82_FR_9563 82 FR 9539 - Uplift Cost Allocation and Transparency in Markets Operated by Regional Transmission Organizations and Independent System Operators

82 FR 9539 - Uplift Cost Allocation and Transparency in Markets Operated by Regional Transmission Organizations and Independent System Operators

DEPARTMENT OF ENERGY
Federal Energy Regulatory Commission

Federal Register Volume 82, Issue 24 (February 7, 2017)

Page Range9539-9555
FR Document2017-02332

The Federal Energy Regulatory Commission (Commission) is proposing to revise its regulations to require that each regional transmission organization (RTO) and independent system operator (ISO) that currently allocates the costs of real-time uplift due to deviations should allocate such real-time uplift costs only to those market participants whose transactions are reasonably expected to have caused the real-time uplift costs. The Commission also proposes to revise its regulations to enhance transparency by requiring that each RTO/ISO post uplift costs paid (dollars) and operator-initiated commitments (megawatts) on its Web site; and define in its tariff its transmission constraint penalty factors, as well as the circumstances under which those penalty factors can set locational marginal prices, and any procedure for changing those factors.

Federal Register, Volume 82 Issue 24 (Tuesday, February 7, 2017)
[Federal Register Volume 82, Number 24 (Tuesday, February 7, 2017)]
[Proposed Rules]
[Pages 9539-9555]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2017-02332]


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DEPARTMENT OF ENERGY

Federal Energy Regulatory Commission

18 CFR Part 35

[Docket No. RM17-2-000]


Uplift Cost Allocation and Transparency in Markets Operated by 
Regional Transmission Organizations and Independent System Operators

AGENCY: Federal Energy Regulatory Commission.

ACTION: Notice of proposed rulemaking.

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SUMMARY: The Federal Energy Regulatory Commission (Commission) is 
proposing to revise its regulations to require that each regional 
transmission organization (RTO) and independent system operator (ISO) 
that currently allocates the costs of real-time uplift due to 
deviations should allocate such real-time uplift costs only to those 
market participants whose transactions are reasonably expected to have 
caused the real-time uplift costs. The Commission also proposes to 
revise its regulations to enhance transparency by requiring that each 
RTO/ISO post uplift costs paid (dollars) and operator-initiated 
commitments (megawatts) on its Web site; and define in its tariff its 
transmission constraint penalty factors, as well as the circumstances 
under which those penalty factors can set locational marginal prices, 
and any procedure for changing those factors.

DATES: Comments are due April 10, 2017.

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

FOR FURTHER INFORMATION CONTACT: 
Stanley Wolf (Technical Information), Office of Energy Policy and 
Innovation, Federal Energy Regulatory Commission, 888 First Street NE., 
Washington, DC 20426, (202) 502-6841, [email protected]

Keatley Adams (Technical Information), Office of Energy Market 
Regulation, Federal Energy Regulatory Commission, 888 First Street NE., 
Washington, DC 20426, (202) 502-8678, [email protected]
Colin Beckman (Legal Information), Office of the General Counsel, 
Federal Energy Regulatory Commission, 888 First Street NE., Washington, 
DC 20426, (202) 502-8049, [email protected]

SUPPLEMENTARY INFORMATION: 

Table of Contents

 
                                                               Paragraph
 
I. Background...............................................           9
II. Discussion..............................................          12
    A. Uplift Cost Allocation...............................          12

[[Page 9540]]

 
        1. Uplift Cost Allocation Background................          13
        2. Current RTO/ISO Practices........................          16
        3. Comments.........................................          23
            a. Practices for Allocating Uplift Costs to               23
             Deviations.....................................
            b. Virtual Transactions and Uplift..............          27
            c. Coordinated Transaction Scheduling...........          29
            d. Additional Comments..........................          30
        4. Need for Reform..................................          31
        5. Proposal.........................................          35
            a. Real-Time Uplift Categories..................          40
            b. Netting......................................          45
            c. Deviations That Result From Following                  51
             Dispatch.......................................
            d. Settlement...................................          55
            e. Other Comments Sought........................          56
    B. Transparency.........................................          57
        1. Background.......................................          58
        2. Current RTO/ISO Practices........................          59
            a. Reporting Uplift.............................          59
            b. Reporting Operator-Initiated Commitments.....          63
            c. Transmission Constraint Penalty Factors......          66
        3. Comments.........................................          67
            a. General Comments.............................          67
            b. Comments on Uplift Reporting.................          68
            c. Comments on Reporting Operator-Initiated               72
             Commitments....................................
            d. Comments on Transmission Constraint Penalty            75
             Factors........................................
        4. Need for Reform..................................          77
        5. Proposal.........................................          82
            a. Uplift Reporting.............................          83
            b. Reporting Operator-Initiated Commitments.....          90
            c. Transmission Constraint Penalty Factors......          96
            d. Comment Sought on Transmission Outages.......         100
            e. Comment Sought on Availability of Market              101
             Models.........................................
III. Compliance.............................................         102
IV. Information Collection Statement........................         105
V. Environmental Analysis...................................         110
VI. Regulatory Flexibility Act..............................         111
VII. Comment Procedures.....................................         113
VIII. Document Availability.................................         117
 

    1. In this Notice of Proposed Rulemaking (NOPR), the Federal Energy 
Regulatory Commission (Commission) proposes to revise its regulations 
to address potentially unjust and unreasonable approaches to real-time 
uplift cost allocation and transparency practices by regional 
transmission organizations (RTOs) and independent system operators 
(ISOs).
    2. While the Commission and RTOs/ISOs have taken steps to reduce 
the amount of uplift in the energy and ancillary services markets, the 
complexity inherent in the electric system and limitations in the tools 
available to maintain reliable operations can lead to system operators 
taking out-of-market actions to manage reliability. When they do so, 
energy and ancillary service prices may not reflect the marginal cost 
of production and some resources may therefore need make-whole payments 
to ensure recovery of operating costs. Since the limitations in 
representing the complexity of the electric system in market models are 
unlikely to ever be fully resolved, uplift costs are also unlikely to 
be completely eliminated. As a result, RTOs/ISOs need to have a method 
for allocating these costs to market participants. At the highest 
level, the allocation of uplift costs should, to the extent possible, 
encourage behavior that will reduce the need for uplift-creating 
actions and avoid discouraging market participant behavior that lowers 
total production costs (i.e., enhances efficiency). The reforms 
proposed in this NOPR are designed to achieve these objectives.
    3. Given that RTOs/ISOs are likely going to need to take some out-
of-market actions, there is a need to provide transparency regarding 
those actions and the associated uplift costs. The lack of transparency 
regarding uplift and operator-initiated commitments,\1\ which can cause 
uplift, hinders a market participant's ability to plan and efficiently 
respond to system needs. Market participants may lack the information 
necessary to evaluate the need for and value of additional investment, 
such as transmission upgrades or new generation. Also, without 
sufficient transparency, market participants may not be able to assess 
each RTO's/ISO's operator-initiated commitment practices and raise any 
issues of concern through the stakeholder process. The transparency 
reforms proposed in this NOPR are designed to allow market participants 
to understand the actions RTOs/ISOs are taking and respond accordingly.
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    \1\ An operator-initiated commitment is a commitment that is not 
associated with a resource clearing the day-ahead or real-time 
market on the basis of economics and that is not self-scheduled. See 
FERC, Operator Initiated Commitments in RTO and ISO Markets, Docket 
No. AD14-14-000 at 8-20 (Dec. 2014), http://www.ferc.gov/legal/staff-reports/2014/AD14-14-operator-actions.pdf.
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    4. First, we preliminarily find that certain practices of 
allocating the cost of real-time uplift \2\ to market participants who 
deviate from day-ahead market schedules (deviations) are inconsistent 
with cost causation, which may distort market outcomes, potentially 
resulting in unjust and unreasonable rates.

[[Page 9541]]

Specifically, some RTO/ISO practices of allocating real-time uplift 
costs to deviations that could not reasonably be expected to have 
caused those uplift costs can distort market outcomes by 
inappropriately penalizing behavior that can improve price formation. 
Therefore, we propose to require that, if an RTO/ISO allocates real-
time uplift costs to deviations, it must do so based on cost causation, 
as further discussed below. For the purposes of allocating uplift costs 
to deviations, we propose that deviations are megawatt hour differences 
between a market participant's scheduled deliveries or receipts at 
particular points--as determined by the day-ahead market clearing 
process--and those amounts actually delivered or received in real-time 
that are not related to real-time economic or reliability-related 
operator dispatch instructions. This proposal would apply only to real-
time uplift cost allocation to deviations. This NOPR does not apply to 
other methods used by RTOs/ISOs to allocate uplift costs. If an RTO/ISO 
does not currently allocate real-time uplift costs to deviations, this 
NOPR does not impose a requirement on those RTOs/ISOs to allocate real-
time uplift costs to deviations.
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    \2\ Real-time uplift refers to uplift payments to resources 
committed after the close of the day-ahead market, including any 
uplift associated with reliability commitments, whether or not the 
RTO/ISO considers such commitments outside of the day-ahead market, 
e.g., the Reliability Unit Commitment or RUC process. As such, 
uplift payments to resources committed in a reliability unit 
commitment process would be considered real-time uplift for the 
purposes of this NOPR).
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    5. Second, we preliminarily find that current practices with 
respect to reporting uplift payments, operator-initiated commitments, 
and transmission constraint penalty factors \3\ are unjust and 
unreasonable. The lack of transparency into the costs allocated to 
market participants, and into the causes of such costs, hinders the 
ability of market participants to assess the effectiveness of current 
operational practices or to evaluate the need for additional 
investment, such as transmission upgrades or new generation. Similarly, 
the lack of transparency with respect to transmission constraint 
penalty factors may hinder a market participant's ability to 
effectively understand how an RTO's/ISO's actions affect energy prices 
and thus, hinder its ability to hedge energy market transactions. As 
discussed further below, for these reasons we preliminarily find that 
these practices may result in rates that are unjust and unreasonable. 
We therefore propose to require that each RTO/ISO: (1) Report total 
uplift payments for each transmission zone, broken out by day and 
uplift category; (2) report total uplift payments for each resource on 
a monthly basis; (3) report megawatts (MW) of operator-initiated 
commitments in or near real-time and after the close of the day-ahead 
market, broken out by transmission zone and commitment reason; and (4) 
define in its tariff the transmission constraint penalty factors, as 
well as the circumstances under which those factors can set locational 
marginal prices (LMPs), and the process by which they can be changed.
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    \3\ Transmission constraint penalty factors are the values at 
which an RTO's/ISO's market software will relax the limit on a 
transmission constraint rather than continue to re-dispatch 
resources to relieve congestion associated with that constraint.
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    6. 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.\4\
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    \4\ 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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    7. The reforms proposed in this NOPR address two of the 
Commission's price formation goals. First, the proposed reforms to 
uplift costs allocated to deviations should improve market 
participants' incentives to perform in real-time consistent with 
operator instructions and bid into the day-ahead market and submit day-
ahead schedules consistent with expected real-time system conditions. 
Second, the proposed transparency reforms will help market participants 
understand how prices reflect the actual marginal cost of serving load 
and the operational constraints of reliably operating the system.
    8. We seek comment on these proposed reforms 60 days after 
publication of this NOPR in the Federal Register.

I. Background

    9. In June 2014, the Commission initiated a proceeding, in Docket 
No. AD14-14-000, Price Formation in Energy and Ancillary Services 
Markets in Regional Transmission Organizations and Independent System 
Operators, to evaluate issues regarding price formation in the energy 
and ancillary services markets operated by RTOs/ISOs (Price Formation 
Proceeding). The notice initiating that proceeding stated that there 
may be opportunities for the RTOs/ISOs to improve the price formation 
process in the energy and ancillary services markets. As set forth in 
the notice, 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.'' \5\ Pursuant to the notice, staff conducted outreach and 
convened technical workshops on the following four general issues: (1) 
Use of uplift payments; (2) offer price mitigation and offer price 
caps; (3) scarcity and shortage pricing; and (4) operator actions that 
affect prices.\6\
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    \5\ Price Formation Notice, Docket No. AD14-14-000, at 2 (June 
19, 2014).
    \6\ Id. at 1, 3-4.
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    10. In January 2015, the Commission requested comments on questions 
that arose from the price formation technical workshops.\7\ As a result 
of these comments, the Commission identified, among other things, five 
topics with potential for reform to improve price formation, but for 
which further information was needed.
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    \7\ Notice Inviting Comments, Docket No. AD14-14-000 (Jan. 16, 
2015).
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    11. In November 2015, the Commission issued an order that directed 
each RTO/ISO to report on these five price formation topics: Fast-start 
pricing; managing multiple contingencies; look-ahead modeling; uplift 
allocation; and transparency.\8\ Specifically, the order directed each 
RTO/ISO to file a report providing an update on its current practices 
in the five topic areas, outlining the status of its efforts (if any) 
to address issues in each of the five topic areas, and responding to 
specific questions contained in the order. In the reports filed and the 
subsequent comments, RTOs/ISOs and other commenters addressed the 
issues of uplift cost allocation and transparency,\9\ which are the 
subject of this NOPR.
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    \8\ Price Formation in Energy and Ancillary Services Markets 
Operated by Regional Transmission Organizations and Independent 
System Operators, 153 FERC ] 61,221 (2015) (Order Directing 
Reports).
    \9\ A list of commenters and the abbreviated names used in this 
NOPR appears in the Appendix.
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II. Discussion

A. Uplift Cost Allocation

    12. In this section, we first provide a brief background on uplift 
payments and deviations between day-ahead and real-time schedules as a 
way to determine uplift cost allocation. We

[[Page 9542]]

