market.371
                                               resources should not be able to set LMP                 below the level of any hard cap.362                      166. Potomac Economics proposes
                                               are beyond the scope of this Final Rule,                   163. PJM argues that virtual                       that virtual transactions be permitted to
                                               which only applies to incremental                       transactions should be permitted to                   exceed $1,000/MWh when real-time
                                               energy offers above $1,000/MWh, and                     exceed $1,000/MWh or be subject to a                  LMPs are expected to exceed $1,000/
                                               not the general eligibility of demand                   reasonableness screen because virtual                 MWh for more than a specified period
                                               response resources to set LMPs in RTO/                  transactions increase competition in the              (e.g., 30 minutes).372 The PJM Market
                                               ISO energy markets. We clarify,                         day-ahead markets and reduce market                   Monitor argues that market participants
                                               however, that reforms adopted in this                   share, and thus reduce market power.363               should not be permitted to submit
                                               Final Rule, which provide that                          MISO states that prohibiting virtual                  virtual transactions above $1,000/MWh
                                               resources are eligible to submit cost-                  transactions above $1,000/MWh could                   because increasing the offer cap on
                                               based incremental energy offers in                      limit hedging opportunities which                     virtual transactions would create
                                               excess of $1,000/MWh and require that                   could increase the price differentials                opportunities for the exercise of market
                                               those offers be verified, do not apply to               between the day-ahead and real-time
                                                                                                                                                             power and manipulation of markets and
                                               capacity-only demand response                           energy markets.364 MISO adds that
                                                                                                                                                             permit resource owners to avoid the
                                               resources that do not submit                            revising the offer cap for virtual
                                                                                                                                                             requirement that incremental energy
                                               incremental energy offers in energy                     transactions could conceivably expose
                                                                                                                                                             offers above $1,000/MWh be cost-
                                               markets.                                                other market participants to high prices
                                                                                                                                                             based.373 The PJM Market Monitor
                                                                                                       but notes that MISO already has
                                               V. Other Issues                                                                                               states there is no evidence that virtual
                                                                                                       mitigation measures in place for virtual
                                                                                                                                                             supply offers have increased
                                               A. Virtual Transactions                                 transactions and that years of market
                                                                                                                                                             competition or would increase
                                                                                                       experience have shown that such
                                                 160. Although the Commission                                                                                competition in extreme
                                                                                                       manipulation concerns are
                                               preliminarily found in the NOPR that                    improbable.365                                        circumstances.374 The PJM Market
                                               virtual supply offers and virtual demand                   164. NYISO states that cost-based                  Monitor recommends that if the
                                               bids (virtual transactions) could not                   incremental energy offers, interchange                Commission wishes to permit some
                                               provide a cost basis for offers above                   transactions (e.g., imports and exports),             virtual transactions to exceed $1,000/
                                               $1,000/MWh, it sought comment about                     and virtual transactions should be                    MWh, the Commission should: (1) Limit
                                               whether prohibiting virtual transactions                capped at the level of the hard cap,                  virtual transactions above $1,000/MWh
                                               above $1,000/MWh could limit hedging                    which will allow market participants to               to liquid trading hubs; (2) require
                                               opportunities, present opportunities for                continue to compete to the maximum                    market participants to explain why
                                               manipulation or gaming, create market                   extent practicable.366 NYISO also argues              virtual offers or bids above $1,000/MWh
                                               inefficiencies, or have other undesirable               that a hard cap is appropriate for virtual            are appropriate; and (3) subject such
                                               consequences.358                                        transactions because such transactions                virtual transactions to a ‘‘reasonableness
                                                                                                       are based on price expectations as                    screen’’ and an after-the-fact review for
                                               1. Comments                                                                                                   whether they resulted in manipulation
                                                                                                       opposed to verifiable costs.367 SPP
                                                  161. CAISO states that virtual                       states that it takes no position on the               or market power.375 The PJM Market
                                               transactions do not face short-run                      application of the proposed reforms to                Monitor states that the asserted benefits
                                               marginal production costs and would                     virtual transactions.368                              of virtuals with respect to hedging,
                                               thus be unable to justify costs above                                                                         competition, and price convergence
                                                                                                         359 CAISO   Comments at 13.                         have not been empirically established,
                                                 356 Demand   Response Compensation in                   360 Id.                                             and, thus, it is unnecessary to create
                                               Organized Wholesale Energy Markets, Order No.             361 ISO–NE    Comments at 8.
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                                               745, FERC Stats. & Regs. ¶ 31,322, at P 66, order on      362 Id. at 8–9.                                       369 Potomac   Economics Comments at 10.
                                               reh’g and clarification, Order No. 745–A, 137 FERC        363 PJM/SPP Comments at 27.                           370 Id.
                                               ¶ 61,215 (2011) (‘‘as a general matter demand
                                                                                                         364 MISO Comments at 18; see also PJM/SPP             371 Id.
                                               response providers and generators should be subject
                                               to comparable rules that reflect the characteristics    Comments at 27–28.                                      372 Id.
                                                                                                                                                                     at 9–10.
                                                                                                         365 MISO Comments at 18.
                                               of the resource.’’).                                                                                            373 PJMMarket Monitor Comments at 11; PJM
                                                 357 See supra P 141.                                    366 NYISO Comments at 7–8.                          Market Monitor Answer at 6.
                                                 358 NOPR, FERC Stats. & Regs ¶ 32,714 at PP 64,         367 Id. at 7.                                        374 PJM Market Monitor Answer at 5.

                                               73.                                                       368 PJM/SPP Comments at 28.                          375 PJM Market Monitor Comments at 11–12.