then review current RTO/ISO practices and comments regarding these 
practices submitted prior to and after the issuance of the Order 
Directing Reports. Finally, we explain the need for reform and set 
forth the proposal in detail.
1. Uplift Cost Allocation Background
    13. Uplift generally refers to payments that RTOs/ISOs make to a 
resource whose commitment and dispatch result in a shortfall between 
the costs in a resource's offer and the revenue earned through market 
clearing prices.\10\ For example, if a resource is committed and is not 
able to fully recover its costs from the energy and ancillary services 
markets, it would receive an uplift payment. As noted in the Staff 
Analysis of Uplift, modeling, software, and certain other limitations 
are inherent in the complexity of the electric system and the tools 
available to maintain reliable operations. As a result, system 
operators may have to take out-of-market actions to manage reliability, 
with resulting energy and ancillary service prices not reflecting the 
marginal cost of production. Uplift, or make-whole, payments may 
therefore be needed to ensure that resources committed and dispatched 
out-of-market are able to recover their operating costs. These 
modeling, software, and other limitations will likely persist, making 
uplift an inherent element of centralized wholesale energy and 
ancillary services markets that may not be completely eliminated. 
Therefore, RTOs/ISOs must have a method to allocate these costs to 
market participants. Generally, RTOs/ISOs allocate uplift costs either 
directly to market participants who caused the uplift or to load. 
Allocation of uplift costs to load is motivated by several 
considerations. Load can be viewed as the ultimate beneficiary of the 
actions the system operator takes to maintain reliability. Further, one 
principle of cost allocation is to allocate costs in a way that is 
least likely to distort market participant behavior. In electricity 
markets, load is the class of market participants that is currently the 
least sensitive to price and for whom an allocation of uplift costs is 
arguably least likely to distort behavior. For shorthand, allocating 
uplift costs to load is referred to as ``beneficiary pays.'' In 
practice, RTOs/ISOs often use a combination of the two approaches, with 
load receiving all of the uplift costs that are not allocated through 
cost-causation methods, such as a deviations-based approach.
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    \10\ FERC, Staff Analysis of Uplift in RTO and ISO Markets, 
Docket No. AD14-14-000, at 1-2 (Aug. 2014), https://www.ferc.gov/legal/staff-reports/2014/08-13-14-uplift.pdf.
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    14. In its Order Directing Reports, the Commission asked the RTOs/
ISOs to explain whether and how the RTO/ISO allocates real-time energy 
and ancillary services market uplift costs based on deviations from 
market participants' day-ahead schedules, and whether deviations that 
increase the need for actions that cause real-time uplift payments 
(harming deviations) are netted against deviations that reduce the need 
for actions that cause real-time uplift payments (helping 
deviations).\11\
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    \11\ Order Directing Reports, 153 FERC ] 61,221 at P 64, 
question 3.b.
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    15. In response, most RTOs/ISOs state that they classify certain 
schedule differences between the day-ahead and real-time markets as 
deviations and allocate at least some portion of real-time uplift costs 
to those deviations. Allocation of real-time uplift costs to deviations 
is the focus of this NOPR because deviations may increase the need for 
operator actions that cause real-time uplift, such as additional unit 
commitments in real-time to replace a shortfall in generation or an 
increase in load compared to the day-ahead market solution. This NOPR 
does not address other methods of uplift cost allocation, such as 
allocation to load obligations, and does not propose to require RTOs/
ISOs to allocate real-time uplift costs to deviations.
2. Current RTO/ISO Practices
    16. All of the RTOs/ISOs state that they use some form of 
beneficiary pays or cost-causation principles to allocate uplift 
costs.\12\ However, the current uplift cost allocation methods of the 
RTOs/ISOs vary significantly, both in terms of granularity and the 
exemption of certain types of transactions. The definition of what 
precisely constitutes a deviation also varies across RTOs/ISOs.
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    \12\ NYISO Report at 45; PJM Report at 28; SPP Report at 19; 
MISO Report at 42; ISO-NE Report at 43; CAISO Report at 35.
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    17. NYISO generally allocates uplift costs based on the beneficiary 
pays principle.\13\ NYISO allocates uplift costs associated with state-
wide reliability to all loads in the New York Control Area, and 
allocates uplift costs associated with local reliability to load within 
the transmission district where the reliability actions were taken. 
NYISO allocates real-time uplift costs on a beneficiary pays basis to 
load obligations, using real-time metered load during the hours in 
which uplift costs were incurred.\14\ NYISO also explains that it 
eliminated all uplift costs associated with Coordinated Transaction 
Scheduling (CTS) \15\ in a reciprocal fashion with ISO-NE, and that it 
supports the elimination of all uplift cost allocation and fees on 
exports because these fees reduce trade between regions and adversely 
impact total production costs.\16\
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    \13\ NYISO Report at 46.
    \14\ Id. at 40.
    \15\ CTS is a set of real-time market rules that allow imports 
and exports to be scheduled based on a bidder's willingness to 
purchase energy sourced from one RTO/ISO and sell the energy at a 
sink in another, adjacent RTO/ISO, if the difference between the 
forecasted prices at the sink and source is greater than or equal to 
the dollar value specified in the CTS Interface Bid (spread bid).
    \16\ NYISO Report at 45-46.
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    18. CAISO explains that it has many categories of uplift, and that 
it allocates uplift costs to transmission owners (who pass uplift costs 
to transmission customers), loads, and exports, depending on whether 
the system operator made the dispatch decision to address transmission 
constraints, energy imbalance, real-time congestion, or bid cost 
recovery.\17\ CAISO asserts that any allocation based on deviations 
should consider the wide variability in scheduling and metering 
granularity for different resources and that there might be 
implementation challenges in a more granular cost allocation.\18\
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    \17\ CAISO Report at 40-45.
    \18\ Id. at 37.
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    19. ISO-NE states that roughly half of its uplift costs are 
allocated to deviations, which include generator deviations, load 
deviations, increment (virtual) deviations, and import deviations.\19\ 
ISO-NE calculates each market participant's deviations hourly, netting 
virtual demand bids and deviations from day-ahead load across all 
locations.\20\ However, hourly generator and virtual supply deviations 
are not subject to netting in ISO-NE.\21\ ISO-NE does not allocate 
uplift costs to CTS transactions.\22\
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    \19\ ISO-NE Report at 54-55.
    \20\ Id. at 50.
    \21\ Id.
    \22\ ISO-NE Report at 53.
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    20. PJM allocates uplift costs incurred for reasons other than 
reliability to deviations, including cleared virtual bids, transaction 
deviations, and load deviations.\23\ PJM states that it assesses 
deviations daily by netting deviations separately within three 
different categories (demand, supply, and generation) at a single 
transmission zone, hub, or interface.\24\ PJM explains that its current 
netting rule allows a supply or demand deviation from a virtual 
transaction in the day-ahead energy market to be netted against

[[Page 9543]]

internal bilateral transactions \25\ occurring at the same 
location.\26\ PJM does not consider up-to-congestion transactions \27\ 
to be deviations and does not allocate uplift to them.\28\ PJM 
considers CTS transactions (and other imports and exports) to be 
deviations, and allocates uplift to them.
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    \23\ PJM Report at 30-31.
    \24\ Id. at 31.
    \25\ Internal bilateral transactions are a type of bilateral 
transaction used to purchase or sell one or more electricity market 
product(s) within a region. In all of the RTOs/ISOs, internal 
bilateral transactions are financial agreements that the two parties 
report to the RTO/ISO to streamline accounting and settlement. None 
of the RTOs/ISOs model internal bilateral transactions in the real-
time or day-ahead market, and internal bilateral transactions do not 
affect market dispatch or power flows.
    \26\ PJM Report at 33.
    \27\ An up-to-congestion transaction is a form of virtual 
transaction that combines an offer to sell energy at a source, with 
a bid to buy the same MW quantity of energy at a sink where such 
transaction specifies the maximum difference between the LMP at the 
source and sink.
    \28\ PJM Report at 33.
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    21. SPP states that it allocates uplift costs based on causation 
when the cause is identifiable and the cost of doing so does not 
outweigh the benefit.\29\ For example, real-time uplift costs are 
allocated to deviations from day-ahead schedules and SPP dispatch 
instructions.\30\ SPP states that virtual transactions are considered 
deviations, but virtual supply offers are netted against a 
countervailing deviation between day-ahead and real-time schedules 
(i.e., a load or export decrease, or import increase, relative to its 
day-ahead schedule) at the same settlement location.\31\
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    \29\ SPP Report at 20.
    \30\ Id. at 22.
    \31\ Id. at 38.
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    22. MISO has a granular approach to allocating uplift costs that it 
states is based on determining cost-causation where possible. MISO has 
several categories of uplift, but, for example, MISO's Revenue 
Sufficiency Guarantee uplift category has six different methodologies 
for distributing costs based on the reason a resource was 
committed.\32\ MISO also allocates uplift costs according to a set of 
defined categories based on what MISO determines to be the cause of the 
uplift. Uplift costs resulting from real-time capacity commitments are 
largely allocated to deviations, including physical supply and demand 
deviations, virtual transactions, and import and export physical 
schedules.\33\ A portion of uplift resulting from transmission 
constraint relief is assigned to the deviations that caused the 
congestion.\34\ MISO has also noted that it will not allocate uplift 
costs to CTS between itself and PJM, which is expected to be 
implemented in the spring of 2017.\35\
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    \32\ MISO Report at 42-43.
    \33\ Id. at 44.
    \34\ Id.
    \35\ Midcontinent Indep. Sys. Operator, Inc., 155 FERC ] 61,038, 
at P 3 (2016).
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3. Comments
a. Practices for Allocating Uplift Costs to Deviations
    23. Some commenters criticize the practice of allocating uplift 
costs to real-time deviations from day-ahead schedules. For example, 
Appian Way asserts that deviations-based approaches to uplift cost 
allocation create market inefficiencies in the form of unnecessary and 
inappropriate barriers to market participants accessing the spot 
market, and also shift the cost responsibility for uplift from load to 
other market participants.\36\
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    \36\ Appian Way Comments at 1, 7.
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    24. Others, however, support allocating uplift costs to deviations 
from day-ahead schedules, but argue that such deviations should be 
netted based on whether they contribute to or alleviate the condition 
causing uplift.\37\ Some commenters contend, for example, that netting 
such deviations is consistent with cost causation principles because it 
ensures that only market participants deviating from their day-ahead 
schedules in a manner that increases uplift payments will incur those 
costs.\38\
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    \37\ Financial Marketers Coalition Comments at 31.
    \38\ Id. at 14, 31.
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    25. Multiple commenters also recommend the creation of more 
specific uplift cost allocation categories that are better aligned with 
cost causation. To this end, some commenters suggest creating a 
congestion management category that would distinguish uplift incurred 
for congestion management from uplift incurred for capacity needs or 
voltage and local reliability and allocate uplift costs 
accordingly.\39\
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    \39\ Id. at 14; XO Energy Comments at 24.
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    26. MISO Market Monitor asserts that uplift costs should be 
minimized to the extent possible by incorporating reliability 
requirements into market-based products, but any remaining uplift costs 
should then be allocated based on cost causation. MISO Market Monitor 
believes that allocating uplift costs to those that cause it or benefit 
from it gives market participants an incentive to act to minimize it. 
MISO Market Monitor also asserts that MISO's uplift cost allocation 
approach is the best practice in the industry because it determines why 
the uplift was incurred and allocates the costs accordingly.\40\ MISO 
Market Monitor also argues that for both capacity-related and 
congestion-related uplift, cost allocations should be based on 
deviations from the market participants' day-ahead schedules.\41\
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    \40\ MISO Market Monitor Feb. 24, 2015 Comments at 16-17.
    \41\ Id. at 17.
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b. Virtual Transactions and Uplift
    27. Allocation of uplift costs to virtual transactions is a 
contentious issue, and commenters hold disparate opinions. Some 
commenters argue that virtual transactions contribute to price 
convergence between the day-ahead and real-time markets, thus reducing, 
rather than increasing, uplift. They also argue that virtual 
transactions are easily forced out of the market by added fees, such as 
uplift. These commenters support either reducing or eliminating the 
allocation of uplift costs to virtual transactions.\42\ For example, XO 
Energy argues that it is unjust and unreasonable to allocate energy 
deviation-related uplift costs to virtual transactions as XO Energy 
asserts these transactions do not impact unit commitment because the 
energy impacts ``net out'' and do not affect the system's power 
balance.\43\
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    \42\ Appian Way Comments at 10; Financial Marketers Coalition 
Comments at 14-15; XO Energy Comments at 21.
    \43\ XO Energy Comments at 19-21.
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    28. Other commenters disagree, arguing that virtual transactions 
should be allocated uplift costs because they affect day-ahead 
commitment and dispatch, and thus can impact uplift.\44\ For example, 
PJM states that allocating uplift costs to virtual transactions is 
consistent with cost causation, and that up-to-congestion transactions 
should be allocated uplift costs similar to other virtual transactions, 
although they are not currently allocated such costs.\45\ Several 
commenters also contend that cost allocation rules for virtual 
transactions may need to be revised.\46\ For example, EEI notes that in 
PJM, virtual transactions, including increment offers and decrement 
bids, are allocated uplift costs, while up-to-congestion transactions 
are not. EEI asserts that up-to-congestion transactions should not be 
given preferential treatment and should instead be allocated a share of 
uplift costs.\47\
---------------------------------------------------------------------------

    \44\ PSEG Companies Comments at 10; EEI Comments at 4.
    \45\ PJM Report at 33.
    \46\ EPSA/P3 Comments at 12; DC Energy, Inertia Power, and Vitol 
Comments at 4-5.
    \47\ EEI Comments at 4.

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[[Page 9544]]

c. Coordinated Transaction Scheduling
    29. CTS transactions are scheduled in real-time by the 
participating RTO/ISOs \48\ based on forecasted prices. CTS is not used 
in all RTO/ISO markets and the allocation of uplift costs to CTS varies 
by market, as described herein. Some RTOs/ISOs, such as MISO, view CTS 
transactions as economically dispatched, similar to the economic 
dispatch of a generator, and therefore do not consider them to be 
deviations for the purpose of allocating uplift costs. NYISO and ISO-NE 
do not allocate uplift costs to CTS transactions between their markets. 
PJM, however, views CTS transactions as deviations, indistinguishable 
in effect from other deviations that cause uplift.
---------------------------------------------------------------------------

    \48\ Currently, CTS is effective between NYISO and ISO-NE and 
NYISO and PJM. MISO and PJM expect to implement CTS in 2017.
---------------------------------------------------------------------------

d. Additional Comments
    30. Commenters also provide feedback on several other market design 
mechanisms related to uplift. For example, several commenters discuss 
the netting of internal bilateral transactions against other deviations 
when allocating uplift costs in PJM. While some advocate eliminating 
this market rule,\49\ others support it, contending that internal 
bilateral transactions are valuable hedging tools which allow market 
participants to counteract a deviation from a virtual transaction in 
the day-ahead market and promote convergence between day-ahead and 
real-time prices.\50\
---------------------------------------------------------------------------

    \49\ PJM Market Monitor Comments at 13; PJM Report at 33; Appian 
Way Comments at 8.
    \50\ EPSA/P3 Comments at 12-13.
---------------------------------------------------------------------------

4. Need for Reform
    31. We preliminarily find that some existing RTO/ISO practices of 
real-time uplift cost allocation to deviations may be unjust and 
unreasonable. Specifically, these real-time uplift cost allocation 
practices may result in unjust and unreasonable rates by allocating 
costs to deviations that could not reasonably be expected to have 
caused those costs. Allocating costs to deviations that did not cause 
these costs can inappropriately penalize certain types of transactions 
that may be beneficial to price formation. We note that the Commission 
is not proposing to require RTOs/ISOs to allocate any amount of uplift 
costs to deviations, rather we are simply proposing reforms to uplift 
cost allocation to deviations to the extent an RTO/ISO chooses to 
allocate some uplift costs to deviations.
    32. While there are several approaches to allocating uplift costs, 
most RTOs/ISOs allocate at least a portion of real-time uplift costs to 
market participants that deviate from their day-ahead market schedules. 
When market participants deviate from their day-ahead schedule, RTOs/
ISOs may have to take actions in real-time to address differences 
between the day-ahead market solution and real-time system conditions. 
These actions, such as committing additional resources, can result in 
real-time uplift costs.
    33. However, RTOs/ISOs do not always consider whether a deviation 
likely contributed to increasing or decreasing real-time uplift costs 
when allocating real-time uplift costs. Deviations from day-ahead 
market schedules that create the need for additional resource 
commitments in real-time tend to increase real-time uplift costs. On 
the other hand, deviations can also contribute to the convergence of 
the day-ahead and real-time markets by helping to ensure that the day-
ahead market solution and the attendant day-ahead schedule reduces the 
need for system operator actions in real-time. If real-time uplift 
costs are assigned improperly, such costs may impact market behavior in 
a manner that limits otherwise beneficial transactions, which in turn 
may distort prices and market outcomes. This distortion can lead to 
increased real-time uplift payments, higher overall costs to consumers, 
and potentially unjust and unreasonable rates.\51\
---------------------------------------------------------------------------

    \51\ FERC, Staff Analysis of Uplift in RTO and ISO Markets, 
Docket No. AD14-14-000, at 5-7 (Aug. 2014), https://www.ferc.gov/legal/staff-reports/2014/08-13-14-uplift.pdf.
---------------------------------------------------------------------------

    34. Therefore, we preliminarily find unjust and unreasonable real-
time uplift cost allocation rules that fail to distinguish between 
deviations that help converge day-ahead and real-time markets \52\ and 
those that harm efforts to address system needs. Such rules fail to 
appropriately assign real-time uplift costs to market participants that 
are likely to cause such costs and inappropriately deter transactions 
that are likely to minimize these costs.
---------------------------------------------------------------------------

    \52\ Deviations that help converge day-ahead and real-time 
markets are deviations that bring day-ahead and real-time prices, 
commitments, and dispatch closer together.
---------------------------------------------------------------------------

5. Proposal
    35. To remedy the potentially unjust and unreasonable rates 
resulting from allocating real-time uplift costs to deviations in a 
manner inconsistent with cost causation, we propose that, pursuant to 
section 206 of the Federal Power Act,\53\ each RTO/ISO that currently 
allocates real-item uplift costs to deviations must follow the 
practices described below when allocating such costs. Specifically, the 
following practices ensure that if an RTO/ISO chooses to allocate real-
time uplift costs to deviations, it must do so consistent with cost 
causation. Accordingly, we first propose that RTOs/ISOs categorize 
real-time uplift costs allocated to deviations into at least two 
categories based on the reason uplift costs were incurred, a system-
wide capacity category and a congestion management category as 
discussed in more detail below. Second, we propose to require each RTO/
ISO to distinguish between deviations that are ``helping'' to address 
system needs and those that are ``harming'' efforts to address system 
needs. Further, within each uplift category, uplift costs must be 
allocated to a market participant's net ``harming'' deviations, i.e., 
relevant ``harming'' deviations net of relevant ``helping'' deviations. 
Third, we propose to clarify that a resource responding to an RTO/ISO-
initiated real-time dispatch instruction should not be allocated 
deviations-related real-time uplift costs. Finally, we propose that 
real-time uplift costs allocated to deviations must be settled using 
hourly uplift rate calculations. Each proposed practice is described in 
detail below.
---------------------------------------------------------------------------

    \53\ 16 U.S.C. 824e.
---------------------------------------------------------------------------

    36. This proposal would apply only to real-time uplift costs 
allocated to deviations. The NOPR does not propose to require that 
RTOs/ISOs allocate uplift costs to deviations, and we recognize that 
there are other methods for allocating uplift costs that are not based 
on deviations, such as allocations based on load obligation. Further, 
we recognize that there are many causes of uplift and this NOPR does 
not propose to address the allocation of all uplift costs. Rather, to 
improve upon existing RTO/ISO cost allocation practices, this NOPR 
addresses the allocation of uplift costs caused by market participants 
that deviate from their day-ahead market schedules.
    37. Most RTOs/ISOs allocate some real-time uplift costs to 
deviations, although their methods for doing so vary. We set forth here 
a definition of deviations to delineate what type of real-time uplift 
cost allocation is the subject of this NOPR. We propose that deviations 
are megawatt hour differences between a market participant's scheduled 
deliveries or receipts at particular points cleared in the day-ahead 
market and those amounts actually delivered or received at those points 
in real-time that are not related to real-time economic or reliability-
related operator dispatch instructions. We propose that, to the

[[Page 9545]]

extent an RTO/ISO allocates real-time uplift costs to deviations, it 
must do so consistent with this proposed definition. We seek comment on 
the proposed definition of deviations.
    38. We propose that if an RTO/ISO allocates real-time uplift costs 
to deviations, it must allocate such costs only to deviations that can 
reasonably be expected to have caused those costs. Real-time uplift 
costs are most likely to be incurred when, for various reasons, the 
day-ahead market clearing process does not schedule sufficient 
resources to satisfy the system's real-time needs, and instead, RTOs/
ISOs must procure additional resources after the day-ahead market has 
cleared. Market participants that deviate from their day-ahead 
schedules will either more closely align the day-ahead market solution 
with actual real-time system needs or contribute to a divergence from 
the day-ahead solution. Scheduling practices that contribute to these 
divergences may require operator actions, such as operator-initiated 
commitments, in real-time.
    39. RTO/ISO day-ahead and real-time price signals provide economic 
incentives to respond to system needs. Allocating real-time uplift 
costs to deviations consistent with cost causation would help ensure 
that real-time uplift cost allocation does not discourage or deter 
behavior that may converge day-ahead and real-time market solutions. By 
eliminating the allocation of real-time uplift costs to transactions 
that are beneficial to meeting system needs, this proposal strengthens 
the economic incentives for market participants to respond to system 
needs. Further, allocating real-time uplift costs consistent with cost 
causation rewards the ability to perform in real-time consistent with 
operator instructions and disciplines forward scheduling practices by 
encouraging market participants to bid into the day-ahead market and 
submit day-ahead schedules consistent with expected real-time system 
conditions.
a. Real-Time Uplift Categories
    40. We propose to require each RTO/ISO to categorize real-time 
uplift costs allocated to deviations into at least two categories based 
on the reason the uplift cost was incurred: (1) A system-wide capacity 
category and (2) a congestion management category. The system-wide 
capacity category would include real-time uplift related to resource 
commitments made to ensure sufficient system-wide online capacity to 
meet energy and operating reserve requirements. The congestion 
management category would include real-time uplift related to resource 
commitments to manage transmission congestion on specific constraints. 
Under this proposal, we require that an RTO/ISO establish at least 
these two categories for real-time uplift cost allocation to 
deviations, but propose to provide flexibility to an RTO/ISO to 
establish additional categories.
    41. We propose distinguishing the two categories, system-wide 
capacity and congestion management. The distinction ensures real-time 
uplift costs are allocated more specifically to the market participant 
that caused the uplift. Two examples illustrate how delineating these 
two categories is consistent with cost causation.
    42. As a first example, consider a market participant that owns a 
generator that in real-time produces less than the output set forth in 
its day-ahead schedule when it did not receive dispatch instructions to 
do so. That generator's deviation impacted the RTO's/ISO's ability to 
maintain real-time energy and operating reserve requirements and 
required a new commitment to make up for the generator's deviation. 
However, absent impacting the power flows on a system constraint, the 
generator did not contribute to congestion on any constraint. Such a 
generator should be allocated real-time uplift costs for capacity but 
not congestion management. The generator caused a need for more 
capacity to come online, but did not cause a need to relieve congestion 
on a constraint.
    43. As a second example, suppose that the same generator is owned 
by a market participant that also serves real-time load. If the market 
participant reduces its real-time load in an amount that equals the 
generator's deviation (i.e., its reduced supply), the market 
participant's behavior on net did not impact the RTO's/ISO's ability to 
maintain real-time energy and operating reserve requirements. However, 
if this behavior--on net--impacts congestion on the system, the market 
participant should be allocated real-time uplift costs related to 
congestion management.
    44. We request comments on whether the proposed reforms should 
recognize the need for regional flexibility with regard to the uplift 
categories. We also request comment on whether other categories should 
be required.
b. Netting
    45. In allocating uplift costs to deviations, we propose to require 
each RTO/ISO to distinguish between deviations that are ``helping'' 
efforts to address system needs and those that are ``harming'' efforts 
to address system needs. The particular system need of relevance will 
depend on the category of uplift costs at issue, as discussed further 
below. Within each uplift category, uplift costs must be allocated to a 
market participant's net ``harming'' deviations, i.e., relevant 
``harming'' deviations net of relevant ``helping'' deviations. Such 
allocation should be commensurate with a market participant's share of 
total net ``harming'' deviations.
    46. Under the proposed system-wide capacity category, a market 
participant would be allocated a portion of the total real-time uplift 
costs incurred to maintain energy and operating reserve requirements in 
the real-time market based on the net contributions of its deviations 
to those costs. This method would require an RTO/ISO to determine if 
each market participant's deviations are, on net, ``helping'', by 
converging the day-ahead scheduled unit commitment and dispatch to the 
unit commitment and dispatch needed to meet real-time energy and 
operating reserve requirements, or if they are ``harming'', by 
exacerbating the difference between the day-ahead scheduled unit 
commitment and dispatch and the unit commitment and dispatch needed to 
meet real-time energy and operating reserve requirements. For example, 
if the system operator committed an additional resource to maintain 
energy and operating reserve requirements in the real-time market, a 
market participant with net deviations that increased demand (or 
decreased supply) would be allocated a portion of real-time uplift 
costs in the system-wide category, while a market participant with net 
deviations that increased supply (or decreased demand) would not.
    47. Under the proposed congestion management category, a market 
participant would be allocated real-time uplift costs if its net 
deviations contributed to a difference between the congestion on a 
specific constraint in the day-ahead market and the real-time 
congestion on that constraint. This method would require an RTO/ISO to 
determine if each market participant's deviations are, on net, 
``helping'', by converging day-ahead and real-time congestion patterns, 
or if they are ``harming'', by exacerbating the difference between day-
ahead and real-time congestion on a constraint. Market participants 
would be allocated real-time uplift costs in this category only if 
their net deviations are harming by contributing to differences between 
day-ahead and real-time congestion on a constraint.

[[Page 9546]]

    48. For netting within this congestion management category, we 
propose to require each RTO/ISO to determine real-time uplift cost 
allocation based on the net impact of a market participant's deviations 
on a constraint. To make this determination, an RTO/ISO should net the 
deviations that relieve real-time congestion on the constraint with 
those that contribute to it.
    49. Deviations caused by non-market transactions (such as internal 
bilateral transactions) would not be netted in either the proposed 
system-wide capacity category or the proposed congestion management 
category because they take place outside of the day-ahead and real-time 
markets. Transactions that take place outside of the markets do not 
affect real-time scheduling or dispatch and therefore should not offset 
transactions that do affect real-time scheduling or dispatch.
    50. We seek comment on whether there should be advanced 
notification requirements in determining helpful deviations. That is, 
is there a period of time prior to the operating hour at which a 
deviation should no longer be considered helpful because notification 
of the deviation was provided to the RTO/ISO too close to the operating 
hour? If so, we seek comment on what the advanced notification 
requirement should be.\54\ Under the proposed definition of deviations, 
transactions related to real-time economic or reliability-related 
operator dispatch instructions would not be used in determining a 
market participant's net deviations for both the system-wide capacity 
and congestion management categories. We also request comment on 
whether and how such transactions should be used to determine a market 
participant's net deviations.
---------------------------------------------------------------------------

    \54\ For example, MISO determines whether a deviation is helpful 
based on whether it occurred before or after a notification deadline 
which is four hours prior to the operating hour. See generally MISO, 
FERC Electric Tariff, Definitions, ``Notification Deadline'', 1.N & 
Real-Time Energy and Operating Reserve Market Settlement Cal, 
40.3.3.
---------------------------------------------------------------------------

c. Deviations That Result From Following Dispatch
    51. Based on the discussion above and consistent with the proposed 
definition of deviations, we clarify that if the RTO/ISO instructs a 
resource to deviate from its day-ahead schedule, be that a market-based 
or out-of-market instruction, that resource would not be regarded as 
deviating for purposes of this NOPR, and should not be allocated real-
time deviation-related uplift costs, because it is helping to address 
differences between the day-ahead market solution and real-time system 
needs.
    52. Consistent with this clarification, first, we propose that an 
RTO/ISO may not allocate deviation-related real-time uplift costs to a 
transaction that is economically evaluated by the RTO/ISO in the real-
time market. Such transactions include real-time energy transactions 
and CTS transactions. Such real-time transactions are responding to 
real-time market price signals and are not deviations for the purposes 
of this NOPR. These transactions are helping to address real-time 
system needs and allocating real-time deviation-related uplift costs to 
such transactions could distort incentives to respond to these signals. 
Conversely, transactions that are not economically evaluated in the 
real-time market and do not have day-ahead schedules, such as self-
scheduled real-time transactions, should be treated as deviations for 
the purposes of allocating real-time deviation-related uplift costs.
    53. Second, consistent with this clarification, we further propose 
that instructed deviations (those initiated by the RTO/ISO) are not 
deviations for the purposes of allocating real-time uplift costs, and 
therefore, an RTO/ISO may not allocate real-time uplift costs based on 
deviations that result from a market participant following a 
reliability- related dispatch instruction. Following such a dispatch 
instruction, by definition, helps the system. Allocating real-time 
uplift costs to market participants who follow dispatch instructions 
unfairly penalizes market participants that are responding to system 
needs in real-time. Further, assessing real-time uplift costs to such 
deviations could discourage a market participant from following 
dispatch instructions. At times of system stress, it is essential that 
resources follow dispatch instructions. For instance, an RTO/ISO may 
issue out-of-market dispatch instructions or deploy reserves to address 
immediate reliability issues. A resource that responds to such an RTO/
ISO instruction performs an essential reliability function and should 
not be allocated real-time deviation-related uplift costs for following 
the dispatch instruction.
    54. By excluding instructed deviations from the definition of a 
deviation, the Commission is also proposing that instructed deviations 
would not be used in any `helping' and `harming' netting process. We 
seek comment on whether instructed deviations should be included in any 
netting calculations.
d. Settlement
    55. Regarding settlement of uplift costs, under both the system-
wide capacity category and the congestion management category, we 
propose to require RTOs/ISOs to allocate and net real-time uplift costs 
on an hourly basis. RTOs/ISOs typically allocate uplift costs either 
hourly or daily. Hourly allocation would most closely align the 
imposition of costs with the incentives to behave efficiently in the 
market, since the costs of real-time uplift and the actions that cause 
that real-time uplift can and usually do change from hour to hour. 
Under hourly cost allocation, the costs for real-time uplift during a 
particular hour are allocated only to those market participants that 
contribute to the need for that uplift in that hour.
e. Other Comments Sought
    56. We recognize that considering real-time uplift cost allocation 
to deviations for system-wide capacity and congestion management 
separately may require a method for dividing costs between the two 
categories for circumstances in which real-time uplift is incurred for 
the benefit of both categories (e.g., committing a unit to relieve 
transmission congestion will also impact system-wide capacity 
requirements). We seek comment on the best methods to quantify this 
impact and to perform the appropriate cost allocation. We also seek 
comment on the process for netting of transactions and deviations set 
forth in the proposal for each category. Finally, we seek comment on 
the clarifications provided herein regarding those transactions that 
should not be considered deviations for the purpose of real-time uplift 
cost allocation and whether there are additional transactions that 
should be included in this category.

B. Transparency

    57. In this section, we first provide a brief background on the 
benefits of transparency in the wholesale electric power markets 
operated by RTOs/ISOs with respect to reporting uplift, operator-
initiated commitments, and transmission constraint penalty factors. We 
then review current RTO/ISO practices with regard to reporting uplift 
and operator-initiated commitments, and summarize comments on 
transparency requirements, frequency of reporting, type of uplift 
information to be reported, inclusion of reasons for uplift or 
operator-initiated commitments, granularity with respect to location, 
and the inclusion of transmission constraint penalty factors in RTO/ISO 
tariffs. Then, we explain the

[[Page 9547]]

need for the reform regarding reporting of uplift, operator-initiated 
commitments, and transmission constraint penalty factors. Finally, we 
request comment on two additional topics: Reporting of transmission 
outages and availability of network models.
1. Background
    58. Visibility into the process by which prices are developed in 
energy and ancillary services markets supports the functioning of 
efficient markets by enhancing predictability, identifying system 
needs, and facilitating investment decisions. Moreover, understanding 
how RTOs/ISOs calculate prices and how events impact those prices is 
critical to hedging, investment, and resource entry and exit decisions. 
While all RTOs/ISOs release some information, either through periodic 
reports or making data available on their Web sites, as discussed 
below, there is significant variation in the timing, granularity, and 
types of data released.
2. Current RTO/ISO Practices
a. Reporting Uplift
    59. All RTOs/ISOs report information about uplift payments. 
However, the extent of the information reported varies widely. For 
example, ISO-NE and NYISO provide monthly reports of uplift that 
generally provide information that is aggregated across zones and over 
the month.\55\ NYISO also makes aggregated uplift costs (in dollars) 
available to stakeholders on a daily basis through its daily 
reconciliation reports.\56\ MISO provides a number of monthly reports 
to market participants on categories of uplift costs; the reports 
aggregate the uplift data by category by month and provide historical 
monthly data for comparison.\57\ CAISO aggregates uplift data to its 10 
existing local capacity requirement areas and reports daily total 
uplift costs for each month by the market in which the uplift is 
incurred (e.g., day-ahead or real-time), and by the type of costs 
incurred, i.e., start-up costs, minimum load costs or energy bid 
costs.\58\ PJM has recently adopted new rules to allow the reporting of 
daily uplift information by transmission zone, with certain exceptions 
for confidentiality reasons.\59\ SPP provides uplift information in a 
report that divides uplift costs into seven categories.\60\
---------------------------------------------------------------------------

    \55\ ISO-NE Report at 60; NYISO Report at 56-57.
    \56\ NYISO Report at 59.
    \57\ MISO Report at 60.
    \58\ CAISO Report at 56.
    \59\ PJM, Business Practice Manual 33: Administrative Services 
for the PJM Interconnection Operating Agreement at 23-24.
    \60\ SPP Report at 40.
---------------------------------------------------------------------------

    60. RTO/ISO reporting practices are driven, in part, by the time 
needed to complete the settlement process. Some settlement periods last 
three to five business days and CAISO provides uplift cost information 
based on its 12-business day recalculation statement, although the 
settlement period is shorter.\61\ Because of this lag, RTOs/ISOs 
typically report uplift on a monthly basis, with the information 
aggregated to a zonal or settlement area level.
---------------------------------------------------------------------------

    \61\ ISO-NE Report at 64-65; PJM Report at 51; CAISO Report at 
58.
---------------------------------------------------------------------------

    61. Most RTOs/ISOs cite confidentiality issues as an additional 
reason for their current reporting practices, particularly in regions 
with few market participants.\62\ Uplift information is typically 
aggregated to avoid publishing information for individual resources. 
All RTOs/ISOs assert that they are prohibited from publicly revealing 
resource-specific data, as specified in their confidentiality 
rules.\63\ Some RTOs/ISOs note that they cannot provide information on 
a more granular basis without changes to their confidentiality rules or 
information policies.\64\
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    \62\ PJM Report at 48, 54-55; SPP Report at 41, 44; ISO-NE 
Report at 61, 67; NYISO Report at 60.
    \63\ CAISO Report at 59; NYISO Report at 58; PJM Report at 50-
51; SPP Report at 42; ISO-NE Report at 63-64; MISO Report at 58-59.
    \64\ PJM Report at 48; ISO-NE Report at 61.
---------------------------------------------------------------------------