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                                               87792            Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               market power risks when revising the                       170. Several other commenters argue                physical and virtual transactions, the
                                               offer cap.376                                           that virtual transactions should be                   issue should be monitored to ensure
                                                  167. Separately, the PJM Market                      prohibited from submitting transactions               that inappropriate virtual transactions
                                               Monitor recommends that up-to-                          above $1,000/MWh.385 For example,                     do not affect real-time energy prices.393
                                               congestion transactions in PJM be                       several commenters argue that virtual                 The Delaware Commission recommends
                                               excluded from any offer cap reforms                     transactions should not be permitted to               that virtual transactions in PJM be
                                               stating that because up-to-congestion                   exceed $1,000/MWh because allowing                    limited to $400/MWh.394
                                               transactions are spread bids between                    transactions in this range could raise
                                                                                                                                                             2. Determination
                                               nodes there is no reason to relax the                   clearing prices without a commensurate
                                               current rules that govern such                          increase in short-run marginal                           172. In light of the comments received
                                               transactions.377                                        production costs.386 Six Cities argues                and our adoption of a $2,000/MWh hard
                                                                                                       that permitting virtual transactions to               cap, we find that it is just and
                                                  168. Several commenters argue that                                                                         reasonable to permit market participants
                                                                                                       submit offers above the $1,000/MWh
                                               the Commission should allow virtual                                                                           to submit virtual transactions up to
                                                                                                       cap would be inconsistent with the
                                               transactions to exceed $1,000/MWh.378                                                                         $2,000/MWh. We do not require that
                                                                                                       Commission’s goals of allowing
                                               Some commenters focus on the use of                                                                           virtual transactions be subject to the
                                                                                                       recovery of actual production costs in
                                               virtual transactions to hedge physical                                                                        cost verification described above.
                                                                                                       excess of the cap and establishing LMPs
                                               transactions and argue that virtual                                                                           Allowing virtual transactions above
                                                                                                       consistent with actual production costs
                                               transactions should thus be subject to                                                                        $1,000/MWh could improve price
                                                                                                       under extreme market conditions.387
                                               the same offer caps as physical                                                                               convergence between day-ahead and
                                                                                                       TAPS argues that the Commission does
                                               resources.379 Dominion states that in                                                                         real-time markets.395 An offer cap that is
                                                                                                       not need to allow virtual transactions to
                                               extreme winter conditions, a physical                                                                         lower for virtual transactions than for
                                                                                                       exceed $1,000/MWh to encourage price
                                               resource that faces a start-up risk and is              convergence between the day-ahead and                 physical resources could increase
                                               likely to receive a day-ahead award may                 real-time markets.388                                 divergence between day-ahead and real-
                                               submit a virtual demand bid to hedge                       171. Some commenters argue, as the                 time LMPs. This finding is consistent
                                               against the potential outage in real-                   PJM Market Monitor does, that allowing                with prior Commission precedent,
                                               time.380 Exelon also argues that hedging                virtual transactions above the $1,000/                which finds it is reasonable to permit
                                               the risk of physical transactions through               MWh cap could lead to undesirable                     market participants to submit virtual
                                               virtual transactions is especially                      consequences, such as creating the                    transactions at levels commensurate
                                               important when the system is stressed,                  opportunity for market manipulation                   with the levels that real-time LMPs can
                                               and that doing so may improve market                    and the exercise of market power.389 For              reach.396
                                               performance by converging day-ahead                     example, SCE cautions that allowing                      173. We find that market participants
                                               and real-time prices.381 Competitive                    virtuals above $1,000/MWh would                       should be allowed to submit virtual
                                               Suppliers assert that the same argument                 undermine the purpose of having a                     transactions up to the hard cap, as they
                                               articulated in the NOPR for having a                    backstop for existing market power                    can today. As such, this Final Rule is
                                               uniform offer cap across regions                        mitigation rules.390 APPA, NRECA, and                 therefore less likely to result in
                                               demands similar treatment of virtual                    AMP state that although they oppose the               unintended consequences associated
                                               transactions, imports, and emergency                    idea, any proposal to allow virtual                   with capping virtual transactions at a
                                               demand response across regions.382                      transactions above $1,000/MWh must be                 level below the hard cap. For example,
                                                  169. Dominion states that limiting the               accompanied by an assurance that the                  capping virtual transactions at $1,000/
                                               ability to submit virtual transactions                  RTO/ISO and/or Market Monitoring                      MWh when the incremental energy
                                               above $1,000/MWh to physical                            Unit will be able to address any gaming               offers used to calculate LMPs are
                                               resources with verified cost-based                      or anti-competitive conduct.391 PG&E                  capped at $2,000/MWh could encourage
                                               incremental energy offers above $1,000/                 asks that the Commission direct market                some market participants to place
                                               MWh in order to allow such resources                    monitors to study the potential impacts               virtual demand bids at $1,000/MWh, a
                                               to hedge would minimize concerns                        and gaming opportunities associated                   transaction that may be profitable if
                                               about market manipulation.383 The PJM                   with permitting virtual transactions                  real-time prices exceed $1,000/MWh but
                                               Market Monitor responds that                            above $1,000/MWh before revising any                  would not contribute to day-ahead and
                                               Dominion’s proposal creates a                           caps on virtual transactions.392                      real-time price convergence.
                                               significant risk of manipulation because                Midcontinent Joint Consumer                              174. Under this Final Rule, LMPs may
                                               Dominion does not propose to limit the                  Advocates state that while it generally               rise above $1,000/MWh. By permitting
                                               virtual bids to the cost-based offer of the             supports applying the same offer cap to               virtual transactions to exceed $1,000/
                                               generator.384                                                                                                 MWh, we preserve a market
                                                                                                          385 APPA, NRECA, and AMP Comments at 19;           participant’s ability to use virtual
                                                 376 PJM
                                                                                                       Industrial Customers Comments at 28–29; Ohio
                                                         Market Monitor Answer at 5.                   Commission Comments at 14; New Jersey                   393 Midcontinent Joint Consumer Advocates
                                                 377 PJM Market Monitor Comments at 11; PJM
                                                                                                       Commission Comments at 17–18; Six Cities              Comments at 9.
                                               Market Monitor Answer at 6.                             Comments at 3.                                          394 Delaware Commission Comments at 14. The
                                                 378 Competitive Suppliers Comments at 23–24;             386 Industrial Customers Comments at 28–29;
                                                                                                                                                             Delaware Commission recommends that in PJM,
                                               Dominion Comments at 7; Exelon Comments at 23–          New Jersey Commission Comments at 17–18; Six          virtual transactions and incremental energy offers
                                               24; ISO–NE Comments at 8; PJM/SPP Comments at           Cities Comments at 3; Ohio Commission Comments        that are not cost-based be limited to $400/MWh.
                                               27; SPP Market Monitor Comments at 12; NY               at 14; TAPS Comments at 20–21.                          395 PJM Interconnection, L.L.C., 139 FERC ¶
                                               Department of State Comments at 6.                         387 Six Cities Comments at 4.
                                                 379 SPP Market Monitor Comments at 12;                                                                      61,057 (2012).
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                                                                                                          388 TAPS Comments at 21.
                                                                                                                                                               396 Id. PP 123–126. In that order, the Commission
                                               Competitive Suppliers Comments at 23–24; NY                389 APPA, NRECA, and AMP Comments at 19;
                                               Department of State Comments at 6; Dominion                                                                   found that ‘‘if virtual traders and demand cannot
                                                                                                       ODEC Comments at 1; KEPCo/NCEMC Comments at           submit higher bids in the day-ahead market
                                               Comments at 7.                                          5; New Jersey Commission Comments at 18; PJM
                                                 380 Dominion Comments at 7.                                                                                 [commensurate with the $/MWh value that real-
                                                                                                       Market Monitor Comments at 11–12; TAPS                time LMPs can reach if shortage pricing is in effect],
                                                 381 Exelon Comments at 23–24.                         Comments at 21.                                       that market may not converge with prices in the
                                                 382 Competitive Suppliers Comments at 23.                390 SCE Comments at 2.
                                                                                                                                                             real-time market during times when PJM
                                                 383 Dominion Comments at 7.                              391 APPA, NRECA, and AMP Comments at 19.
                                                                                                                                                             experiences shortage conditions in the real-time
                                                 384 PJM Market Monitor Answer at 6.                      392 PG&E Comments at 3–4.                          market.’’ Id. P 124.



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                                                                Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                                    87793

                                               transactions to hedge its exposure to                   does not apply to up-to-congestion         even when PJM LMPs exceed $1,000/
                                               real-time LMPs above $1,000/MWh.                        transactions in PJM, because such          MWh because such purchases and sales
                                               Otherwise, if virtual transactions are                  transactions are spread bids and not       will benefit the market and provide
                                               limited to $1,000/MWh, as proposed in                   virtual supply offers or virtual demand    electric supplies by allowing the lowest
                                               the NOPR, a market participant would                    bids.                                      cost energy to serve customers.404 PJM
                                               be barred from placing virtual                                                                     adds that imports may also defer
                                                                                                       B. External Transactions
                                               transactions commensurate with its                                                                 operational emergency procedures in
                                               market risks.                                              178. In the NOPR, the Commission        extreme situations.405
                                                  175. We also find that allowing virtual              stated that external RTO/ISO resources        182. PJM explains that under PJM’s
                                               transactions above $1,000/MWh may                       (i.e., imports) would not be eligible to   current rules, economic transactions are
                                               add liquidity to day-ahead markets.                     submit cost-based incremental energy       capped at the maximum energy price
                                               Permitting virtual transactions in the                  offers above $1,000/MWh because RTO/ (absent congestion and losses) of
                                               $1,000/MWh—$2,000/MWh range could                       ISO processes to develop cost-based        $2,700/MWh while emergency import
                                               result in additional demand bids and                    incremental energy offers for mitigation transactions are not. PJM states that the
                                               supply offers (i.e., virtual demand bids                purposes typically only apply to           value of lost load may exceed this level
                                               and virtual supply offers) and will thus                internal RTO/ISO resources.397 The         and states that PJM is thus willing to
                                               allow virtual transactions to continue to               Commission added, however, that it         pay more than $2,700/MWh to procure
                                               perform the functions that they do today                would consider RTO/ISO proposals to        emergency energy to prevent load
                                               by adding liquidity to the day-ahead                    verify cost-based incremental energy       shedding.406 PJM notes that the
                                               market.                                                 offers from external transactions in their verification of import’s cost would have
                                                  176. We recognize that virtual                       respective compliance filings.398 The      to follow a different process than
                                               transactions, by their nature, cannot be                Commission also sought comment on          internal resources because the resource
                                               subjected to the type of cost-verification              whether the offer cap proposal should      behind the import is frequently
                                               discussed above. However, in response                   apply to imports and whether a cost        unknown.407
                                               to comments arguing that virtual                        verification process for import               183. SPP states that verifying the costs
                                               transactions above $1,000/MWh will                      transactions is feasible.399               of imports could be problematic because
                                               raise LMPs above verifiable costs and/or                                                           it is difficult to obtain cost information
                                                                                                       1. Comments
                                               result in market power abuse, we note                                                              from resources outside of SPP.408 SPP
                                               that Market Monitoring Units currently                     179. CAISO maintains that the           asks the Commission to allow regional
                                               monitor for anti-competitive behavior                   consistent treatment of internal           flexibility for this issue, noting that it
                                               by market participants. While they are                  resources and external resources (e.g.,    would investigate the issue further in
                                               not required to do so, if RTOs/ISOs                     imports) is key to an efficient market     response to any Final Rule issued in this
                                               determine that additional measures are                  and to avoid unintended                    proceeding.409
                                               necessary to address any concerns that                  consequences.   400 CAISO surmises that       184. According to the PJM Market
                                               arise from permitting virtual                           capping import offers to a level below     Monitor, 99.99 percent of PJM imports
                                               transactions up to $2,000/MWh, RTOs/                    the cap that internal resource             are price takers but imports that are not
                                               ISOs may propose such additional                        incremental energy offers are subject to   price takers should continue to be
                                               measures in a separate filing under                     could reduce supply offers from imports limited to $1,000/MWh offers.410
                                               section 205 of the Federal Power Act.                   during periods when natural gas prices     Potomac Economics contends that
                                                  177. Dominion proposes to limit the                  in the West rise to a level that would     external transactions should be eligible
                                               ability to submit virtual transactions                  justify LMPs above $1,000/MWh.401          to submit offers above $1,000/MWh
                                               above $1,000/MWh to physical                               180. ISO–NE states that it cannot       when prices in the real-time market
                                               resources that have cost-based offers                   verify the costs associated with energy    exceed $1,000/MWh for more than a
                                               above $1,000/MWh. We find that                          import transactions in real-time.402 ISO– specified period of time (e.g., 30
                                               Dominion’s proposal to limit virtual                    NE explains that an importer’s actual      minutes). Potomac Economics also
                                               transactions to certain market                          cost to import power into ISO–NE from      asserts that Coordinated Transaction
                                               participants would be unduly                            an adjacent market is the adjacent         Schedules should be exempt from the
                                               discriminatory. Such a limitation would                 market’s real-time LMP, which is           proposed reforms because they reflect a
                                               treat market participants differently                   determined at the same time as ISO–        forecast of the price spread between
                                               depending on whether they owned                         NE’s LMP. ISO–NE adds that, given the      RTO/ISO markets and thus would not
                                               physical generation assets, and would                   lack of organized markets in some          set the LMP in either market.411
                                               be unduly discriminatory because it                     control areas adjacent to ISO–NE., it is      185. The SPP Market Monitor states
                                               would limit the benefits of virtual                     unclear how actual costs would be          that the proposed offer cap requirements
                                               transactions above $1,000/MWh to those                  verified for import transactions from      should apply to imports because
                                               participants with physical assets.                      those areas. Accordingly, ISO–NE           imports have the same potential impact
                                               Further, such a limitation could limit                  requests additional guidance from the      on LMPs as internal resources.
                                               the other potential benefits of virtual                 Commission about the application of the However, the SPP Market Monitor
                                               transactions above $1,000/MWh, such                     proposed rule to imports and exports.403 acknowledges that it is more
                                               as increased liquidity and increased                       181. PJM asserts that non-emergency     challenging to verify the offers of
                                               convergence between day-ahead and                       imports should be allowed to submit
                                               real-time LMPs. Additionally, we find                   offers above $1,000/MWh to ensure that       404 PJM/SPP Comments at 25.