    62. It is worth noting that market participants with market-based 
and traditional cost of service rate authority are required to report 
uplift payments in the Electric Quarterly Report (EQR). Pursuant to EQR 
reporting requirements, uplift payments are required to be reported at 
a granular level. Those reporting requirements require market 
participants to report when the uplift payment changes. Because many 
resources are commercially organized as stand-alone limited liability 
corporations, many individual resources report uplift payments to EQR 
within 30 days following the end of a quarter. While EQR provides a 
significant amount of information, it does not provide detailed 
information regarding uplift. For example, EQR contains only a single 
``uplift'' category which does not differentiate between different 
types of uplift (e.g., day-ahead, voltage and local reliability).
b. Reporting Operator-Initiated Commitments
    63. RTOs/ISOs also vary in the amount, granularity, and timing of 
information that is reported on operator-initiated commitments. For 
example, CAISO, MISO, and NYISO provide information regarding operator-
initiated commitments either shortly after the operating day or in near 
real-time. CAISO and MISO both report total operator-initiated 
commitments aggregated across the RTO/ISO, including the reasons for 
the commitments.\65\ MISO provides its reports in near real-time, while 
CAISO releases its report several days after the operating day. 
Throughout the operating day, NYISO posts operational announcements 
providing information about individual operator-initiated commitments, 
including the units involved, level of unit commitment, and the reason 
for the commitment, with a reference to the relevant reliability rule, 
if applicable.\66\
---------------------------------------------------------------------------

    \65\ MISO Report at 60; CAISO, Daily Exceptional Dispatch 
Report, http://www.caiso.com/market/Pages/DailyExceptionalDispatch/Default.aspx.
    \66\ NYISO Report at 56-57 and n.32.
---------------------------------------------------------------------------

    64. In addition, all RTOs/ISOs provide summary reports of operator-
initiated commitments over longer time periods. CAISO's monthly 
performance report provides metrics on exceptional dispatch \67\ and 
operator-initiated commitments organized by market (i.e., day-ahead or 
real-time), trade date, reason, or local area.\68\ CAISO also files a 
monthly report on the frequency and volume of exceptional dispatch, 
pursuant to directives in previous Commission orders.\69\ ISO-NE 
publishes weekly, monthly, and quarterly reports that describe notable 
operational events, but it does not provide any information regarding 
the location or capacity of committed units.\70\ ISO-NE also reports 
the number of units committed after the close of the day-ahead market 
(but not including real-time commitments) each day.\71\ SPP reports 
monthly the MW of operator-initiated commitments.\72\
---------------------------------------------------------------------------

    \67\ CAISO states that its system operator issues exceptional 
dispatches to resources to address system issues that cannot be 
addressed by the constraints modeled within the market. CAISO Report 
at 41.
    \68\ Id. at 56.
    \69\ Id. See also Cal. Indep. Sys. Operator Corp., 131 FERC ] 
61,100 (2010) (clarifying the reporting timeline for reporting 
exceptional dispatches).
    \70\ ISO-NE Report at 60.
    \71\ Id. at 61-62.
    \72\ SPP Report at 40.
---------------------------------------------------------------------------

    65. PJM states that, although its confidentiality provisions 
prevent it from reporting individual operator-initiated commitments in 
real-time, it

[[Page 9548]]

does provide regionally aggregated information on uneconomic 
commitments in the day-ahead market at the end of the business day. In 
addition, PJM posts total capacity committed during the Reliability 
Assessment and Commitment period to meet forecasted load and reserves, 
as well as resources committed for transmission constraints, voltage/
reactive constraints, or conservative operations.\73\ ISO-NE also 
states its confidentiality provisions prohibit reporting of operator-
initiated commitments in real-time, while CAISO states providing 
information about exceptional dispatches more frequently than monthly 
would require significant changes to its systems.\74\ SPP states it is 
technically feasible to report commitments resulting from operator 
actions in real-time, but notes such reporting could disclose sensitive 
reliability information.\75\
---------------------------------------------------------------------------

    \73\ PJM Report at 49-50.
    \74\ ISO-NE Report at 65; CAISO Report at 58, 62.
    \75\ SPP Report at 41.
---------------------------------------------------------------------------

c. Transmission Constraint Penalty Factors
    66. Transmission constraint penalty factors are the values at which 
an RTO's/ISO's market software will relax the flow-based limit on a 
transmission element to relieve a constraint caused by that limit 
rather than re-dispatch resources to relieve the constraint. The cost 
of re-dispatching resources can be regarded as the re-dispatch price. 
Transmission constraint penalty factors represent the maximum re-
dispatch price that the system will pay before allowing flows to exceed 
a given transmission element's limit.\76\ The penalty factors should be 
set at levels that are high enough to avoid relaxing constraints too 
frequently, but low enough to avoid extremely expensive re-dispatch 
solutions that are more expensive than the expected cost of exceeding a 
given transmission element's limit. While these penalty factors can 
have significant impacts on prices, changes are not always made public 
nor do all RTOs/ISOs file them with the Commission. Specifically, PJM 
and ISO-NE do not include transmission constraint penalty factors in 
their respective tariffs.\77\ Further, MISO is the only RTO/ISO that 
details in its tariff how transmission constraint penalty factors are 
temporarily changed.\78\
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    \76\ Transmission constraint penalty factors create a cap on the 
shadow price of a transmission constraint. See MISO Market Monitor 
Comments, Docket No. AD14-14-000, at 20-21 (Feb. 24, 2015).
    \77\ CAISO, MRTU Tariff 27.4.3.1-27.4.3.3; SPP, OATT, Sixth 
Revised Volume No. 1, Attachment AE, 8.3.2, Addendum 1; NYISO 
Tariffs, NYISO Markets and Services Tariff 1.20; MISO, FERC Electric 
Tariff, Schedule 28A.
    \78\ MISO, FERC Electric Tariff, Schedule 28A.
---------------------------------------------------------------------------

3. Comments
a. General Comments
    67. Various commenters recommend reporting of uplift and operator-
initiated commitments that is more regular, more geographically 
granular, more specific about the size of the action (in MW), and/or 
more informative of the reason for uplift or operator action. Numerous 
commenters argue that such reporting about uplift and operator-
initiated commitments should be mandatory.\79\ Exelon urges the 
Commission to require RTOs/ISOs to identify out-of-market actions and 
the resulting uplift in regular reports.\80\ Several commenters propose 
that RTOs/ISOs be required to post information in a way that is 
uniform, consistent, and comparable across RTOs/ISOs.\81\
---------------------------------------------------------------------------

    \79\ DC Energy, Inertia Power, and Vitol Comments at 18; EPSA 
Comments (on MISO Report) at 22; EPSA/NEPGA Comments at 14; Energy 
Storage Association Comments at 2-3; Exelon Comments at 17-18; PSEG 
Companies Comments at 16.
    \80\ Exelon Comments at 17-18.
    \81\ DC Energy, Inertia Power, and Vitol Comments at 18; EPSA 
Comments (on price formation) at 22; EPSA Comments (on MISO Report) 
at 22; EPSA/IPPNY Comments at 13; EPSA Comments (on SPP Report) at 
10; EPSA/NEPGA Comments at 14-15; EPSA/P3 Comments at 15; EPSA/WPTF 
Comments at 10.
---------------------------------------------------------------------------

b. Comments on Uplift Reporting
    68. In terms of frequency, some commenters recommend monthly 
reporting of uplift to improve transparency.\82\ Energy Storage 
Association requests that RTOs/ISOs provide daily summary data on 
uplift credits. Energy Storage Association asserts that such 
information should, at a minimum, be at a zonal level and should be 
made available by all RTOs/ISOs several days after the operating 
day.\83\
---------------------------------------------------------------------------

    \82\ EPSA Comments (on MISO Report) at 21-22; EPSA/NEPGA 
Comments at 13.
    \83\ Energy Storage Association Comments at 2-3.
---------------------------------------------------------------------------

    Several commenters request more granular locational information 
regarding uplift.\84\ These commenters argue that it is difficult to 
reduce or eliminate uplift when market participants do not know where 
it originates. To address this request, many commenters, including 
CAISO, ISO-NE, and PJM, support reporting uplift on a zonal basis.\85\ 
CAISO, ISO-NE, and PJM state that zonal reporting strikes a balance 
between granularity and confidentiality.\86\ In contrast, SPP and MISO 
caution that reporting uplift on a zonal basis could reveal sensitive 
market participant information.\87\
---------------------------------------------------------------------------

    \84\ Financial Marketers Coalition Comments at 45; Energy 
Storage Association Comments at 6; Golden Spread Comments at 8-9.
    \85\ Financial Marketers Coalition Comments at 45; Energy 
Storage Association Comments at 6; PJM Market Monitor Comments at 
20; CAISO Report at 61; PJM Report at 52; ISO-NE Report at 64, 66.
    \86\ PJM Report at 53; ISO-NE Report at 66; CAISO Report at 61.
    \87\ MISO Report at 60-61; SPP Report at 43.
---------------------------------------------------------------------------

    69. Commenters have differing views on what uplift information 
should be reported. PSEG Companies argue that uplift can be effectively 
reported on a dollar basis.\88\ Energy Storage Association states that 
RTOs/ISOs should share daily summary data on uplift in dollars, 
including the reasons for the uplift and the location (at a minimum at 
a zonal level) of the resources that receive it.\89\ The PJM Market 
Monitor recommends reporting uplift charges by resource as well as 
detailed reasons for incurring uplift.\90\ EPSA and EPSA/NEPGA 
recommend reporting the settled uplift dollar impact on a MW basis, as 
well as the reasons for out-of-market commitments every month.\91\ EPSA 
asserts that reporting additional information on the drivers of uplift 
and out-of-market dispatch can be made public without compromising 
sensitive information, because NYISO currently does so in monthly 
reports.\92\
---------------------------------------------------------------------------

    \88\ PSEG Companies Comments at 12, 15-16.
    \89\ Energy Storage Association Comments at 2.
    \90\ PJM Market Monitor Comments at 20-21.
    \91\ EPSA and its joint commenters support several variations of 
``reporting actual settled uplift dollar impacts, on a Megawatt (MW) 
basis.'' It is unclear whether this is referring to reporting uplift 
dollars divided by the total capacity of resources that receive 
uplift payments, or reporting the total capacity of committed 
resources in lieu of identifying specific units. EPSA Comments (on 
price formation) at 23; EPSA Comments (on MISO Report) at 21-22; 
EPSA/NEPGA Comments at 13.
    \92\ EPSA Comments (on price formation) at 23.
---------------------------------------------------------------------------

    70. EPSA/IPPNY warns that reporting uplift more frequently than 
daily could potentially reveal confidential information.\93\ Energy 
Storage Association suggests that, given confidentiality concerns, the 
Commission could allow an RTO/ISO to request an exemption from 
reporting zonal or locational information in certain situations where 
there are few participants in a zone or location.\94\ ISO-NE and MISO 
suggest that the level of aggregation be adjusted to ensure that 
confidentiality is maintained.\95\
---------------------------------------------------------------------------

    \93\ EPSA/IPPNY Comments at 12-13.
    \94\ Energy Storage Association Comments at 3.
    \95\ ISO-NE Report at 66; MISO Report at 61.
---------------------------------------------------------------------------

c. Comments on Reporting Operator-Initiated Commitments
    71. Several commenters recommend monthly reporting of operator-
initiated actions, including the reasons for out-of-market actions, to 
improve

[[Page 9549]]

transparency.\96\ Commenters argue that understanding the reasons for 
out-of-market commitments will help market participants discern what 
types of investments are needed to meet system needs.\97\ Moreover, the 
Financial Marketers Coalition states that, when out-of-market 
commitments are identified by location and explained, financial 
participants will refrain from bidding because they know that prices 
will not converge and uplift is likely.\98\
---------------------------------------------------------------------------

    \96\ EPSA Comments (on MISO Report) at 21-22; EPSA/NEPGA 
Comments at 13; Exelon Comments at 18; EPSA Comments (on price 
formation) at 23 EPSA/IPPNY Comments at 13; EPSA/P3 Comments at 15-
16.
    \97\ EPSA Comments (on price formation) at 23; EPSA/P3 Comments 
at 15-16.
    \98\ Financial Marketers Coalition Comments at 42.
---------------------------------------------------------------------------

    72. Some commenters also suggest that RTOs/ISOs report operator-
initiated commitments closer to real-time. In particular, PSEG 
Companies suggest that NYISO's approach to disclosing out-of-market 
commitment and dispatch decisions should be considered a best 
practice.\99\
---------------------------------------------------------------------------

    \99\ PSEG Companies Comments at 11.
---------------------------------------------------------------------------

    74. Several commenters request more granular locational information 
regarding out-of-market operator actions.\100\ PSEG Companies note that 
when RTOs/ISOs provide only aggregated data, it is not possible to 
discern whether the RTO/ISO needed those units or how many MW were 
actually required.\101\
---------------------------------------------------------------------------

    \100\ Financial Marketers Coalition Comments at 45 (referring to 
SPP); Energy Storage Association Comments at 6 (referring to MISO 
and SPP); Golden Spread Comments at 8-9.
    \101\ PSEG Companies Comment at 14.
---------------------------------------------------------------------------

d. Comments on Transmission Constraint Penalty Factors
    75. The MISO Market Monitor asserts that transmission constraint 
penalty factors substantially affect market outcomes but are not filed 
with or approved by the Commission for some RTOs/ISOs. MISO Market 
Monitor adds that increasing transmission constraint penalty factors 
during real-time operations to relieve constraints may indicate that 
constraints were undervalued previously, and lowering transmission 
constraint penalty factors during real-time operations may indicate 
that the RTO/ISO is attempting to manually reduce congestion costs. 
MISO Market Monitor contends that these concerns can be addressed by: 
(1) Establishing parameters that reflect the reliability value of 
managing the constraints, which likely varies by constraint; (2) filing 
these values in the RTO's/ISO's tariffs so they are known and approved 
by the Commission; and (3) filing tariff provisions that specify the 
procedures and authority for RTOs/ISOs to modify transmission 
constraint penalty factors.\102\
---------------------------------------------------------------------------

    \102\ Comments of MISO Market Monitor, Docket No. AD14-14-000, 
at 20-21 (Feb. 24, 2015).
---------------------------------------------------------------------------

    76. XO Energy states that transmission constraint penalty factors 
can have a significant impact on prices; however, there is not 
necessarily clear insight as to how transmission constraint penalty 
factors are determined or calculated in the pricing and dispatch 
algorithms.\103\ XO Energy contends that, in some cases, the default 
transmission constraint penalty factors can be arbitrarily assigned and 
modified on a case-by-case basis.\104\
---------------------------------------------------------------------------

    \103\ XO Energy Comments at 67-68.
    \104\ Id. at 68.
---------------------------------------------------------------------------

4. Need for Reform
    77. We preliminarily find that some existing RTO/ISO practices of 
reporting uplift, operator-initiated commitments, and transmission 
constraint penalty factors may result in unjust and unreasonable rates. 
The lack of transparency regarding uplift and operator-initiated 
commitments, which can cause uplift, hinders market participants' 
ability to plan and efficiently respond to system needs. Market 
participants may lack the information necessary to evaluate the need 
for and value of additional investment, such as transmission upgrades 
or new generation. Also, without sufficient transparency, market 
participants may not be able to assess each RTO's/ISO's operator-
initiated commitment practices and raise any issues of concern through 
the stakeholder process.
    78. Reporting that specifies the location and causes of uplift and 
operator-initiated commitments will help incent appropriate market 
responses to system needs. For example, if resources are routinely 
committed out-of-market to resolve a local voltage issue and require 
uplift payments as a result, it may be beneficial to release 
information on the uplift associated with using such resources to alert 
market participants about the problem. Providing more detailed 
information about the uplift incurred to address a local reliability 
issue could potentially incent market participants to advocate for 
changes to the RTO/ISO's operational procedures or to undertake 
investments that could resolve the local reliability issue more 
efficiently (e.g., install additional capacitors).
    79. While all RTOs/ISOs provide some information regarding the 
locations and causes of uplift and operator-initiated commitments, the 
information is often highly aggregated or lacks detail, limiting its 
usefulness. Information about the location and causes of uplift and 
operator-initiated commitments that is overly aggregated or lacks 
detail hinders the ability of a market participation to evaluate RTO/
ISO operating practices and potentially respond to system needs by 
undertaking new investments. For example, reports that aggregate uplift 
payments over the month may not provide sufficient information, since 
monthly reports can obscure daily trends, which may be more relevant to 
those evaluating operating practices or potential investments. 
Therefore, increasing transparency with respect to the location and 
cause of uplift can provide market participants additional information 
to evaluate the effectiveness of current operating practices. Without 
sufficient information to evaluate existing operating practices or the 
need for additional investment, market efficiency may be reduced, 
resulting in unjust and unreasonable rates. Allowing market 
participants to better evaluate the need for changes in operating 
practices or additional investment could ultimately reduce the level of 
uplift, thereby resulting in rates that are just and reasonable.
    80. Similarly, the lack of transparency with respect to 
transmission constraint penalty factors may hinder the ability of 
market participants to undertake efficient transactions. For example, 
if market participants are unaware of what transmission constraint 
penalty factors are used and whether they will be used to set LMPs, 
market participants may not be able to adequately understand how an 
RTO's/ISO's actions affect clearing prices and thus may not be able to 
hedge transactions appropriately or effectively assess the RTO's/ISO's 
actions and raise concerns through the stakeholder process. Without the 
ability to appropriately hedge transactions, market participants may 
either over-hedge or under-hedge their positions, reducing market 
efficiency. Also, if market participants are not able to raise concerns 
about changes in transmission constraint penalty factors, RTOs/ISOs may 
alter transmission constraint penalty factors more often than 
necessary, which impacts market clearing prices. Therefore, the 
resulting rates may be unjust and unreasonable.
    81. Some RTOs/ISOs report that there are a variety of stakeholder 
initiatives and discussions underway to improve transparency,\105\ 
while others do not

[[Page 9550]]

mention any specific plans.\106\ Despite these efforts, it is not clear 
that the transparency concerns discussed in this NOPR will be addressed 
through existing stakeholder initiatives. Accordingly, we preliminarily 
find that some existing RTO/ISO practices with respect to reporting 
uplift, operator-initiated commitments, and transmission constraint 
penalty factors may be unjust and unreasonable.
---------------------------------------------------------------------------

    \105\ CAISO Report at 55; MISO Report at 56; NYISO Report at 55; 
PJM Report at 47.
    \106\ ISO-NE Report at 59; SPP Report at 39.
---------------------------------------------------------------------------

5. Proposal
    82. To remedy these potentially unjust and unreasonable reporting 
practices, we propose, pursuant to section 206 of the Federal Power 
Act, to require that each RTO/ISO: (1) Report total uplift payments for 
each transmission zone on a monthly basis, broken out by day and uplift 
category; (2) report total uplift payments for each resource on a 
monthly basis; (3) report the MW of operator-initiated commitments in 
or near real-time and after the close of the day-ahead market, broken 
out by zone and commitment reason; and (4) list in its tariff the 
transmission constraint penalty factors, the circumstances under which 
they can set LMPs, and the procedure by which they can be temporarily 
changed.
a. Uplift Reporting
    83. We propose to require that, within 20 days of the end of each 
month, each RTO/ISO post on its Web site two reports, at minimum, 
regarding uplift payments. First, the RTO/ISO should report the total 
uplift payments in dollars paid daily to the resources in each 
transmission zone, subject to certain exceptions described below. Each 
RTO/ISO must post the total amount of uplift in dollars in each 
category (e.g., day-ahead, real-time, voltage and local reliability) 
paid to resources in each transmission zone for each day within the 
calendar month. We propose to require that each RTO/ISO post uplift 
payment amounts based on its specific uplift categories to allow market 
participants to distinguish between different types of uplift. Second, 
each RTO/ISO must post the resource name and the total amount of uplift 
paid in dollars aggregated across the month to each resource that 
received uplift payments within the calendar month. We seek comment on 
whether these resource-specific reports should also be broken out by 
uplift category, be reported using a different time duration, or 
contain other additional details.
    84. Information on uplift payments should be posted in a machine 
readable format on a publicly accessible portion of the RTO's/ISO's Web 
site. With this information, market participants may be able to 
evaluate possible solutions to reduce the incurrence of uplift. For 
example, with more granular information on the location, amounts, and 
types of uplift, market participants can better evaluate the benefits 
of additional transmission upgrades that could reduce the need for unit 
commitments.
    85. We also propose to define ``transmission zone'' as a geographic 
area that is used for the local allocation of charges. For example, 
this could include a load zone that is used to settle charges for 
energy. We request comments on this proposed definition of transmission 
zone, including the appropriate level of geographic granularity.
    86. Regarding the timeliness of posting this information, we 
recognize that each RTO/ISO has a different settlement window and 
uplift is finalized during the settlement process. As such, it is not 
possible for an RTO/ISO to release information immediately at the end 
of the month. In order to account for differences in settlement periods 
and the time necessary to prepare the uplift data for publication, we 
propose to require that both reports described above be released no 
later than 20 calendar days following the end of the month. While we 
believe this is a reasonable timeframe for release, we seek comment on 
the timeframe for releasing the information after the end of each 
month. In addition, we seek comment on the proposed requirement for a 
daily breakdown of uplift categories by charge code, including any 
obstacles or difficulties related to such reporting and whether 
different categorizations would be more useful.
    87. Many commenters express concern that greater transparency in 
uplift reporting could unintentionally disclose a resource's uplift 
payments or energy offers, which some characterize as confidential or 
commercially-sensitive information. Commenters' core concerns appear to 
relate to two issues: first, that disclosing a resource's uplift 
payments will allow other market participants to calculate energy 
offers and may result in collusion between market participants.\107\ 
Second, commenters appear to be concerned that revealing uplift 
payments may put a resource at a competitive disadvantage by disclosing 
commercially sensitive information like fuel procurement strategies.
---------------------------------------------------------------------------

    \107\ In conjunction with other information, uplift payments 
could potentially be used to determine a resource's energy offers. 
For example, if a market participant knew a resource's output, LMP, 
and uplift payments, it could potentially calculate the resource's 
energy offer because the uplift would make the resource whole up to 
its offer costs.
---------------------------------------------------------------------------

    88. While we understand the need to protect certain types of 
information, we are not persuaded that revealing a resource's daily 
uplift payments or energy offer, after some minimal time lag, would 
result in any significant harm to competition or individual market 
participants. First, many individual resources already publicly report 
their uplift payments pursuant to Electric Quarterly Reporting 
requirements (with a 90-day lag). Second, RTO/ISO energy markets are 
mitigated, so concerns about the potential for collusion can be 
addressed through must offer requirements and market power mitigation 
rules. Third, after the 20-day lag for reporting following the end of 
the month, fuel costs and other conditions have often changed, 
diminishing the potential usefulness of any resource offer information. 
These three factors limit the potential for anti-competitive behavior 
and any harm to market participants.
    89. Nevertheless, to address commenters' concerns, we seek to 
balance the benefits of greater transparency with the desire to 
preserve a reasonable level of confidentiality. Specifically, for the 
reporting requirements aggregated by transmission zone, we propose that 
transmission zones with fewer than four resources need not be reported 
individually; rather, transmission zones with fewer than four resources 
may be aggregated with a neighboring transmission zone and reported 
collectively. If only one transmission zone exists and it has fewer 
than four resources or, if when combined with a neighboring 
transmission zone the combined transmission zone still has fewer than 
four resources, then these transmission zones would be exempted from 
reporting the uplift information described above. Similarly, for the 
resource-specific reporting requirements proposed above, we will 
require that uplift payment data for each resource be aggregated across 
the month, rather than reporting daily uplift payments to each 
resource. We expect that this temporal aggregation should mask daily 
behavior that some commenters have expressed concerns over revealing.
b. Reporting Operator-Initiated Commitments
    90. We also propose to require that each RTO/ISO post all operator-
initiated commitments on its Web site. For the purposes of this NOPR, 
we propose to define operator-initiated commitments as a commitment 
that is not associated

[[Page 9551]]

with a resource clearing the day-ahead or real-time market on the basis 
of economics and that is not self-scheduled.\108\ This definition would 
include any commitment, whether manual or automated, made after the 
execution of the day-ahead market that is made outside of the real-time 
market. Such commitments include commitments made through a residual 
unit commitment processes after the execution of the day-ahead market, 
commitments made through look-ahead commitment processes, and manual 
commitments made in real-time. We acknowledge that this definition of 
operator-initiated actions could result in reporting most commitments 
that occur after the day-ahead market. Moreover, we understand that 
whether a commitment cleared the market on the basis of economics could 
be a point of confusion, particularly with respect to look-ahead 
commitment processes. Therefore, we request comment on this aspect of 
the definition of operator-initiated actions.
---------------------------------------------------------------------------

    \108\ See supra text accompanying note 1.
---------------------------------------------------------------------------

    91. The report posted on each RTO's/ISO's Web site would include 
the following: (1) The upper economic operating limit of the committed 
resource in MW (i.e., its economic maximum); (2) the transmission zone 
in which the resource is located; and (3) the reason for 
commitment.\109\ We propose that each RTO/ISO post this information on 
a publicly accessible portion of its Web site in machine-readable 
format as soon as practicable after the resource has been committed 
(i.e., directed to start up by the RTO/ISO). As above, we propose to 
define ``transmission zone'' as a geographic area that is used for the 
local allocation of charges. We request comments on this proposed 
definition, including the appropriate level of geographic granularity. 
Also, as discussed further below, we propose that real-time commitments 
be posted as soon as practicable after they occur, but no later than 
four hours after the commitment.
---------------------------------------------------------------------------

    \109\ For example, if a resource with two combustion turbines 
with a capacity of 50 MW each was committed to manage congestion on 
a transmission facility, the RTO/ISO would be required to report the 
committed capacity (100 MW) and the reason (e.g., constraint 
management).
---------------------------------------------------------------------------

    92. Many commenters express concern about the lack of transparency 
surrounding operator-initiated commitments and request that the 
Commission require RTOs/ISOs to provide more information.\110\ We agree 
that current RTO/ISO practices may not provide sufficient transparency 
regarding operator-initiated commitments and that a minimum level of 
transparency is necessary as operator-initiated commitments can affect 
rates. In particular, operator-initiated commitments can affect energy 
and ancillary service prices and can result in uplift. In addition, 
greater transparency will allow stakeholders to better assess the 
RTO's/ISO's operator-initiated commitment practices and raise any 
issues of concern through the stakeholder process.
---------------------------------------------------------------------------

    \110\ E.g., EPSA Comments at 22-23; Exelon Comments at 17-18; 
Financial Marketers Coalition Comments at 42; PSEG Comments at 12.
---------------------------------------------------------------------------

    93. While most commenters focus on reporting of manual operator-
initiated commitments (i.e. not through automated software),\111\ 
operator-initiated commitments made through automated processes like 
look-ahead commitment can also have a significant impact on uplift. In 
addition, as noted by several RTOs/ISOs, manual operator-initiated 
commitments are generally infrequent. Because posting all operator-
initiated commitments, whether manual or automated, would help market 
participants to better understand the drivers behind the incurrence of 
uplift in each zone and the impact of such commitments on rates, we 
propose that all operator-initiated commitments be posted, whether 
manual or automated. We also seek comment on the types of unit 
commitments that should be reported as operator-initiated commitments.
---------------------------------------------------------------------------

    \111\ CAISO Report at 60; ISO-NE Report at 65; SPP Report at 42; 
PSEG Companies Comments at 12, 14-16, 21.
---------------------------------------------------------------------------

    94. In addition, we propose that real-time commitments be posted as 
soon as practicable after they occur, but no later than four hours 
after the commitment. We understand that this type of reporting could 
require significant changes to current RTO/ISO systems and processes. 
Accordingly, we seek comment on the proposed reporting timeframe, 
including the potential software upgrades necessary to facilitate 
reporting in near real-time and other potential implementation 
challenges. We also seek comment on whether a different reporting 
timeframe (e.g., reporting once daily or monthly) would provide 
sufficient transparency.
    95. We also understand that reporting the reason for an operator-
initiated commitment may require the development of new internal 
processes. In particular, we understand that the reasons for operator-
initiated commitments can vary based on the particular situation. 
Therefore, our proposal would only require RTOs/ISOs to report the 
commitment reason within broad categories (e.g., voltage support, 
capacity-related). We seek comment on whether the Commission should 
define a common set of categories for use across all RTOs/ISOs and, if 
so, what categories should be included, or whether it is more 
appropriate to allow each RTO/ISO to establish a set of appropriate 
operator-initiated commitment reasons on compliance. In addition, we 
note that some RTOs/ISOs currently provide more granular or detailed 
information about the reason for operator-initiated commitments.\112\ 
Therefore, we seek comment on whether the proposal provides sufficient 
transparency, or if more information is needed (e.g., specific 
constraint name), as well as any potential concerns with requiring 
additional information (e.g., required software upgrades or impact on 
operational processes).
---------------------------------------------------------------------------

    \112\ For example, for real-time commitments made to manage 
congestion, MISO identifies the specific constraint that prompted 
the commitment. MISO Report at 60.
---------------------------------------------------------------------------

c. Transmission Constraint Penalty Factors
    96. We propose to require that all RTOs/ISOs include certain 
provisions related to transmission constraint penalty factors in their 
tariffs because transmission constraint penalty factors can 
significantly impact market clearing prices.
    97. First, we propose to require that all RTOs/ISOs include their 
transmission constraint penalty factor values in their tariffs. This 
requirement would only apply to penalty factors used for transmission 
constraints and would not include other penalty factors used in 
commitment and dispatch algorithms. If the RTO/ISO uses different 
transmission constraint penalty factors for different processes, we 
propose to require that all sets of transmission constraint penalty 
factors be included in the tariff. For example, if an RTO/ISO uses 
different transmission constraint penalty factors in its security 
constrained unit commitment and its security constrained economic 
dispatch, it should include both sets of transmission constraint 
penalty factors in its tariff.
    98. Second, we propose to require that RTOs/ISOs include in their 
tariffs an explanation as to if and when transmission constraint 
penalty factors may be used to set LMPs. If the RTO/ISO has different 
processes for allowing transmission constraint penalty factors to set 
LMPs in different circumstances, this should be explained in the 
tariff. As part of its explanation, the RTO/ISO should also make clear 
whether there are any specific restrictions or

[[Page 9552]]

conditions under which transmission constraint penalty factors are 
allowed to set LMPs, such as a minimum duration for transmission 
constraint violations.
    99. Finally, if RTOs/ISOs wish to have the flexibility to 
temporarily change transmission constraint penalty factors to account 
for changes in system conditions, they must include the procedures for 
doing so in their tariffs. We also propose to require these procedures 
to include a requirement that notice of the temporary change be 
provided to market participants. For example, an RTO/ISO could notify 
market participants of the temporary change by posting on its Web site.
d. Comment Sought on Transmission Outages
    100. We seek comment on whether additional reporting of 
transmission outages should be required. Transmission outages can 
affect RTO/ISO commitment and dispatch decisions and resulting market 
clearing prices, and thus are an important facet of price formation. 
Though the current record on this issue is limited, we seek comment as 
to whether additional transparency in this regard would be beneficial 
to stakeholders and if RTOs/ISOs have any limitations in providing more 
detailed data in this regard, including any appropriate time lag for 
reporting.
e. Comment Sought on Availability of Market Models
    101. Some commenters indicate that distribution of the network 
model may be limited to certain market participants.\113\ For the 
purposes of this NOPR we define network model as the RTO's/ISO's model 
used in its energy management system for the real-time operation of the 
transmission system (e.g., state-estimation, contingency analysis). We 
seek comment on whether certain classes of market participants are 
prohibited from obtaining the network model in certain RTOs/ISOs. 
Moreover, if there are limitations to which market participants are 
able to obtain the model, we seek comment on the justification for any 
such limitations.
---------------------------------------------------------------------------

    \113\ DC Energy, Inertia Power, and Vitol Comments at 21, 26; 
Financial Marketers Coalition Comments at 43.
---------------------------------------------------------------------------