                                               that the PJM Market Monitor’s and                       economic import transactions occur           405 Id.
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                                               Potomac Economics’ proposals to limit                                                                            406 Id. at 26 (citing PJM, Intra-PJM Tariffs, OATT,
                                                                                                         397 NOPR,    FERC Stats. & Regs ¶ 32,714 at P 63.    Tariff Operating Agreement, Attachment K–
                                               virtual transactions above $1,000/MWh                     398 Id.                                              Appendix, section 3.2.3.A).
                                               to certain time periods or certain                        399 Id.   PP 63, 73.                                   407 Id.
                                               locations lack sufficient detail and                      400 CAISO     Comments at 13.                          408 Id. at 27.
                                               record evidence to make a finding that                    401 Id.                                                409 Id.

                                               either proposal is just and reasonable.                   402 ISO–NE    Comments at 9.                           410 PJM Market Monitor Comments at 10.

                                               Finally, we clarify that this Final Rule                  403 Id.                                                411 Potomac Economics Comments at 9–10.




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                                               87794            Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               imports as compared to offers from                      the Commission could direct the RTOs/                 imports currently have an unmitigated
                                               internal SPP resources because the SPP                  ISOs to implement an offer cap tied to                opportunity to exercise market power in
                                               market monitor may have limited access                  prevailing market prices, such as                     PJM markets.428 The PJM Market
                                               to the cost data of external resources.412              capping offers from external resources at             Monitor states that the rules of
                                                  186. Several commenters assert that                  the higher of $1,000/MWh or 120                       competitive markets should apply, even
                                               imports should be able to offer above                   percent of the highest market price                   during emergency conditions.429 The
                                               $1,000/MWh provided the costs in their                  index report in the region for the                    PJM Market Monitor adds that verifying
                                               offers are verified beforehand,413 and                  previous seven days.421 TAPS and                      the costs of emergency imports is
                                               some commenters say it is possible to                   APPA, NRECA, and AMP assert that the                  feasible because they occur
                                               develop a workable solution for such                    Commission should give individual                     infrequently.430 PJM Market Monitor
                                               verification.414 For example, the New                   RTOs/ISOs the discretion to determine                 asserts that PJM/SPP offer no rationale
                                               Jersey Commission argues that imports                   whether to allow imports to submit cost-              for exempting emergency imports from
                                               that clear the PJM capacity auctions,                   based incremental energy offers over                  the proposed offer cap requirements,
                                               which are pseudo-tied, will have short-                 $1,000/MWh.422                                        which the PJM Market Monitor states
                                               run marginal production costs that are                     188. Several commenters argue that                 are most critical during emergency
                                               available for the market monitor to                     limiting external resources to $1,000/                situations.431
                                               review, and should thus be permitted to                 MWh offers may dissuade them from
                                               offer into the PJM energy market above                                                                        2. Determination
                                                                                                       offering electricity to the RTO/ISO in
                                               $1,000/MWh when their costs exceed                      periods when it is most needed.423 For                   192. We find that it is just and
                                               $1,000/MWh.415 Midcontinent Joint                       example, CEA states that in light of the              reasonable to permit economic exchange
                                               Consumer Advocates explain that offers                  Commission’s price formation                          transactions (i.e., imports and exports)
                                               from imports are provided in the day-                   proceeding, there is no compelling                    to offer up to the level of the $2,000/
                                               ahead market and then only scheduled                    reason to adopt an asymmetrical offer                 MWh hard cap. We do not require that
                                               in real-time, and imports cannot set                    cap for internal resources and imports                import or export transactions above
                                               real-time LMPs in MISO.416 However,                     and questions the wisdom of excluding                 $1,000/MWh be subject to the
                                               Midcontinent Joint Consumer                             external transactions when price signals              verification requirement prior to the
                                               Advocates state that if imports are the                 indicate scarcity and extreme                         market clearing process.
                                               source of higher prices in MISO                         conditions.424 Powerex states that the                   193. While in the NOPR the
                                               markets, then it would be important to                  Western Interconnection has a robust                  Commission proposed to make imports
                                               verify the costs of imports and in such                 market for energy and ancillary services              ineligible to offer above $1,000/MWh,
                                               cases, Midcontinent Joint Consumer                      outside of CAISO and that non-CAISO                   i.e., to prohibit imports from making
                                               Advocates would support verification                    resources may make the economically                   such offers, we now are persuaded that
                                               for imports so that all suppliers are                   rational choice to sell power to a non-               such a prohibition could discourage
                                               treated equally.417 The Delaware                                                                              imports at times when they are most
                                                                                                       CAISO customer if CAISO has a lower
                                               Commission supports the NOPR                                                                                  needed. Imports benefit the market
                                                                                                       offer cap compared to the non-CAISO
                                               proposal to require verification of                                                                           because they offer additional supply
                                                                                                       WECC bilateral market.425
                                               exchange transactions provided the                         189. NYISO and Competitive Power                   and increase competition. A prohibition
                                               process in an exporting region is not                   Providers state that all market                       on imports above $1,000/MWh would
                                               less objective or rigorous than the                     transactions, including imports and                   discourage external resources with
                                               process in the importing region.418                     virtual transactions, should be capped at             short-run marginal costs above $1,000/
                                                  187. Powerex asks the Commission to                  the level of the hard cap, which will                 MWh from supplying energy to the
                                               consider adopting a verification process                                                                      RTO/ISO market, even though the
                                                                                                       allow for a greater degree of
                                               for external resources that is distinct                                                                       market is willing to purchase that
                                                                                                       competition.426
                                               from the process used for internal                         190. Some commenters discussed                     supply, and such a prohibition would
                                               resources because the two resource                      emergency imports. For example, PJM                   thus put upward pressure on energy
                                               types differ.419 Powerex states that                    Power Providers agrees with PJM that                  prices. We applied this rationale above
                                               verifying external resource costs is                    the Commission should not apply the                   in adopting the offer structure
                                               challenging in WECC because large                       proposed offer requirements to                        requirement and find that it applies
                                               hydroelectric storage facilities in the                 emergency imports because an offer cap                equally to imports. Additionally, similar
                                               Pacific Northwest do not have easily                                                                          to the rationale outlined above for
                                                                                                       on emergency energy or emergency load
                                               calculable and verifiable short-run                                                                           virtual transactions, allowing imports to
                                                                                                       reductions would limit PJM’s ability to
                                               marginal costs, and because CAISO does                                                                        offer up to $2,000/MWh without cost
                                                                                                       procure sufficient resources and could
                                               not require that import offers be                                                                             verification is generally consistent with
                                                                                                       threaten reliability.427
                                               associated with a specific resource.420                    191. However, the PJM Market                       the current market structures in RTOs/
                                               As an alternative, Powerex suggests that                Monitor argues that emergency imports                 ISOs, which typically allow imports to
                                                                                                       above $1,000/MWh should be subject to                 offer up to the same offer cap that
                                                 412 SPP   Market Monitor Comments at 11.
                                                                                                       cost verification before they are eligible            internal RTO/ISO resources are subject
                                                 413 Delaware     Commission Comments at 13;                                                                 to. A similar logic applies to export
                                               Midcontinent Joint Consumer Advocates Comments          to set LMP in PJM and asserts that such
                                                                                                                                                             transactions.
                                               at 8; Ohio Commission Comments at 13; Six Cities
                                               Comments at 3.                                            421 Id.
                                                                                                                                                                194. Further, prohibiting imports from
                                                                                                                at 9.
                                                  414 Midcontinent Joint Consumer Advocates              422 TAPS   Comments at 19–20; APPA, NRECA,
                                                                                                                                                             offering above $1,000/MWh could result
                                               Comments at 8; Six Cities Comments at 3; CEA            and AMP Comments at 18–19.                            in uneconomic flows between RTOs/
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                                               Comments at 7–8.                                          423 NY Transmission Owners Comments at 5–6;         ISOs. For example, if the LMP in one
                                                  415 New Jersey Commission Comments at 18.
                                                                                                       CEA Comments at 7–8; NY Department of State
                                                  416 Midcontinent Joint Consumer Advocates            Comments at 5; Powerex Comments at 7–8.                428 PJM Market Monitor Comments at 11; PJM
                                               Comments at 8.                                            424 CEA Comments at 7–8.
                                                                                                                                                             Market Monitor Answer at 2–3.
                                                  417 Id.                                                425 Powerex Comments at 7–8.                         429 PJM Market Monitor Answer at 2.
                                                  418 Delaware Commission Comments at 13.                426 Competitive Suppliers Comments at 23–24;         430 PJM Market Monitor Comments at 11; PJM
                                                  419 Powerex Comments at 7–8.                         NYISO Comments at 7.                                  Market Monitor Answer at 3.
                                                  420 Id. at 8–9.                                        427 PJM Power Providers Answer at 6–7.               431 PJM Market Monitor Answer at 3.