III. Compliance

    102. We propose to require that each RTO/ISO submit a compliance 
filing within 90 days of the effective date of any eventual Final Rule 
in this proceeding to demonstrate that it meets the proposed 
requirements set forth in the Final Rule. We note that this compliance 
deadline is for RTOs/ISOs to submit proposed tariff changes or 
otherwise demonstrate compliance with the Final Rule. We understand 
that implementing the reforms required by any Final Rule in this 
proceeding may be a complex endeavor. However, we preliminarily find 
that implementation of these reforms is important to ensure rates are 
just and reasonable. Therefore, we propose that tariff changes filed in 
response to a Final Rule in this proceeding must become effective no 
more than six months after compliance filings are due.
    103. We seek comment on whether 90 days is sufficient time for 
RTOs/ISOs to develop new tariff language in response to the Final Rule.
    104. To the extent that any RTO/ISO believes that it already 
complies with the reforms proposed in this NOPR, the RTO/ISO would be 
required to demonstrate how it complies in the compliance filing 
required 90 days after the effective date of any Final Rule in this 
proceeding. To the extent that any RTO/ISO believes that its existing 
market rules are consistent with or superior to the reforms adopted in 
any Final Rule, the Commission will entertain those at that time.\114\
---------------------------------------------------------------------------

    \114\ See, e.g., Settlement Intervals and Shortage Pricing in 
Markets Operated by Regional Transmission Organizations and 
Independent System Operators, Order No. 825, FERC Stats. & Regs. ] 
31,384, at P 72 (2016); Demand Response Compensation in Organized 
Wholesale Energy Markets, Order No. 745, FERC Stats. & Regs. ] 
31,322, at P 4 & n.7, order on reh'g and clarification, Order No. 
745-A, 137 FERC ] 61,215 (2011), reh'g denied, Order No. 745-B, 138 
FERC ] 61,148 (2012), vacated sub nom. Elec. Power Supply Ass'n v. 
FERC, 753 F.3d 216 (D.C. Cir. 2014), rev'd & remanded sub nom. FERC 
v. Elec. Power Supply Ass'n, 136 S. Ct. 760 (2016).
---------------------------------------------------------------------------

IV. Information Collection Statement

    105. The Paperwork Reduction Act (PRA) \115\ 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 \116\ require approval of certain information collection 
requirements imposed by agency rules. Upon approval of a collection of 
information, OMB will assign an OMB control number and an expiration 
date. Respondents subject to the filing requirements of an agency rule 
will not be penalized for failing to respond to the collection of 
information unless the collection of information displays a valid OMB 
control number.
---------------------------------------------------------------------------

    \115\ 44 U.S.C. 3507 (2012).
    \116\ 5 CFR 1320 (2016).
---------------------------------------------------------------------------

    106. The reforms proposed in this NOPR would amend the Commission's 
regulations to improve the operation of organized wholesale electric 
power markets operated by RTOs/ISOs. The Commission proposes to require 
each RTO/ISO that allocates the costs of real-time uplift due to 
deviations should allocate such real-time uplift costs to only those 
market participants whose transactions are reasonably expected to have 
caused the real-time uplift. The Commission also proposes to revise its 
regulations to enhance transparency by requiring that each RTO/ISO post 
uplift costs paid (dollars) and operator-initiated commitments 
(megawatts) on its Web site; and define in its tariff its transmission 
constraint penalty factors, as well as the circumstances in which the 
penalty factors can set locational marginal prices, and any procedure 
for changing the penalty factors. The reforms proposed in this NOPR 
would require one-time filings of tariffs with the Commission and 
potential software upgrades to implement the reforms proposed in this 
NOPR. The Commission anticipates the reforms proposed in this NOPR, 
once implemented, would not significantly change currently existing 
burdens on an ongoing basis. The Commission will submit the proposed 
reporting requirements to OMB for its review and approval under section 
3507(d) of the Paperwork Reduction Act.\117\
---------------------------------------------------------------------------

    \117\ 44 U.S.C. 3507(d).
---------------------------------------------------------------------------

    107. While the Commission expects the adoption of the reforms 
proposed in this NOPR to provide significant benefits, the Commission 
understands implementation can be a complex endeavor. The Commission 
solicits public comments on its need for this information, whether the 
information will have practical utility, the accuracy of burden and 
cost estimates, ways to enhance the quality, utility, and clarity of 
the information to be collected or retained, and any suggested methods 
for minimizing respondents' burden, including the use of automated 
information techniques.
    108. Public Reporting Burden Estimate and Information Collection 
Costs: The Commission believes that the burden estimates that follow 
are representative of the average burden on respondents, including 
necessary communications with stakeholders.

[[Page 9553]]



                                                 FERC-516G, as Modified by the NOPR in Docket RM17-2-000
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                                                                                          Average burden   Total annual
                                                             Number of     Annual number   Total number   (hours) & cost  burden hours &     Cost per
                                                            respondents    of responses    of responses    per response    total annual   respondent ($)
                                                               \118\      per respondent                       \119\           cost
                                                                     (1)             (2)     (1) x (2) =             (4)     (3) x (4) =       (5) / (1)
                                                                                                     (3)                             (5)
--------------------------------------------------------------------------------------------------------------------------------------------------------
Uplift Allocation.......................................               6               1               6    500; $36,500          3,000;         $36,500
                                                                                                                                $219,000
Transparency............................................               6               1               6    500; $36,500          3,000;          36,500
                                                                                                                                $219,000
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Cost to Comply: The Commission has projected the total cost of 
compliance, within Year 1 to be $438,000. After Year 1, the reforms 
proposed in this NOPR, once implemented, would not significantly change 
existing burdens on an ongoing basis.
---------------------------------------------------------------------------

    \118\ Respondent entities are either RTOs or ISOs.
    \119\ The estimated hourly cost (salary plus benefits) provided 
in this section are 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#00-0000) 
and scaled to reflect benefits using the relative importance of 
employer costs in employee compensation from December 2015 
(available at http://www.bls.gov/news.release/ecec.nr0.htm). The 
hourly estimates for salary plus benefits are:
    Legal (code 23-0000), $129.12
    Computer and Mathematical (code 15-0000), $60.63
    Information Security Analyst (code 15-1122), $58.08
    Accountant and Auditor (code 13-2011), $53.86
    Information and Record Clerk (code 43-4199), $37.75
    Electrical Engineer (code 17-2071), $64.29
    Economist (code 19-3011), $74.53
    Computer and Information Systems Manager (code 11-3021), $91.76
    Management (code 11-0000), $89.07
    The average hourly cost (salary plus benefits), weighting all of 
these skill sets evenly, is $73.23. For the calculations here, the 
Commission rounds it to $73 per hour.
---------------------------------------------------------------------------

    Title: FERC-516G, Electric Rate Schedules and Tariff Filings in 
Docket RM17-2-000.
    Action: Proposed revisions to an existing information collection.
    OMB Control No.: TBD.
    Respondents for this Rulemaking: RTOs/ISOs.
    Frequency of Information: One-time.
    Necessity of Information: The Federal Energy Regulatory Commission 
implements 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.
    109. 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]. Due to security concerns, comments 
should be sent electronically to the following email address: 
[email protected]. Comments submitted to OMB should refer to 
FERC-516G and OMB Control No TBD.

V. Environmental Analysis

    110. 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.\120\ We 
conclude that neither an Environmental Assessment nor an Environmental 
Impact Statement is required for this NOPR under section 380.4(a)(15) 
of the Commission's regulations, which provides a categorical exemption 
for approval of actions under sections 205 and 206 of the FPA relating 
to the filing of schedules containing all rates and charges for the 
transmission or sale of electric energy subject to the Commission's 
jurisdiction, plus the classification, practices, contracts and 
regulations that affect rates, charges, classifications, and 
services.\121\
---------------------------------------------------------------------------

    \120\ Regulations Implementing the National Environmental Policy 
Act of 1969, Order No. 486, FERC Stats. & Regs. ] 30,783 (1987).
    \121\ 18 CFR 380.4(a)(15) (2016).
---------------------------------------------------------------------------

VI. Regulatory Flexibility Act

    111. The Regulatory Flexibility Act of 1980 (RFA) \122\ generally 
requires a description and analysis of proposed 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.
---------------------------------------------------------------------------

    \122\ 5 U.S.C. 601-12 (2012).
---------------------------------------------------------------------------

    112. 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 $73,000. The RTOs/ISOs are not small entities, as 
defined by the RFA.\123\ This is because the relevant threshold between 
small and large entities is 500 employees and the Commission 
understands that each RTO/ISO has more than 500 employees. Furthermore, 
because of their pivotal roles in wholesale electric power markets in 
their regions, none of the RTOs/ISOs meet the last criterion of the 
two-part RFA definition of a small entity: ``not dominant in its field 
of operation.'' As a result, the Commission certifies that the reforms 
proposed in this NOPR would not have a significant economic impact on a 
substantial number of small entities.
---------------------------------------------------------------------------

    \123\ 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.
---------------------------------------------------------------------------

VII. Comment Procedures

    113. The Commission invites interested persons to submit comments 
on the matters and issues proposed in this document to be adopted, 
including any related matters or alternative proposals that commenters 
may wish to

[[Page 9554]]

discuss. Comments are due April 10, 2017. Comments must refer to Docket 
No. RM17-2-000, and must include the commenter's name, the organization 
they represent, if applicable, and their address.
    114. The Commission encourages comments to be filed electronically 
via the eFiling link on the Commission's Web site at http://www.ferc.gov. The Commission accepts most standard word processing 
formats. Documents created electronically using word processing 
software should be filed in native applications or print-to-PDF format 
and not in a scanned format. Commenters filing electronically do not 
need to make a paper filing.
    115. Commenters that are not able to file comments electronically 
must send an original of their comments to: Federal Energy Regulatory 
Commission, Secretary of the Commission, 888 First Street NE., 
Washington, DC 20426.
    116. All comments will be placed in the Commission's public files 
and may be viewed, printed, or downloaded remotely as described in the 
Document Availability section below. Commenters on this proposal are 
not required to serve copies of their comments on other commenters.

VIII. Document Availability

    117. 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.
    118. From the Commission's Home Page on the Internet, this 
information is available on eLibrary. The full text of this document is 
available on eLibrary in PDF and Microsoft Word format for viewing, 
printing, and/or downloading. To access this document in eLibrary, type 
the docket number excluding the last three digits of this document in 
the docket number field.
    119. User assistance is available for eLibrary and the Commission's 
Web site during normal business hours from the Commission's Online 
Support at 202-502-6652 (toll free at 1-866-208-3676) or email at 
[email protected], or the Public Reference Room at (202) 502-
8371, TTY (202) 502-8659. Email the Public Reference Room at 
[email protected].

List of Subjects in 18 CFR Part 35

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

    By direction of the Commission.

    Issued: January 19, 2017.
Nathaniel J. Davis, Sr.,
Deputy Secretary.

Regulatory Text

    In consideration of the foregoing, the Commission proposes to amend 
Part 35, Chapter 1, 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 new paragraph (g)(11) to read as 
follows:


Sec.  35.28  Non-discriminatory open access transmission tariff.

* * * * *
    (g) * * *
    (11) Uplift allocation and transparency--(i) Uplift allocation. 
Each Commission-approved independent system operator or regional 
transmission organization that allocates the costs of real-time uplift 
to deviations must allocate such costs only to those market 
participants whose transactions are reasonably expected to cause the 
uplift costs. For purposes of this allocation, deviations are megawatt 
hour differences between a market participant's scheduled deliveries or 
receipts at particular points cleared in the day-ahead market and those 
amounts actually delivered or received in real-time that are not 
related to real-time economic or reliability-related operator dispatch 
instructions. Costs of uplift payments must be allocated to at least 
two distinct categories: System-wide capacity and congestion 
management. For purposes of this allocation, each Commission-approved 
independent system operator or regional transmission organization must 
distinguish between deviations that help efforts to address system 
needs and those that harm efforts to address system needs. A market 
participant's net harmful deviations are its harmful deviations less 
its helpful deviations. Within each uplift category, uplift costs must 
be allocated to a market participant's net harmful deviations 
commensurate with the extent to which those deviations harm efforts to 
address system needs. Within the system-wide capacity category, a 
market participant shall be allocated a portion of the total real-time 
uplift costs incurred to maintain energy and operating reserve 
requirements in the real-time market based on the net contributions of 
its deviations to those costs. Within the congestion management 
category, costs shall be allocated based on whether a market 
participant's deviations on net contributed to the real-time congestion 
at a given constraint. For the purposes of real-time uplift allocated 
to deviations, a market participant's deviations must be netted hourly. 
Real-time uplift allocated to deviations must be settled on an hourly 
basis.
    (ii) Transparency--(A) Uplift reporting. Each Commission-approved 
independent system operator or regional transmission organization must 
post two reports, at minimum, regarding uplift on a publicly accessible 
portion of its Web site. Such postings shall be made within 20 calendar 
days of the end of each month. First, each Commission-approved 
independent system operator or regional transmission organization must 
post uplift, paid in dollars, and categorized by transmission zone, 
day, and uplift category. Transmission zone shall be defined as the 
geographic area that is used for the local allocation of charges. 
Transmission zones with fewer than four resources may be aggregated 
with a neighboring transmission zone and reported collectively. If, for 
any given monthly report, only one transmission zone exists and it has 
fewer than four resources or, if when combined with a neighboring 
transmission zone, the combined transmission zones still have fewer 
than four resources, these transmission zones may be omitted from the 
reporting requirements described in this section. Second, each 
Commission-approved independent system operator or regional 
transmission organization must post the resource name and the total 
amount of uplift paid in dollars aggregated across the month to each 
resource that received uplift payments within the calendar month.
    (B) Reporting operator-initiated commitments. Each Commission-
approved independent system operator or regional transmission 
organization must post operator-initiated commitments in megawatts, 
categorized by transmission zone and commitment reason, on a publicly 
accessible portion of its Web site as soon as practicable after the 
resource has been committed, but no later than four hours after the 
commitment. Transmission zone shall be defined as a geographic area 
that is used for the local allocation of charges.
    (C) Transmission constraint penalty factors. Each Commission-
approved

[[Page 9555]]

independent system operator or regional transmission organization must 
include, in its tariff, its transmission constraint penalty factor 
values; the circumstances, if any, under which the transmission 
constraint penalty factors can set locational marginal prices; and the 
procedure, if any, for temporarily changing the transmission constraint 
penalty factor values. Any procedure for temporarily changing 
transmission constraint penalty factor values must provide for notice 
of the change to market participants.

    Note:  The following appendix will not be published in the Code 
of Federal Regulations.