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                                                                Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                               87795

                                               RTO/ISO is $1,500/MWh and an                            marginal cost components that are                     Economics support an adder of up to ten
                                               external resource would like to offer an                difficult to quantify, such as certain                percent to account for uncertainty and
                                               import at a price of $1,400/MWh, a                      opportunity costs, are accurately                     risk.438 The ISO–NE Market Monitor
                                               prohibition on import offers above                      reflected in a resource’s cost-based                  states that the primary function of a ten
                                               $1,000/MWh would restrict that                          incremental energy offer, and (2) to the              percent adder is to provide for errors or
                                               transaction and result in inefficient                   extent that RTOs/ISOs currently include               under-estimation of a resource’s
                                               flows across RTO/ISO boundaries.                        an adder above cost in cost-based                     marginal cost and contends that the
                                                  195. Additionally, we will not require               incremental energy offers, whether such               Commission should not require such an
                                               import offers above $1,000/MWh be                       an adder is appropriate for incremental               adder unless it identifies specific and
                                               cost-verified and find that imports are                 energy offers above $1,000/MWh.432                    valid costs that are unique to days with
                                               not similarly situated to internal                      Commenters also discussed the impact
                                               generation resources. Unlike                                                                                  abnormally high natural gas prices.439
                                                                                                       that the proposed offer cap reforms
                                               incremental energy offers from internal                 could have on other market constructs,                   203. Dominion, Exelon, ODEC, and
                                               resources, import offers are often not                  such as shortage pricing.                             PJM support the inclusion of a ten
                                               resource-specific and, thus, it is                                                                            percent adder to cost-based incremental
                                               difficult—some commenters say                           A. Verification Requirement Details                   offers.440 Dominion and Exelon contend
                                               impossible—to ascertain the underlying                  1. Comments                                           that a ten percent adder to cost-based
                                               costs of most import offers. This                                                                             incremental offers is appropriate
                                               approach is consistent with current                        200. Commenters express differing
                                                                                                       views on whether opportunity costs are                because the adder accounts for some of
                                               market power mitigation measures in                                                                           the uncertainty that accompanies fuel
                                               RTOs/ISOs that apply to internal                        legitimate costs, and if so, whether it is
                                                                                                       appropriate to include them within cost-              cost estimation as well as dispatch
                                               resources but do not typically apply to                                                                       instructions.441 ODEC maintains that
                                               imports.                                                based incremental energy offers. The
                                                                                                       PJM Market Monitor states that it                     the ten percent adder in cost-based
                                                  196. Additionally, RTO/ISO market
                                                                                                       currently calculates opportunity costs at             incremental energy offers is both
                                               participants can import energy from
                                               adjacent markets and sell that energy in                the request of PJM members and does                   justified and necessary in PJM and
                                               the RTO/ISO energy market. Therefore,                   not need additional information about                 should not be removed because it
                                               it is difficult for external resources in an            the details of opportunity costs.433 The              accounts for the fact that some costs are
                                               adjacent market to withhold because                     SPP Market Monitor explains that SPP                  unknown when PJM resources compute
                                               internal RTO/ISO resources can import                   currently allows an opportunity cost                  their cost-based incremental energy
                                               energy from that adjacent market.                       adder above mitigated offers, which                   offers.442 APPA, NRECA, and AMP state
                                               Additionally, provided the adjacent                     would still be appropriate to include if              that adders above cost are not necessary
                                               market is competitive, which is                         costs exceed $1,000/MWh.434                           when a resource’s costs can be
                                               expected if the adjacent market is an                      201. Midcontinent Joint Consumer                   accurately verified prior to the market
                                               RTO/ISO with market power mitigation,                   Advocates and TAPS oppose                             clearing process.443
                                               it would be difficult for an external                   opportunity cost adders in the
                                                                                                       verification methodology for cost-based                  204. However, the New Jersey
                                               resource to exercise market power in the                                                                      Commission, Direct Energy, PG&E,
                                               importing RTO/ISO.                                      incremental energy offers above $1,000/
                                                                                                       MWh.435 Midcontinent Joint Consumer                   TAPS, and Industrial Customers oppose
                                                  197. Though it is not required, the
                                                                                                       Advocates add that if the Commission                  including a ten percent adder in cost-
                                               Commission would consider proposals
                                               by RTOs/ISOs to verify or otherwise                     finds that opportunity costs may be                   based incremental energy offers above
                                               review the costs of imports or exports                  recoverable, then the Market Monitoring               $1,000/MWh.444 The New Jersey
                                               and/or develop additional mitigation                    Unit should review such costs to ensure               Commission argues that such an adder
                                               provisions for import and export                        they are just and reasonable.436                      would simply afford the generators an
                                               transactions above $1,000/MWh. Such                        202. Commenters expressed a range of               additional ten percent margin of profit
                                               proposals should be submitted in a                      opinions regarding whether it is                      above their costs that consumers would
                                               separate filing under section 205 of the                appropriate to account for cost                       fund.445 TAPS and Industrial Customers
                                               Federal Power Act.                                      uncertainty or other risks through an                 state that the ten percent adder should
                                                  198. We clarify that this Final Rule                 adder in cost-based incremental energy                not be included in incremental energy
                                               will not apply to Coordinated                           offers above $1,000/MWh. SPP takes no                 offers above $1,000/MWh because the
                                               Transactions Schedules, which are                       position on the appropriateness of the
                                               spread bids as opposed to energy offers.                adder but argues that the different                      438 Id. at 22–23; MISO Comments at 15; PJM

                                               Additionally, the Final Rule will not                   RTOs/ISOs should be allowed to                        Market Monitor Comments at 9; Potomac
                                               apply to emergency purchases, which                     develop verification rules that are                   Economics Comments at 7.
                                               would go beyond the scope of this Final                 consistent with their existing rules,                    439 ISO–NE Market Monitor Comments at 12


                                               Rule because such transactions are                      including adders.437 PJM, MISO, the                      440 Dominion Comments at 6; Exelon Comments

                                                                                                       PJM Market Monitor, and Potomac                       at 20 (citing Testimony of Kevin A. Libby at 8–9
                                               administratively priced rather than                                                                           (Libby Test.)); ODEC Comments at 5–6; PJM/SPP
                                               based on short-run marginal cost.                                                                             Comments at 22.
                                                                                                         432 NOPR,  FERC Stats. & Regs. ¶ 32,714 at P 73.       441 Dominion Comments at 6; Exelon Comments
                                               VI. Other Comments                                        433 PJM Market Monitor Comments at 8.
                                                                                                         434 SPP Market Monitor Comments at 10. The SPP
                                                                                                                                                             at 20 (citing Libby Test. at 8–9).
                                                 199. The Commission also sought                                                                                442 ODEC Comments at 6 (citing PJM 2015 Offer
                                                                                                       Market Monitor notes that resources can use
                                               comment on various aspects of the                                                                             Cap Order, 153 FERC ¶ 61,289 at P 30).
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                                                                                                       forecasted LMPs and production costs to estimate
                                               verification process and the types of                   price-cost margins for each hour of the day to
                                                                                                                                                                443 APPA, NRECA, and AMP Comments at 17.

                                               costs that should be considered in the                  determine the opportunity cost component of the          444 Direct Energy Comments at 5; PG&E

                                               verification. Specifically, the                         mitigated offer.                                      Comments at 3; New Jersey Commission Comments
                                                                                                         435 Midcontinent Joint Consumer Advocates           at 17; TAPS Comments at 16; Industrial Customers
                                               Commission sought comment on (1)                        Comments at 6–7; TAPS Comments at 16.                 Comments at 25–26 (citing PJM Market Monitor
                                               whether the Market Monitoring Unit or                     436 Midcontinent Joint Consumer Advocates           Comments, Docket No. ER14–1144, at 2, n. 5 (filed
                                               RTOs/ISOs may need additional                           Comments at 6–7.                                      Mar. 26, 2015)).
                                               information to ensure that all short-run                  437 PJM/SPP Comments at 24.                            445 New Jersey Commission Comments at 17.




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                                               87796            Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               adder does not constitute an actual                     already known and reviewed by the                       ISO or Market Monitoring Unit.
                                               cost.446                                                Market Monitoring Unit, and therefore,                  Furthermore, we will not prescribe the
                                                  205. With respect to other short-run                 there is no need for additional                         manner in which RTOs/ISOs or Market
                                               marginal cost components, the                           verification of physical offer                          Monitoring Units verify cost-based
                                               Pennsylvania Commission, CAISO, and                     components.455                                          incremental energy offers above $1,000/
                                               Industrial Customers argue that a                                                                               MWh. As indicated in the NOPR, RTOs/
                                               resource’s permissible short-run                        2. Determination
                                                                                                                                                               ISOs use different processes to develop
                                               marginal costs should not include                          207. Several commenters state that                   and update the incremental energy
                                               unauthorized natural gas costs and                      adders above costs should be included                   offers used for mitigation and differ in
                                               natural gas pipeline penalties.447 CAISO                in cost-based offers to account for cost                how they define the components of cost-
                                               requests that the Commission convene a                  uncertainty or risk.456 While we will not               based incremental energy offers.460
                                               technical conference to discuss                         require RTOs/ISOs to include such an                    While we are taking no action at this
                                               limitations in fuel markets and the                     adder, if an RTO/ISO chooses to retain                  time on these issues and comments, we
                                               appropriate parameters for determining                  an adder above cost or proposes to                      do not prejudge what RTOs/ISOs may
                                               prudently incurred costs.448 Industrial                 include a new adder above cost in cost-                 file with the Commission in the future.
                                               Customers recount the Commission’s                      based incremental energy offers above                   Accordingly, the Final Rule will not
                                               reasoning that allowing recovery for                    $1,000/MWh, such adders may not                         require verification of physical offer
                                               costs and penalties of unauthorized gas                 exceed $100/MWh. On balance, we find                    parameters or financial offer
                                               consumption could jeopardize gas                        that limiting adders above cost to $100/                components other than the incremental
                                               pipeline and transmission system                        MWh is just and reasonable because as                   energy offer.
                                               reliability, and that generators would                  clarified above, the verification process
                                               still have sufficient flexibility.449                   may involve reviewing a resource’s                      B. Impact of Offer Cap Reforms on Other
                                                  206. The Commission also sought                      expected, rather than actual, costs,                    Market Elements
                                               comment on whether the verification of                  which could involve the use of                            209. The Commission recognized in
                                               physical offer components is                            imperfect information. Given that                       the NOPR that revising the offer cap
                                               necessary.450 The ISO–NE Market                         practical reality, we find that it is                   may impact other RTO/ISO market
                                               Monitor states that ISO–NE’s existing                   necessary to place an upper bound on                    elements that depend on the offer cap,
                                               process to verify physical offer                        the level of adders above cost when                     such as shortage pricing levels or
                                               components takes significant time                       incremental energy offers exceed                        various penalty factors.461
                                               because such changes to physical offer                  $1,000/MWh in order to ensure that
                                               parameters cannot be completed on the                   cost-based incremental energy offers                    1. Comments
                                               day that offers are due.451 The ISO–NE                  above $1,000/MWh reasonably and                            210. Four RTOs/ISOs commented that
                                               Market Monitor advises the Commission                   accurately reflect actual or expected                   RTO/ISO market elements other than
                                               to avoid imposing time limitations that                 short-run marginal cost.457 The                         the offer cap may need to be revised if
                                               interfere with the ISO–NE Market                        Commission has previously found in                      the offer cap is revised. CAISO states
                                               Monitor’s ability to review and verify                  PJM that adders above cost are unjust                   that it will face significant
                                               physical parameters before-the-fact.452                 and unreasonable as applied to an after-                implementation challenges if it changes
                                               The PJM Market Monitor requests that                    the-fact review of documented costs                     its current $1,000/MWh offer cap
                                               the Commission clarify that the cost-                   because the costs are no longer                         because the administrative penalty
                                               based offers contemplated in the NOPR                   uncertain.458 Applying that same                        prices CAISO uses in its market model
                                               include the same limits on offer                        reasoning here, if a resource receives                  to indicate that constraints have been
                                               parameters as all other cost-based                      uplift after-the-fact because that                      relaxed, such as the power balance
                                               offers.453 Potomac Economics advises                    resource’s cost-based incremental                       constraint, are based on the offer cap.462
                                               that any Final Rule not address physical                energy offer above $1,000/MWh could                        211. PJM states that it would likely
                                               parameters because additional                           not be verified prior to the market                     need to adjust shortage pricing rules in
                                               verification of physical parameters is                  clearing process or because its cost-                   PJM in light of any Final Rule on offer
                                               not needed, and the proposal only                       based incremental energy offer exceeded                 caps.463 SPP states that it would likely
                                               addressed incremental energy offers.454                 $2,000/MWh, the uplift payments that                    need to revise its scarcity prices and
                                               Midcontinent Joint Consumer                             the resource receives should not include                violation relaxation limits to prevent
                                               Advocates note that physical offer                      any adders above costs. As noted above,                 instances in which LMPs exceed
                                               components such as generation                           after-the-fact uplift would be based on a               scarcity values.464 MISO states that it
                                               minimum and maximum levels are                          resource’s actual costs.459                             may need to revise its Operating Reserve
                                                                                                          208. Based on the record before us, we               Demand Curve, $3,500/MWh LMP cap,
                                                  446 TAPS Comments at 16; Industrial Customers
                                                                                                       will not require that additional                        and Transmission Constraint Demand
                                               Comments at 25–26 (citing PJM Market Monitor
                                               Comments, Docket No. ER14–1144, at p. 2, n. 5
                                                                                                       information on short-run marginal cost                  Curves if MISO’s $1,000/MWh offer cap
                                               (filed Mar. 26, 2015)).                                 components be provided to the RTO/                      is revised.465
                                                  447 Pennsylvania Commission Comments at 5, 10;
                                                                                                                                                                  212. APPA, NRECA, and AMP and
                                               CAISO Comments at 11–12; Industrial Customers              455 Midcontinent Joint Consumer Advocates
                                               Comments at 26.                                         Comments at 6.
                                                                                                                                                               ODEC state that any Final Rule
                                                  448 CAISO Comments at 12.                               456 See supra P 203.
                                                  449 Industrial Customers Comments at 26–27                                                                     460 NOPR,    FERC Stats. & Regs. ¶ 32,714 at PP 61–
                                                                                                          457 The Commission notes that it previously
                                               (citing N.Y. Indep. Sys. Operator, Inc., 154 FERC ¶     accepted adders above costs in PJM that exceed          62.
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                                               61,111, at P 1 (2016)).                                 $100/MWh. However, after reviewing the record
                                                                                                                                                                 461 Id. P 72.
                                                  450 NOPR, FERC Stats. & Regs. ¶ 32,714 at P 73.                                                                462 CAISO    Comments at 14–17. CAISO requests
                                                                                                       before us in this proceeding, we find that it is just
                                                  451 ISO–NE Market Monitor Comments at 10.            and reasonable to limit the adder to $100/MWh. See      that, prior to issuing the Final Rule, the
                                                  452 Id. at 11.                                       PJM 2015 Offer Cap Order, 153 FERC ¶ 61,289 at          Commission conduct a technical conference to
                                                  453 PJM Market Monitor Comments at 2–3.              P 31.                                                   better understand the challenges of implementation.
                                                  454 Potomac Economics Comments at 11 (citing            458 PJM 2015 Offer Cap Order, 153 FERC ¶ 61,289      CAISO Comments at 3, 17.
                                                                                                                                                                 463 PJM/SPP Comments at 28.
                                               Potomac Economics Post-Technical Workshop               at P 31 (citing PJM Interconnection, L.L.C., 149
                                               Comments. Docket No. AD14–14–000, at 5 (filed           FERC ¶ 61,059 at P 13).                                   464 Id. at 29.

                                               Feb. 24, 2015)).                                           459 See supra P 146.                                   465 MISO Comments at 3–5.