Appendix: List of Short Names/Acronyms of Commenters



------------------------------------------------------------------------
      Short name/acronym                       Commenter
------------------------------------------------------------------------
Appian Way...................  Appian Way Energy Partners, LLC.
CAISO........................  California Independent System Operator
                                Corporation.
DC Energy, Inertia Power, and  DC Energy, LLC, Inertia Power, LP, and
 Vitol.                         Vitol Inc.
EEI..........................  Edison Electric Institute.
EPSA.........................  Electric Power Supply Association.
EPSA/IPPNY...................  Electric Power Supply Association and
                                Independent Power Producers of New York.
EPSA/NEPGA...................  Electric Power Supply Association and New
                                England Power Generators Association,
                                Inc.
EPSA/P3......................  Electric Power Supply Association and PJM
                                Power Providers.
EPSA/Western Power Trading     Electric Power Supply Association and
 Forum.                         Western Power Trading Forum.
Energy Storage Association...  Energy Storage Association.
Entergy......................  Entergy Services, Inc. commented on
                                behalf of the Entergy Operating
                                Companies (Entergy Arkansas, Inc.;
                                Entergy Louisiana, LLC; Entergy
                                Mississippi, Inc.; Entergy New Orleans,
                                Inc.; and Entergy Texas, Inc.).
Exelon.......................  Exelon Corporation.
Financial Marketers Coalition  Financial Marketers Coalition.
Golden Spread Electric.......  Golden Spread Electric Cooperative, Inc.
ISO-NE.......................  ISO New England Inc.
MISO.........................  Midcontinent Independent System Operator,
                                Inc.
MISO Market Monitor..........  Potomac Economics, LLC.
PJM Market Monitor...........  Monitoring Analytics, LLC.
NYISO........................  New York Independent System Operator,
                                Inc.
PJM..........................  PJM Interconnection, L.L.C.
PSEG Companies...............  PSEG Companies (Public Service Electric
                                and Gas Company, PSEG Power LLC and PSEG
                                Energy Resources & Trade LLC).
Public Interest Organizations  Public Interest Organizations.
SPP..........................  Southwest Power Pool, Inc.
XO Energy....................  XO Energy, LLC.
------------------------------------------------------------------------

[FR Doc. 2017-02332 Filed 2-6-17; 8:45 am]
 BILLING CODE 6717-01-P



                                                                               Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules                                                                                                  9539

                                               cause the rudder pedal mechanism to detach                                 4090; email:. Before using any approved                                     allocates the costs of real-time uplift due
                                               from the brake cylinder. We are issuing this                               AMOC on any airplane to which the AMOC                                      to deviations should allocate such real-
                                               proposed AD to detect and correct                                          applies, notify your appropriate principal                                  time uplift costs only to those market
                                               discrepancies of the brake master cylinder                                 inspector (PI) in the FAA Flight Standards
                                               pivot pin, which could lead to detachment of
                                                                                                                                                                                                      participants whose transactions are
                                                                                                                          District Office (FSDO), or lacking a PI, your
                                               the rudder pedal mechanism from the brake                                  local FSDO.                                                                 reasonably expected to have caused the
                                               master cylinder with consequent loss of                                       (2) Airworthy Product: For any requirement                               real-time uplift costs. The Commission
                                               control.                                                                   in this AD to obtain corrective actions from                                also proposes to revise its regulations to
                                               (f) Actions and Compliance                                                 a manufacturer or other source, use these                                   enhance transparency by requiring that
                                                                                                                          actions if they are FAA-approved. Corrective                                each RTO/ISO post uplift costs paid
                                                  Unless already done, do the following                                   actions are considered FAA-approved if they                                 (dollars) and operator-initiated
                                               actions in paragraphs (f)(1) through (3) of this                           are approved by the State of Design Authority
                                               AD:                                                                                                                                                    commitments (megawatts) on its Web
                                                                                                                          (or their delegated agent). You are required                                site; and define in its tariff its
                                                  (1) Within 300 hours time-in-service (TIS)                              to assure the product is airworthy before it
                                               after the effective date of this AD or within                                                                                                          transmission constraint penalty factors,
                                                                                                                          is returned to service.
                                               300 hours TIS after the last inspection                                                                                                                as well as the circumstances under
                                               required by AD 2015–11–01, whichever                                       (i) Related Information                                                     which those penalty factors can set
                                               occurs first, and repetitively thereafter at                                  Refer to MCAI EASA AD 2016–0214, dated                                   locational marginal prices, and any
                                               intervals not to exceed 300 hours TIS or 12                                October 27, 2016, for related information.                                  procedure for changing those factors.
                                               months, whichever occurs first, inspect the                                You may examine the MCAI on the Internet
                                               brake master cylinder pivot pins part number                                                                                                           DATES: Comments are due April 10,
                                                                                                                          at http://www.regulations.gov by searching
                                               (P/N) T67M–45–539 installed on rudder                                      for and locating Docket No. FAA–2017–0048.                                  2017.
                                               pedal assemblies number 1 and number 4. Do                                 For service information related to this AD,
                                               this action following paragraph C.                                                                                                                     ADDRESSES:    Comments, identified by
                                                                                                                          contact Marshall Aerospace and Defence                                      docket number, may be filed in the
                                               INSPECTION of the Accomplishment
                                                                                                                          Group, The Airport, Newmarket Road,
                                               Instructions in Marshall Aerospace and                                                                                                                 following ways:
                                                                                                                          Cambridge, CB5 8RX, UK; telephone: +44 (0)
                                               Defense Group Service Bulletin SBM 200,
                                                                                                                          1223 399856; fax: +44 (0) 7825365617; email:                                  • Electronic Filing through http://
                                               Revision 2, dated December 2015 (SBM 200,                                                                                                              www.ferc.gov. Documents created
                                                                                                                          mark.bright@marshalladg.com; Internet:
                                               Revision 2).                                                                                                                                           electronically using word processing
                                                                                                                          www.marshalladg.com. You may review
                                                  (2) If any cracking or distortion of the brake
                                               master cylinder pivot pins is found or the
                                                                                                                          copies of the referenced service information                                software should be filed in native
                                                                                                                          at the FAA, Small Airplane Directorate, 901                                 applications or print-to-PDF format and
                                               pivot pin fails the dimensional check during
                                                                                                                          Locust, Kansas City, Missouri 64106. For                                    not in a scanned format.
                                               any of the inspections required in paragraph
                                                                                                                          information on the availability of this
                                               (f)(1) of this AD, before further flight, replace
                                                                                                                          material at the FAA, call (816) 329–4148.
                                                                                                                                                                                                        • Mail/Hand Delivery: Those unable
                                               the affected pivot pin with a serviceable part                                                                                                         to file electronically may mail or hand-
                                               following paragraph C. INSPECTION of the                                     Issued in Kansas City, Missouri, on January                               deliver comments to: Federal Energy
                                               Accomplishment Instructions in SBM 200,                                    18, 2017.                                                                   Regulatory Commission, Secretary of the
                                               Revision 2.                                                                Melvin Johnson,
                                                  (3) Replacement of the brake master                                                                                                                 Commission, 888 First Street NE.,
                                                                                                                          Acting Manager, Small Airplane Directorate,                                 Washington, DC 20426.
                                               cylinder pivot pins as required by paragraph
                                                                                                                          Aircraft Certification Service.                                               Instructions: For detailed instructions
                                               (f)(2) of this AD does not terminate the
                                               repetitive inspections required by paragraph                               [FR Doc. 2017–01768 Filed 2–6–17; 8:45 am]                                  on submitting comments and additional
                                               (f)(1) of this AD. If both brake master cylinder                           BILLING CODE 4910–13–P                                                      information on the rulemaking process,
                                               pivot pins are replaced at the same time, the                                                                                                          see the Comment Procedures Section of
                                               first repetitive inspection after replacement                                                                                                          this document.
                                               of the pivot pins can be deferred until 1,000
                                               hours TIS after replacement of the pivot pins.
                                                                                                                          DEPARTMENT OF ENERGY                                                        FOR FURTHER INFORMATION CONTACT:
                                               (g) Credit for Actions Accomplished in                                     Federal Energy Regulatory                                                   Stanley Wolf (Technical Information),
                                               Accordance With Previous Service                                           Commission                                                                    Office of Energy Policy and
                                               Information                                                                                                                                              Innovation, Federal Energy Regulatory
                                                  This AD provides credit for any                                         18 CFR Part 35                                                                Commission, 888 First Street NE.,
                                               inspections required in paragraph (f)(1) of                                                                                                              Washington, DC 20426, (202) 502–
                                               this AD if completed before the effective date                             [Docket No. RM17–2–000]                                                       6841, Stanley.Wolf@ferc.gov
                                               of this AD following the Accomplishment                                                                                                                Keatley Adams (Technical Information),
                                               Instructions of Marshall Aerospace and                                     Uplift Cost Allocation and
                                                                                                                          Transparency in Markets Operated by                                           Office of Energy Market Regulation,
                                               Defense Group Service Bulletin SBM 200,
                                               Revision 1, dated April 2015.                                              Regional Transmission Organizations                                           Federal Energy Regulatory
                                                                                                                          and Independent System Operators                                              Commission, 888 First Street NE.,
                                               (h) Other FAA AD Provisions                                                                                                                              Washington, DC 20426, (202) 502–
                                                  The following provisions also apply to this                             AGENCY: Federal Energy Regulatory                                             8678, Keatley.Adams@ferc.gov
                                               AD:                                                                        Commission.                                                                 Colin Beckman (Legal Information),
                                                  (1) Alternative Methods of Compliance                                                                                                                 Office of the General Counsel, Federal
                                                                                                                          ACTION: Notice of proposed rulemaking.
                                               (AMOCs): The Manager, Standards Office,
                                               FAA, has the authority to approve AMOCs
                                                                                                                                                                                                        Energy Regulatory Commission, 888
                                                                                                                          SUMMARY:  The Federal Energy                                                  First Street NE., Washington, DC
                                               for this AD, if requested using the procedures
                                               found in 14 CFR 39.19. Send information to
                                                                                                                          Regulatory Commission (Commission) is                                         20426, (202) 502–8049,
                                               ATTN: Jim Rutherford, Aerospace Engineer,                                  proposing to revise its regulations to                                        Colin.Beckman@ferc.gov
                                               FAA, Small Airplane Directorate, 901 Locust,                               require that each regional transmission
                                                                                                                                                                                                      SUPPLEMENTARY INFORMATION:
Lhorne on DSK30JT082PROD with PROPOSALS




                                               Room 301, Kansas City, Missouri 64106;                                     organization (RTO) and independent
                                               telephone: (816) 329–4165; fax: (816) 329–                                 system operator (ISO) that currently                                        Table of Contents

                                                                                                                                                                                                                                                             Paragraph

                                               I. Background ............................................................................................................................................................................................            9
                                               II. Discussion ............................................................................................................................................................................................          12
                                                    A. Uplift Cost Allocation ..................................................................................................................................................................                    12



                                          VerDate Sep<11>2014         13:37 Feb 06, 2017         Jkt 241001       PO 00000       Frm 00007        Fmt 4702       Sfmt 4702      E:\FR\FM\07FEP1.SGM              07FEP1


                                               9540                            Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules

                                                                                                                                                                                                                                                           Paragraph

                                                         1. Uplift Cost Allocation Background .......................................................................................................................................                             13
                                                         2. Current RTO/ISO Practices ...................................................................................................................................................                         16
                                                         3. Comments ...............................................................................................................................................................................              23
                                                              a. Practices for Allocating Uplift Costs to Deviations ......................................................................................................                                       23
                                                              b. Virtual Transactions and Uplift .....................................................................................................................................                            27
                                                              c. Coordinated Transaction Scheduling ............................................................................................................................                                  29
                                                              d. Additional Comments ....................................................................................................................................................                         30
                                                         4. Need for Reform .....................................................................................................................................................................                 31
                                                         5. Proposal ..................................................................................................................................................................................           35
                                                              a. Real-Time Uplift Categories ...........................................................................................................................................                          40
                                                              b. Netting .............................................................................................................................................................................            45
                                                              c. Deviations That Result From Following Dispatch ........................................................................................................                                          51
                                                              d. Settlement .......................................................................................................................................................................               55
                                                              e. Other Comments Sought .................................................................................................................................................                          56
                                                     B. Transparency .................................................................................................................................................................................            57
                                                         1. Background .............................................................................................................................................................................              58
                                                         2. Current RTO/ISO Practices ...................................................................................................................................................                         59
                                                              a. Reporting Uplift ..............................................................................................................................................................                  59
                                                              b. Reporting Operator-Initiated Commitments ..................................................................................................................                                      63
                                                              c. Transmission Constraint Penalty Factors ......................................................................................................................                                   66
                                                         3. Comments ...............................................................................................................................................................................              67
                                                              a. General Comments ..........................................................................................................................................................                      67
                                                              b. Comments on Uplift Reporting ......................................................................................................................................                              68
                                                              c. Comments on Reporting Operator-Initiated Commitments ..........................................................................................                                                  72
                                                              d. Comments on Transmission Constraint Penalty Factors .............................................................................................                                                75
                                                         4. Need for Reform .....................................................................................................................................................................                 77
                                                         5. Proposal ..................................................................................................................................................................................           82
                                                              a. Uplift Reporting ..............................................................................................................................................................                  83
                                                              b. Reporting Operator-Initiated Commitments ..................................................................................................................                                      90
                                                              c. Transmission Constraint Penalty Factors ......................................................................................................................                                   96
                                                              d. Comment Sought on Transmission Outages .................................................................................................................                                        100
                                                              e. Comment Sought on Availability of Market Models ....................................................................................................                                            101
                                               III. Compliance .........................................................................................................................................................................................         102
                                               IV. Information Collection Statement ......................................................................................................................................................                       105
                                               V. Environmental Analysis ......................................................................................................................................................................                  110
                                               VI. Regulatory Flexibility Act ..................................................................................................................................................................                 111
                                               VII. Comment Procedures ........................................................................................................................................................................                  113
                                               VIII. Document Availability .....................................................................................................................................................................                 117


                                                  1. In this Notice of Proposed                                           to have a method for allocating these                                      need for and value of additional
                                               Rulemaking (NOPR), the Federal Energy                                      costs to market participants. At the                                       investment, such as transmission
                                               Regulatory Commission (Commission)                                         highest level, the allocation of uplift                                    upgrades or new generation. Also,
                                               proposes to revise its regulations to                                      costs should, to the extent possible,                                      without sufficient transparency, market
                                               address potentially unjust and                                             encourage behavior that will reduce the                                    participants may not be able to assess
                                               unreasonable approaches to real-time                                       need for uplift-creating actions and                                       each RTO’s/ISO’s operator-initiated
                                               uplift cost allocation and transparency                                    avoid discouraging market participant                                      commitment practices and raise any
                                               practices by regional transmission                                         behavior that lowers total production                                      issues of concern through the
                                               organizations (RTOs) and independent                                       costs (i.e., enhances efficiency). The                                     stakeholder process. The transparency
                                               system operators (ISOs).                                                   reforms proposed in this NOPR are                                          reforms proposed in this NOPR are
                                                                                                                          designed to achieve these objectives.                                      designed to allow market participants to
                                                  2. While the Commission and RTOs/
                                                                                                                             3. Given that RTOs/ISOs are likely                                      understand the actions RTOs/ISOs are
                                               ISOs have taken steps to reduce the                                        going to need to take some out-of-market
                                               amount of uplift in the energy and                                                                                                                    taking and respond accordingly.
                                                                                                                          actions, there is a need to provide                                           4. First, we preliminarily find that
                                               ancillary services markets, the                                            transparency regarding those actions
                                               complexity inherent in the electric                                                                                                                   certain practices of allocating the cost of
                                                                                                                          and the associated uplift costs. The lack                                  real-time uplift 2 to market participants
                                               system and limitations in the tools                                        of transparency regarding uplift and
                                               available to maintain reliable operations                                                                                                             who deviate from day-ahead market
                                                                                                                          operator-initiated commitments,1 which                                     schedules (deviations) are inconsistent
                                               can lead to system operators taking out-
                                                                                                                          can cause uplift, hinders a market                                         with cost causation, which may distort
                                               of-market actions to manage reliability.
                                                                                                                          participant’s ability to plan and                                          market outcomes, potentially resulting
                                               When they do so, energy and ancillary
                                                                                                                          efficiently respond to system needs.                                       in unjust and unreasonable rates.
                                               service prices may not reflect the
                                                                                                                          Market participants may lack the
                                               marginal cost of production and some
                                                                                                                          information necessary to evaluate the                                        2 Real-time uplift refers to uplift payments to
                                               resources may therefore need make-
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                                                                                                                                                                                                     resources committed after the close of the day-
                                               whole payments to ensure recovery of                                         1 An operator-initiated commitment is a                                  ahead market, including any uplift associated with
                                               operating costs. Since the limitations in                                  commitment that is not associated with a resource                          reliability commitments, whether or not the RTO/
                                               representing the complexity of the                                         clearing the day-ahead or real-time market on the                          ISO considers such commitments outside of the
                                               electric system in market models are                                       basis of economics and that is not self-scheduled.                         day-ahead market, e.g., the Reliability Unit
                                                                                                                          See FERC, Operator Initiated Commitments in RTO                            Commitment or RUC process. As such, uplift
                                               unlikely to ever be fully resolved, uplift                                 and ISO Markets, Docket No. AD14–14–000 at 8–                              payments to resources committed in a reliability
                                               costs are also unlikely to be completely                                   20 (Dec. 2014), http://www.ferc.gov/legal/staff-                           unit commitment process would be considered real-
                                               eliminated. As a result, RTOs/ISOs need                                    reports/2014/AD14-14-operator-actions.pdf.                                 time uplift for the purposes of this NOPR).