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                                                                Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                            87797

                                               regarding offer caps should be restricted               potential for a gas market RTO/ISO is a                 applicability. OMB’s regulations,479 in
                                               to changing the offer cap and not                       longer term solution to address issues of               turn, require approval of certain
                                               address potentially associated issues                   transparency and market power in the                    information collection requirements
                                               such as scarcity pricing.466 In contrast,               gas market.471                                          imposed by agency rules. Upon
                                               PG&E recommends that before allowing                       216. The Pennsylvania Commission                     approval of a collection(s) of
                                               the offer cap to rise above $1,000/MWh,                 states that the Commission should                       information, OMB will assign an OMB
                                               the Commission and the individual                       direct PJM and other RTO/ISO                            control number and an expiration date.
                                               RTOs/ISOs should determine all related                  stakeholders to develop a ‘‘circuit                     Respondents subject to the filing
                                               changes to the markets that would be                    breaker’’ provision to cap energy market                requirements of a rule will not be
                                               needed to ensure that the markets                       revenue during uncontrollable and                       penalized for failing to respond to these
                                               would function properly.467                             sustained outage events.472 The                         collection(s) of information unless the
                                                                                                       Pennsylvania Commission states that                     collection(s) of information display a
                                               2. Determination                                        during sustained outages, price signals                 valid OMB control number.
                                                  213. An RTO/ISO may file, pursuant                   in energy markets become irrelevant,                      220. In this Final Rule, we are
                                               to section 205 of the Federal Power Act,                and the main consideration is the time                  amending the Commission’s regulations
                                               to propose modifications to shortage                    required to repair infrastructure as                    to improve the operation of organized
                                               prices or other market elements that                    opposed to the economic theory behind                   wholesale electric power markets
                                               require revision in light of the offer cap              energy markets.473 The Pennsylvania                     operated by RTOs/ISOs. We require that
                                               reforms adopted in this Final Rule.                     Commission also recommends that the                     each RTO/ISO (1) cap each resource’s
                                               However, we do not require such                         Commission direct PJM to introduce                      incremental energy offer at the higher of
                                               modifications to comply with this Final                 some level of aggregate market power                    $1,000/MWh or that resource’s verified
                                               Rule. We find that it is not appropriate                mitigation or impose a screen for                       cost-based incremental energy offer; and
                                               to determine in this Final Rule the                     aggregate market power in the PJM day-                  (2) when calculating LMPs, RTOs/ISOs
                                               changes that individual RTOs/ISOs                       ahead and real-time markets.474 PJM                     shall cap verified cost-based
                                               should make to market elements that are                 Joint Consumer Advocates argue that                     incremental energy offers at $2,000/
                                               not the subject of these reforms.                       shortage prices in PJM should be revised                MWh. The reforms required in this
                                                                                                       to represent customers’ willingness to                  Final Rule would require a one-time
                                               VII. Requests Beyond the Scope of This
                                                                                                       pay,475 and the Ohio Commission states                  tariff filing with the Commission due 75
                                               Proceeding
                                                                                                       that scarcity pricing may no longer be                  days after the effective date of this Final
                                               A. Comments                                             necessary in light of this Final Rule.476               Rule to implement these reforms. We
                                                  214. Commenters raised issues that                      217. Industrial Customers argue that                 anticipate the reforms required in this
                                               are not discussed above and that are                    increases to the current $1,000/MWh                     Final Rule, once implemented, would
                                               outside the scope of this rulemaking.                   offer cap should be explored                            not significantly change currently
                                               Several commenters argue that the focus                 simultaneously with the elimination of                  existing burdens on an ongoing basis.
                                               of the recommendations in the NOPR is                   capacity markets, and that the                          With regard to those RTOs/ISOs that
                                               too narrow. API recommends that the                     Commission could act more                               believe that they already comply with
                                               Commission look for ways to encourage                   methodically to explore ways to                         the reforms required in this Final Rule,
                                               the appropriate integration of new                      improve capacity market                                 they could demonstrate their
                                               technologies, including quickly ramping                 competitiveness and transparency.477                    compliance in the compliance filing
                                               gas-fired generation technology, to meet                                                                        required 75 days after the effective date
                                                                                                       B. Determination
                                               rapidly changing grid-conditions and                                                                            of this Final Rule in this proceeding.
                                                                                                         218. We appreciate the concerns                       The Commission will submit the
                                               allow prices in real-time markets to                    raised by numerous commenters
                                               better reflect the true state of grid                                                                           proposed reporting requirements to
                                                                                                       requesting that the Commission                          OMB for its review and approval under
                                               reliability at a given moment while                     undertake various initiatives, as set
                                               addressing any remaining concerns of                                                                            section 3507(d) of the Paperwork
                                                                                                       forth above. However, we find that the                  Reduction Act.480
                                               market power abuse.468 API further                      requested initiatives go beyond the                       221. In the NOPR, the Commission
                                               recommends that the Commission                          scope of this rulemaking, which only                    sought comments on the accuracy of
                                               initiate an examination of opportunity                  addresses incremental energy offers                     provided burden and cost estimates and
                                               costs and risk premiums, inclusive of a                 above $1,000/MWh. Accordingly, we                       any suggested methods for minimizing
                                               wider range of resources, in wholesale                  will not address those concerns here.                   the respondents’ burdens, including the
                                               energy market offer pricing and how                                                                             use of automated information
                                               they may or may not be considered by                    VIII. Information Collection Statement
                                                                                                                                                               techniques. Specifically, the
                                               various RTO/ISO market rules.469                          219. The Paperwork Reduction Act                      Commission sought detailed comments
                                                  215. The PJM Market Monitor argues                   (PRA) 478 requires each federal agency to               on the potential cost and time necessary
                                               that because gas is the only fuel likely                seek and obtain Office of Management                    to implement aspects of the reforms
                                               to result in offers greater than $1,000/                and Budget (OMB) approval before                        proposed in the NOPR, including (1)
                                               MWh, the removal of any cap on short                    undertaking a collection of information                 software and business processes
                                               run marginal cost therefore relies on the               directed to ten or more persons or                      changes, including market power
                                               competitiveness of the gas markets.470                  contained in a rule of general                          mitigation; (2) increased time spent
                                               The PJM Market Monitor suggests that a
                                                                                                                                                               validating cost-based incremental
                                               reconsideration of the structure and                      471 Id.   at 6.                                       energy offers; and (3) processes for
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                                               design of the gas market and the                          472 Pennsylvania  Commission Comments at 5–7.
                                                                                                         473 Id.
                                                                                                                                                               RTOs/ISOs to vet proposed changes
                                                                                                                 at 8.
                                                466 ODEC Comments at 1; APPA, NRECA, and                 474 Id. at 13–14.
                                                                                                                                                               amongst their stakeholders. The
                                               AMP Comments at 20–21.                                    475 PJM Joint Consumer Advocates Comments at          Commission also stated that although it
                                                467 PG&E Comments at 2.                                5–6.                                                    did not expect other entities to incur
                                                468 API Comments at 2–3.                                 476 Ohio Commission Comments at 14–15.
                                                469 Id. at 8.                                            477 Industrial Customers Comments at 29–30.             479 5   CFR 1320 (2016).
                                                470 PJM Market Monitor Comments at 4.                    478 44 U.S.C. 3501–3520.                                480 44   U.S.C. 3507(d).



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                                               87798             Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                               compliance costs as a result of the                          Burden Estimate and Information                       follow.481 The Commission notes that
                                               reforms proposed in the NOPR, it sought                    Collection Costs: The Commission                        these cost estimates below do not
                                               detailed comments on whether other                         believes that the burden estimates below                include costs for software or hardware
                                               entities, such as load-serving entities,                   are representative of the average burden                or for increased time spent validating
                                               would incur costs as a result of the                       on respondents, including necessary                     cost-based incremental energy offers
                                               reforms proposed in the NOPR. The                          communications with stakeholders. The                   above $1,000/MWh.482 Software or
                                               Commission received no comments in                         estimated burden and cost for the                       hardware upgrades may not be required.
                                               response to these questions.                               requirements contained in this rule

                                                                                      FERC–516, AS MODIFIED BY FINAL RULE IN DOCKET RM16–5–000
                                                                                                            Annual                                     Average                 Total annual
                                                                                                            number                                      burden                                            Cost per
                                                                                   Number of                               Total number                                        burden hours
                                                                                                         of responses                                 (hours) &                                          respondent
                                                                                  respondents                              of responses                                           & total
                                                                                                              per                                      cost per                                              ($)
                                                                                                                                                                                annual cost
                                                                                                          respondent                                  response

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

                                               One-Time Tariff Filings                   6                    1                   6           500 hrs.; $37,000 483       3,000 hrs.; $222,000            $37,000
                                                (Year 1).



                                                  Cost to Comply: The Commission has                      to the Commission’s need for efficient                  omb.eop.gov. Comments submitted to
                                               projected the total cost of compliance,                    information collection, communication,                  OMB should include FERC–516C and
                                               all within four months of a Final Rule                     and management within the energy                        OMB Control No. 1902–0287.
                                               plus initial implementation, to be                         industry. The Commission has specific,
                                               $222,000. After Year 1, the reforms in                     objective support for the burden                        IX. Regulatory Flexibility Act
                                               this Final Rule, once implemented,                         estimates associated with the                           Certification
                                               would not significantly change existing                    information collection requirements.                       223. The Regulatory Flexibility Act of
                                               burdens on an ongoing basis.                                 222. Interested persons may obtain
                                                                                                                                                                  1980 (RFA) 485 generally requires a
                                                  The Commission notes that these                         information on the reporting
                                                                                                                                                                  description and analysis of rules that
                                               estimates do not include costs for                         requirements by contacting the
                                                                                                                                                                  will have significant economic impact
                                               software or hardware. Software or                          following: Federal Energy Regulatory
                                                                                                                                                                  on a substantial number of small
                                               hardware upgrades may not be required.                     Commission, 888 First Street NE.,
                                                                                                                                                                  entities. The RFA does not mandate any
                                                  Title: FERC–516C,484 Electric Rate                      Washington, DC 20426 [Attention: Ellen
                                                                                                                                                                  particular outcome in a rulemaking. It
                                               Schedules and Tariff Filings.                              Brown, Office of the Executive Director],
                                                                                                                                                                  only requires consideration of
                                                  Action: Proposed revisions to an                        email: DataClearance@ferc.gov, Phone:
                                                                                                          (202) 502–8663, fax: (202) 273–0873.                    alternatives that are less burdensome to
                                               information collection.
                                                                                                          Comments concerning the collection of                   small entities and an agency
                                                  OMB Control No. 1902–0287.
                                                  Respondents for this Rulemaking:                        information and the associated burden                   explanation of why alternatives were
                                               RTOs/ISOs.                                                 estimate(s), may also be sent to the                    rejected.
                                                  Frequency of Information: One-time.                     Office of Information and Regulatory                       224. This rule would apply to six
                                                  Necessity of Information: The Federal                   Affairs, Office of Management and                       RTOs/ISOs (all of which are
                                               Energy Regulatory Commission                               Budget, 725 17th Street NW.,                            transmission organizations). The
                                               approves this rule to improve                              Washington, DC 20503 [Attention: Desk                   average estimated annual cost to each of
                                               competitive wholesale electric markets                     Officer for the Federal Energy                          the RTOs/ISOs is $37,000, all in Year 1.
                                               in the RTO/ISO regions.                                    Regulatory Commission, phone: (202)                     This one-time cost of filing and
                                                  Internal Review: The Commission has                     395–0710, fax (202) 395–7285]. Due to                   implementing these changes is not
                                               reviewed the changes and has                               security concerns, comments should be                   significant.486 Additionally, the RTOs/
                                               determined that such changes are                           sent electronically to the following                    ISOs are not small entities, as defined
                                               necessary. These requirements conform                      email address: oira_submission@                         by the RFA.487 This is because the
                                                 481 The RTOs/ISOs (CAISO, ISO–NE., MISO,                     Computer and mathematical (code 15–0000),           information collection. The reporting requirements
                                               NYISO, PJM, and SPP) are required to comply with           $60.54                                                  of the RM16–5–000 Final Rule are being submitted
                                               the reforms in this Final Rule.                                Information systems manager (code 11–3021),         to FERC–516C to ensure timely submission to OMB.
                                                 482 The Commission expects that the validation of        $91.63                                                    485 5 U.S.C. 601–12.
                                                                                                                                                                    486 This estimate does not include costs for
                                               cost-based incremental energy offers above $1,000/             IT security analyst (code 15–1122), $63.55
                                               MWh would be an infrequent occurrence. To the                  Auditing and accounting (code 13–2011),             software or increased time spent validating cost-
                                               extent that the Market Monitoring Unit or the RTO/         $53.78                                                  based incremental energy offers. As stated above,
                                               ISO spends time validating these offers, the                   Information and record clerk (code 43–4199),        the Commission expects that the validation of cost-
                                               Commission estimates such time to be de minimis.           $37.69                                                  based incremental energy offers above $1,000/MWh
                                                 483 The estimated hourly cost (salary plus                                                                       would be an infrequent occurrence. To the extent
                                                                                                              Electrical Engineer (code 17–2071), $64.20
                                                                                                                                                                  that the Market Monitoring Unit or the RTO/ISO
                                               benefits) provided in this section is based on the             Economist (code 19–3011), $74.43                    spends time validating these offers, the Commission
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                                               salary figures for May 2015 posted by the Bureau               Management (code 11–0000), $88.94                   expects such time to be de minimis.
                                               of Labor Statistics for the Utilities sector (available      The average hourly cost (salary plus benefits),         487 The RFA definition of ‘‘small entity’’ refers to
                                               at http://www.bls.gov/oes/current/naics2_                  weighting all of these skill sets evenly, is $73.74.    the definition provided in the Small Business Act,
                                               22.htm#13-0000) and scaled to reflect benefits using       The Commission rounds it to $74 per hour.               which defines a ‘‘small business concern’’ as a
                                               the relative importance of employer costs in                 484 The RM16–5–000 Final Rule reporting               business that is independently owned and operated
                                               employee compensation from June 2016 (available            requirements should be submitted to FERC–516            and that is not dominant in its field of operation.
                                               at http://www.bls.gov/news.release/ecec.nr0.htm).          (OMB Control No. 1902–0096). Currently, that            The Small Business Administrations’ regulations at
                                               The hourly estimates for salary plus benefits are:         information collection is under review for an           13 CFR 121.201 define the threshold for a small
                                                    Legal (code 23–0000), $128.94                         unrelated activity. The FERC–516C is a temporary        Electric Bulk Power Transmission and Control



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                                                                      Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations                                                    87799

                                               relevant threshold between small and                               Eastern time) at 888 First Street NE.,                PART 35—FILING OF RATE
                                               large entities is 500 employees and the                            Room 2A, Washington, DC 20426.                        SCHEDULES AND TARIFFS
                                               Commission understands that each                                     227. From the Commission’s Home
                                               RTO/ISO has more than 500 employees.                               Page on the Internet, this information is             ■ 1. The authority citation for part 35
                                               Furthermore, because of their pivotal                              available on eLibrary. The full text of               continues to read as follows:
                                               roles in wholesale electric power                                  this document is available on eLibrary                  Authority: 16 U.S.C. 791a–825r, 2601–
                                               markets in their regions, none of the                              in PDF and Microsoft Word format for                  2645; 31 U.S.C. 9701; 42 U.S.C. 7101–7352.
                                               RTOs/ISOs meet the last criterion of the                           viewing, printing, and/or downloading.
                                               two-part RFA definition a small entity:                                                                                  ■ 2. Amend § 35.28 by adding paragraph
                                                                                                                  To access this document in eLibrary,                  (g)(9) to read as follows:
                                               ‘‘not dominant in its field of operation.’’                        type the docket number of this
                                               As a result, we certify that the reforms                           document, excluding the last three                    § 35.28 Non-discriminatory open access
                                               in this Final Rule would not have a                                digits, in the docket number field.                   transmission tariff.
                                               significant economic impact on a
                                                                                                                    228. User assistance is available for               *     *     *     *      *
                                               substantial number of small entities.
                                                                                                                  eLibrary and the Commission’s Web site                  (g) * * *
                                               X. Environmental Analysis                                          during normal business hours from the                   (9) A resource’s incremental energy
                                                  225. The Commission is required to                              Commission’s Online Support at 202–                   offer must be capped at the higher of
                                               prepare an Environmental Assessment                                502–6652 (toll free at 1–866–208–3676)                $1,000/MWh or that resource’s cost-
                                               or an Environmental Impact Statement                               or email at ferconlinesupport@ferc.gov,               based incremental energy offer. For the
                                               for any action that may have a                                     or the Public Reference Room at (202)                 purpose of calculating Locational
                                               significant adverse effect on the human                            502–8371, TTY (202) 502–8659. Email                   Marginal Prices, Regional Transmission
                                               environment.488 The Commission                                     the Public Reference Room at                          Organizations and Independent System
                                               concludes that neither an                                          public.referenceroom@ferc.gov.                        Operators must cap cost-based
                                               Environmental Assessment nor an                                                                                          incremental energy offers at $2,000/
                                               Environmental Impact Statement is                                  XII. Effective Date and Congressional                 MWh. The costs underlying a resource’s
                                               required for this Final Rule under                                 Notification                                          cost-based incremental energy offer
                                               section 380.4(a)(15) of the Commission’s                                                                                 above $1,000/MWh must be verified
                                                                                                                    229. These regulations are effective
                                               regulations, which provides a                                                                                            before that offer can be used for
                                                                                                                  February 21, 2017. The Commission has
                                               categorical exemption for approval of                                                                                    purposes of calculating Locational
                                                                                                                  determined, with the concurrence of the
                                               actions under sections 205 and 206 of                                                                                    Marginal Prices. If a resource submits an
                                                                                                                  Administrator of the Office of
                                               the Federal Power Act relating to the                                                                                    incremental energy offer above $1,000/
                                                                                                                  Information and Regulatory Affairs of
                                               filing of schedules containing all rates                                                                                 MWh and the costs underlying that offer
                                                                                                                  OMB, that this rule is not a ‘‘major rule’’
                                               and charges for the transmission or sale                                                                                 cannot be verified before the market
                                                                                                                  as defined in section 351 of the Small
                                               of electric energy subject to the                                                                                        clearing process begins, that offer may
                                                                                                                  Business Regulatory Enforcement
                                               Commission’s jurisdiction, plus the                                                                                      not be used to calculate Locational
                                                                                                                  Fairness Act of 1996.
                                               classification, practices, contracts and                                                                                 Marginal Prices and the resource would
                                               regulations that affect rates, charges,                            List of Subjects in 18 CFR Part 35                    be eligible for a make-whole payment if
                                               classifications, and services.489                                                                                        that resource is dispatched and the
                                                                                                                     Electric power rates, Electric utilities,          resource’s costs are verified after-the-
                                               XI. Document Availability                                          Non-discriminatory open access                        fact. A resource would also be eligible
                                                 226. In addition to publishing the full                          transmission tariffs.                                 for a make-whole payment if it is
                                               text of this document in the Federal                                 By the Commission.                                  dispatched and its verified cost-based
                                               Register, the Commission provides all                                Issued: November 17, 2016.                          incremental energy offer exceeds
                                               interested persons an opportunity to                               Nathaniel J. Davis, Sr.,
                                                                                                                                                                        $2,000/MWh. All resources, regardless
                                               view and/or print the contents of this                                                                                   of type, are eligible to submit cost-based
                                                                                                                  Deputy Secretary.
                                               document via the Internet through the                                                                                    incremental energy offers in excess of
                                               Commission’s Home Page (http://                                       In consideration of the foregoing, the             $1,000/MWh.
                                               www.ferc.gov) and in the Commission’s                              Commission amends part 35, chapter I,                   The following appendix will not
                                               Public Reference Room during normal                                title 18, Code of Federal Regulations, as             appear in the Code of Federal
                                               business hours (8:30 a.m. to 5:00 p.m.                             follows:                                              Regulations.

                                                                                                  APPENDIX—LIST OF SHORT NAMES/ACRONYMS OF COMMENTERS
                                                          Short name/acronym                                                                                Commenter

                                               AEMA ..............................................      Advanced Energy Management Alliance.
                                               AF&PA ............................................       American Forest & Paper Association.
                                               APPA, NRECA, and AMP ...............                     American Public Power Association, National Rural Electric Cooperative Association and American Munic-
                                                                                                          ipal Power, Inc.
                                               API ..................................................   American Petroleum Institute.
                                               CAISO .............................................      California Independent System Operator Corporation.
                                               CEA .................................................    Canadian Electricity Association.
                                               Competitive Suppliers .....................              Electric Power Supply Association, Independent Energy Producers Association, Independent Power Pro-
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                                                                                                          ducers of New York Inc., New England Power Generators Association Inc., Western Power Trading
                                                                                                          Forum.
                                               Delaware Commission ....................                 Delaware Public Service Commission.

                                               entity (NAICS code 221121) to be 500 employees.                      488 Regulations Implementing the National               489 18   CFR 380.4(a)(15) (2016).
                                               See 5 U.S.C. 601(3), citing to Section 3 of the Small              Environmental Policy Act of 1989, Order No. 486,
                                               Business Act, 15 U.S.C. 632.                                       52 FR 47,897 (Dec. 17, 1987), FERC Stats. & Regs.
                                                                                                                  ¶ 30,783 (1987).



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                                               87800                  Federal Register / Vol. 81, No. 233 / Monday, December 5, 2016 / Rules and Regulations

                                                                                      APPENDIX—LIST OF SHORT NAMES/ACRONYMS OF COMMENTERS—Continued
                                                          Short name/acronym                                                                                Commenter

                                               Direct Energy ..................................         Direct Energy Business, LLC, on behalf of itself and its affiliate, Direct Energy Business Marketing, LLC.
                                               Dominion .........................................       Dominion Resources Services, Inc.
                                               EEI ..................................................   Edison Electric Institute.
                                               Exelon .............................................     Exelon Corporation.
                                               Golden Spread ................................           Golden Spread Electric Cooperative, Inc.
                                               Industrial Customers .......................             Electricity Consumers Resource Council, PJM Industrial Customer Coalition, Coalition of MISO Trans-
                                                                                                          mission Customers, American Chemistry Council, Association of Businesses Advocating Tariff Equity,
                                                                                                          Connecticut Industrial Energy Consumers, Illinois Industrial Energy Consumers, Indiana Industrial En-
                                                                                                          ergy Consumers, Inc., Louisiana Energy Users Group, Minnesota Large Industrial Group, Missouri In-
                                                                                                          dustrial Energy Consumers, Multiple Intervenors, New Jersey Large Energy Users Coalition, Wisconsin
                                                                                                          Industrial Energy Group, Inc.
                                               Industrial Energy Consumers .........                    Industrial Energy Consumers of America.
                                               ISO–NE ...........................................       ISO New England, Inc.
                                               ISO–NE Market Monitor ..................                 ISO New England Inc. Internal Market Monitor.
                                               IRC ..................................................   ISO/RTO Council.
                                               KEPCo/NCEMC ..............................               Kansas Electric Power Cooperative, Inc. and North Carolina Electric Membership Corporation.
                                               Joseph Margolies ............................            Joseph Margolies.
                                               Midcontinent Joint Consumer Advo-                        Indiana Office of Utility Consumer Counselor, Iowa Office of Consumer Advocate, Michigan Citizens
                                                 cates.                                                   Against Rate Excess, Minnesota Department of Commerce, Minnesota Attorney General’s Office.
                                               MISO ...............................................     Midcontinent Independent System Operator, Inc.
                                               NEI ..................................................   Nuclear Energy Institute.
                                               NESCOE .........................................         New England States Committee on Electricity.
                                               New Jersey Commission ................                   New Jersey Board of Public Utilities.
                                               NY Department of State .................                 New York State Department of State Utility Intervention Unit.
                                               NYISO .............................................      New York Independent System Operator, Inc.
                                               New York Commission ...................                  New York State Public Service Commission.
                                               NY Transmission Owners ...............                   New York Transmission Owners (Central Hudson Gas & Electric Corporation, Consolidated Edison Com-
                                                                                                          pany of New York, Inc., New York Power Authority, New York State Electric & Gas Corporation, Niagara
                                                                                                          Mohawk Power Corporation d/b/a National Grid, Orange and Rockland Utilities, Inc., Power Supply Long
                                                                                                          Island, Rochester Gas and Electric Corporation).
                                               ODEC ..............................................      Old Dominion Electric Cooperative.
                                               OMS ................................................     Organization of MISO States.
                                               OPSI ................................................    Organization of PJM States, Inc.
                                               Pennsylvania Commission ..............                   Pennsylvania Public Utility Commission.
                                               PG&E ..............................................      Pacific Gas and Electric Company.
                                               PJM/SPP .........................................        PJM Interconnection, L.L.C. and Southwest Power Pool, Inc. (Joint Comments).
                                               PJM Joint Consumer Advocates ....                        Delaware Division of the Public Advocate, Office of People’s Counsel for the District of Columbia, Illinois
                                                                                                          Citizens Utility Board, Indiana Office of Utility Consumer Counselor, Kentucky Office of Rate Intervention,
                                                                                                          Office of Attorney General, Maryland Office of Peoples’ Counsel, New Jersey Division of Rate Counsel,
                                                                                                          Pennsylvania Office of Consumer Advocate, Consumer Advocate Division of the Public Service Commis-
                                                                                                          sion of West Virginia.
                                               PJM Market Monitor ........................              Monitoring Analytics, LLC, acting in its capacity as the Independent Market Monitor for PJM.
                                               PJM Power Providers .....................                PJM Power Providers Group.
                                               Potomac Economics .......................                Potomac Economics, Ltd.
                                               Powerex ..........................................       Powerex Corp.
                                               Ohio Commission ............................             Public Utilities Commission of Ohio.
                                               SCE .................................................    Southern California Edison Company.
                                               Six Cities .........................................     Cities of Anaheim, Azusa, Banning, Colton, Pasadena, and Riverside, California.
                                               SPP .................................................    Southwest Power Pool, Inc.
                                               SPP Market Monitor ........................              Southwest Power Pool, Inc. Market Monitoring Unit.
                                               Steel Producers’ Alliance ................               Steel Producers’ Alliance.
                                               TAPS ...............................................     Transmission Access Policy Study Group.



                                               [FR Doc. 2016–28320 Filed 12–2–16; 8:45 am]
                                               BILLING CODE 6717–01–P
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Document Created: 2016-12-03 00:26:11
Document Modified: 2016-12-03 00:26:11
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
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, [email protected]
FR Citation81 FR 87770 
CFR AssociatedElectric Power Rates; Electric Utilities and Non-Discriminatory Open Access Transmission Tariffs

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