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                                                                      Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules                                                   9541

                                               Specifically, some RTO/ISO practices of                 monthly basis; (3) report megawatts                   notice initiating that proceeding stated
                                               allocating real-time uplift costs to                    (MW) of operator-initiated commitments                that there may be opportunities for the
                                               deviations that could not reasonably be                 in or near real-time and after the close              RTOs/ISOs to improve the price
                                               expected to have caused those uplift                    of the day-ahead market, broken out by                formation process in the energy and
                                               costs can distort market outcomes by                    transmission zone and commitment                      ancillary services markets. As set forth
                                               inappropriately penalizing behavior that                reason; and (4) define in its tariff the              in the notice, prices used in energy and
                                               can improve price formation. Therefore,                 transmission constraint penalty factors,              ancillary services markets ideally
                                               we propose to require that, if an RTO/                  as well as the circumstances under                    ‘‘would reflect the true marginal cost of
                                               ISO allocates real-time uplift costs to                 which those factors can set locational                production, taking into account all
                                               deviations, it must do so based on cost                 marginal prices (LMPs), and the process               physical system constraints, and these
                                               causation, as further discussed below.                  by which they can be changed.                         prices would fully compensate all
                                               For the purposes of allocating uplift                      6. The goals of the price formation                resources for the variable cost of
                                               costs to deviations, we propose that                    proceeding are to: (1) Maximize market                providing service.’’ 5 Pursuant to the
                                               deviations are megawatt hour                            surplus for consumers and suppliers; (2)              notice, staff conducted outreach and
                                               differences between a market                            provide correct incentives for market                 convened technical workshops on the
                                               participant’s scheduled deliveries or                   participants to follow commitment and                 following four general issues: (1) Use of
                                               receipts at particular points—as                        dispatch instructions, make efficient                 uplift payments; (2) offer price
                                               determined by the day-ahead market                      investments in facilities and equipment,              mitigation and offer price caps; (3)
                                               clearing process—and those amounts                      and maintain reliability; (3) provide                 scarcity and shortage pricing; and (4)
                                               actually delivered or received in real-                 transparency so that market participants              operator actions that affect prices.6
                                               time that are not related to real-time                  understand how prices reflect the actual                 10. In January 2015, the Commission
                                               economic or reliability-related operator                marginal cost of serving load and the                 requested comments on questions that
                                               dispatch instructions. This proposal                    operational constraints of reliably                   arose from the price formation technical
                                               would apply only to real-time uplift cost               operating the system; and (4) ensure that             workshops.7 As a result of these
                                               allocation to deviations. This NOPR                     all suppliers have an opportunity to                  comments, the Commission identified,
                                               does not apply to other methods used by                 recover their costs.4                                 among other things, five topics with
                                               RTOs/ISOs to allocate uplift costs. If an                  7. The reforms proposed in this NOPR               potential for reform to improve price
                                               RTO/ISO does not currently allocate                     address two of the Commission’s price                 formation, but for which further
                                               real-time uplift costs to deviations, this              formation goals. First, the proposed                  information was needed.
                                               NOPR does not impose a requirement                      reforms to uplift costs allocated to                     11. In November 2015, the
                                               on those RTOs/ISOs to allocate real-time                deviations should improve market                      Commission issued an order that
                                               uplift costs to deviations.                             participants’ incentives to perform in                directed each RTO/ISO to report on
                                                                                                       real-time consistent with operator                    these five price formation topics: Fast-
                                                  5. Second, we preliminarily find that
                                                                                                       instructions and bid into the day-ahead               start pricing; managing multiple
                                               current practices with respect to
                                                                                                       market and submit day-ahead schedules                 contingencies; look-ahead modeling;
                                               reporting uplift payments, operator-
                                                                                                       consistent with expected real-time                    uplift allocation; and transparency.8
                                               initiated commitments, and
                                                                                                       system conditions. Second, the                        Specifically, the order directed each
                                               transmission constraint penalty factors 3
                                                                                                       proposed transparency reforms will                    RTO/ISO to file a report providing an
                                               are unjust and unreasonable. The lack of
                                                                                                       help market participants understand                   update on its current practices in the
                                               transparency into the costs allocated to
                                                                                                       how prices reflect the actual marginal                five topic areas, outlining the status of
                                               market participants, and into the causes
                                                                                                       cost of serving load and the operational              its efforts (if any) to address issues in
                                               of such costs, hinders the ability of
                                                                                                       constraints of reliably operating the                 each of the five topic areas, and
                                               market participants to assess the
                                                                                                       system.                                               responding to specific questions
                                               effectiveness of current operational                       8. We seek comment on these
                                               practices or to evaluate the need for                                                                         contained in the order. In the reports
                                                                                                       proposed reforms 60 days after                        filed and the subsequent comments,
                                               additional investment, such as                          publication of this NOPR in the Federal
                                               transmission upgrades or new                                                                                  RTOs/ISOs and other commenters
                                                                                                       Register.                                             addressed the issues of uplift cost
                                               generation. Similarly, the lack of
                                               transparency with respect to                            I. Background                                         allocation and transparency,9 which are
                                               transmission constraint penalty factors                                                                       the subject of this NOPR.
                                                                                                          9. In June 2014, the Commission
                                               may hinder a market participant’s                       initiated a proceeding, in Docket No.                 II. Discussion
                                               ability to effectively understand how an                AD14–14–000, Price Formation in
                                               RTO’s/ISO’s actions affect energy prices                                                                      A. Uplift Cost Allocation
                                                                                                       Energy and Ancillary Services Markets
                                               and thus, hinder its ability to hedge                   in Regional Transmission Organizations                  12. In this section, we first provide a
                                               energy market transactions. As                          and Independent System Operators, to                  brief background on uplift payments
                                               discussed further below, for these                      evaluate issues regarding price                       and deviations between day-ahead and
                                               reasons we preliminarily find that these                formation in the energy and ancillary                 real-time schedules as a way to
                                               practices may result in rates that are                  services markets operated by RTOs/ISOs                determine uplift cost allocation. We
                                               unjust and unreasonable. We therefore                   (Price Formation Proceeding). The
                                               propose to require that each RTO/ISO:                                                                           5 Price Formation Notice, Docket No. AD14–14–

                                               (1) Report total uplift payments for each                 4 See                                               000, at 2 (June 19, 2014).
                                                                                                                Price Formation in Energy and Ancillary        6 Id. at 1, 3–4.
                                               transmission zone, broken out by day                    Services Markets Operated by Regional
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                                                                                                                                                               7 Notice Inviting Comments, Docket No. AD14–
                                               and uplift category; (2) report total uplift            Transmission Organizations and Independent
                                                                                                       System Operators, Notice Inviting Post-Technical      14–000 (Jan. 16, 2015).
                                               payments for each resource on a                         Workshop Comments, Docket No. AD14–14–000, at           8 Price Formation in Energy and Ancillary

                                                                                                       1 (Jan. 16, 2015) (Notice Inviting Comments); Price   Services Markets Operated by Regional
                                                 3 Transmission constraint penalty factors are the     Formation in Energy and Ancillary Services Markets    Transmission Organizations and Independent
                                               values at which an RTO’s/ISO’s market software          Operated by Regional Transmission Organizations       System Operators, 153 FERC ¶ 61,221 (2015) (Order
                                               will relax the limit on a transmission constraint       and Independent System Operators, Notice, Docket      Directing Reports).
                                               rather than continue to re-dispatch resources to        No. AD14–14–000 (June 19, 2014) (Price Formation        9 A list of commenters and the abbreviated names

                                               relieve congestion associated with that constraint.     Notice).                                              used in this NOPR appears in the Appendix.



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                                               9542                   Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules

                                               then review current RTO/ISO practices                   causation methods, such as a                          explains that it eliminated all uplift
                                               and comments regarding these practices                  deviations-based approach.                            costs associated with Coordinated
                                               submitted prior to and after the issuance                  14. In its Order Directing Reports, the            Transaction Scheduling (CTS) 15 in a
                                               of the Order Directing Reports. Finally,                Commission asked the RTOs/ISOs to                     reciprocal fashion with ISO–NE, and
                                               we explain the need for reform and set                  explain whether and how the RTO/ISO                   that it supports the elimination of all
                                               forth the proposal in detail.                           allocates real-time energy and ancillary              uplift cost allocation and fees on exports
                                                                                                       services market uplift costs based on                 because these fees reduce trade between
                                               1. Uplift Cost Allocation Background                    deviations from market participants’                  regions and adversely impact total
                                                  13. Uplift generally refers to payments              day-ahead schedules, and whether                      production costs.16
                                               that RTOs/ISOs make to a resource                       deviations that increase the need for                    18. CAISO explains that it has many
                                               whose commitment and dispatch result                    actions that cause real-time uplift                   categories of uplift, and that it allocates
                                               in a shortfall between the costs in a                   payments (harming deviations) are                     uplift costs to transmission owners (who
                                               resource’s offer and the revenue earned                 netted against deviations that reduce the             pass uplift costs to transmission
                                               through market clearing prices.10 For                   need for actions that cause real-time                 customers), loads, and exports,
                                               example, if a resource is committed and                 uplift payments (helping deviations).11               depending on whether the system
                                               is not able to fully recover its costs from                15. In response, most RTOs/ISOs state              operator made the dispatch decision to
                                               the energy and ancillary services                       that they classify certain schedule                   address transmission constraints, energy
                                               markets, it would receive an uplift                     differences between the day-ahead and                 imbalance, real-time congestion, or bid
                                               payment. As noted in the Staff Analysis                 real-time markets as deviations and                   cost recovery.17 CAISO asserts that any
                                               of Uplift, modeling, software, and                      allocate at least some portion of real-               allocation based on deviations should
                                               certain other limitations are inherent in               time uplift costs to those deviations.                consider the wide variability in
                                               the complexity of the electric system                   Allocation of real-time uplift costs to               scheduling and metering granularity for
                                               and the tools available to maintain                     deviations is the focus of this NOPR                  different resources and that there might
                                               reliable operations. As a result, system                because deviations may increase the                   be implementation challenges in a more
                                               operators may have to take out-of-                      need for operator actions that cause real-            granular cost allocation.18
                                               market actions to manage reliability,                   time uplift, such as additional unit                     19. ISO–NE states that roughly half of
                                               with resulting energy and ancillary                     commitments in real-time to replace a                 its uplift costs are allocated to
                                               service prices not reflecting the                       shortfall in generation or an increase in             deviations, which include generator
                                               marginal cost of production. Uplift, or                 load compared to the day-ahead market                 deviations, load deviations, increment
                                               make-whole, payments may therefore be                   solution. This NOPR does not address                  (virtual) deviations, and import
                                               needed to ensure that resources                         other methods of uplift cost allocation,              deviations.19 ISO–NE calculates each
                                               committed and dispatched out-of-                        such as allocation to load obligations,               market participant’s deviations hourly,
                                               market are able to recover their                        and does not propose to require RTOs/                 netting virtual demand bids and
                                               operating costs. These modeling,                        ISOs to allocate real-time uplift costs to            deviations from day-ahead load across
                                               software, and other limitations will                    deviations.                                           all locations.20 However, hourly
                                               likely persist, making uplift an inherent               2. Current RTO/ISO Practices                          generator and virtual supply deviations
                                               element of centralized wholesale energy                                                                       are not subject to netting in ISO–NE.21
                                                                                                          16. All of the RTOs/ISOs state that                ISO–NE does not allocate uplift costs to
                                               and ancillary services markets that may                 they use some form of beneficiary pays
                                               not be completely eliminated.                                                                                 CTS transactions.22
                                                                                                       or cost-causation principles to allocate                 20. PJM allocates uplift costs incurred
                                               Therefore, RTOs/ISOs must have a                        uplift costs.12 However, the current
                                               method to allocate these costs to market                                                                      for reasons other than reliability to
                                                                                                       uplift cost allocation methods of the                 deviations, including cleared virtual
                                               participants. Generally, RTOs/ISOs                      RTOs/ISOs vary significantly, both in
                                               allocate uplift costs either directly to                                                                      bids, transaction deviations, and load
                                                                                                       terms of granularity and the exemption                deviations.23 PJM states that it assesses
                                               market participants who caused the                      of certain types of transactions. The
                                               uplift or to load. Allocation of uplift                                                                       deviations daily by netting deviations
                                                                                                       definition of what precisely constitutes              separately within three different
                                               costs to load is motivated by several                   a deviation also varies across RTOs/
                                               considerations. Load can be viewed as                                                                         categories (demand, supply, and
                                                                                                       ISOs.                                                 generation) at a single transmission
                                               the ultimate beneficiary of the actions                    17. NYISO generally allocates uplift
                                               the system operator takes to maintain                                                                         zone, hub, or interface.24 PJM explains
                                                                                                       costs based on the beneficiary pays                   that its current netting rule allows a
                                               reliability. Further, one principle of cost             principle.13 NYISO allocates uplift costs
                                               allocation is to allocate costs in a way                                                                      supply or demand deviation from a
                                                                                                       associated with state-wide reliability to             virtual transaction in the day-ahead
                                               that is least likely to distort market                  all loads in the New York Control Area,
                                               participant behavior. In electricity                                                                          energy market to be netted against
                                                                                                       and allocates uplift costs associated
                                               markets, load is the class of market                    with local reliability to load within the                15 CTS is a set of real-time market rules that allow
                                               participants that is currently the least                transmission district where the                       imports and exports to be scheduled based on a
                                               sensitive to price and for whom an                      reliability actions were taken. NYISO                 bidder’s willingness to purchase energy sourced
                                               allocation of uplift costs is arguably                  allocates real-time uplift costs on a                 from one RTO/ISO and sell the energy at a sink in
                                               least likely to distort behavior. For                                                                         another, adjacent RTO/ISO, if the difference
                                                                                                       beneficiary pays basis to load                        between the forecasted prices at the sink and source
                                               shorthand, allocating uplift costs to load              obligations, using real-time metered                  is greater than or equal to the dollar value specified
                                               is referred to as ‘‘beneficiary pays.’’ In              load during the hours in which uplift                 in the CTS Interface Bid (spread bid).
                                               practice, RTOs/ISOs often use a                         costs were incurred.14 NYISO also                        16 NYISO Report at 45–46.
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                                               combination of the two approaches,                                                                               17 CAISO Report at 40–45.

                                               with load receiving all of the uplift costs               11 Order Directing Reports, 153 FERC ¶ 61,221 at
                                                                                                                                                                18 Id. at 37.
                                                                                                                                                                19 ISO–NE Report at 54–55.
                                               that are not allocated through cost-                    P 64, question 3.b.
                                                                                                         12 NYISO Report at 45; PJM Report at 28; SPP           20 Id. at 50.
                                                                                                                                                                21 Id.
                                                 10 FERC, Staff Analysis of Uplift in RTO and ISO      Report at 19; MISO Report at 42; ISO–NE Report at
                                               Markets, Docket No. AD14–14–000, at 1–2 (Aug.           43; CAISO Report at 35.                                  22 ISO–NE Report at 53.
                                                                                                         13 NYISO Report at 46.                                 23 PJM Report at 30–31.
                                               2014), https://www.ferc.gov/legal/staff-reports/
                                               2014/08-13-14-uplift.pdf.                                 14 Id. at 40.                                          24 Id. at 31.




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                                                                       Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules                                                9543

                                               internal bilateral transactions 25                       allocate uplift costs to CTS between                 and allocates the costs accordingly.40
                                               occurring at the same location.26 PJM                    itself and PJM, which is expected to be              MISO Market Monitor also argues that
                                               does not consider up-to-congestion                       implemented in the spring of 2017.35                 for both capacity-related and
                                               transactions 27 to be deviations and does                                                                     congestion-related uplift, cost
                                               not allocate uplift to them.28 PJM                       3. Comments
                                                                                                                                                             allocations should be based on
                                               considers CTS transactions (and other                    a. Practices for Allocating Uplift Costs to          deviations from the market participants’
                                               imports and exports) to be deviations,                   Deviations                                           day-ahead schedules.41
                                               and allocates uplift to them.
                                                  21. SPP states that it allocates uplift                  23. Some commenters criticize the                 b. Virtual Transactions and Uplift
                                               costs based on causation when the cause                  practice of allocating uplift costs to real-
                                                                                                        time deviations from day-ahead                          27. Allocation of uplift costs to virtual
                                               is identifiable and the cost of doing so
                                               does not outweigh the benefit.29 For                     schedules. For example, Appian Way                   transactions is a contentious issue, and
                                               example, real-time uplift costs are                      asserts that deviations-based approaches             commenters hold disparate opinions.
                                               allocated to deviations from day-ahead                   to uplift cost allocation create market              Some commenters argue that virtual
                                               schedules and SPP dispatch                               inefficiencies in the form of unnecessary            transactions contribute to price
                                               instructions.30 SPP states that virtual                  and inappropriate barriers to market                 convergence between the day-ahead and
                                               transactions are considered deviations,                  participants accessing the spot market,              real-time markets, thus reducing, rather
                                               but virtual supply offers are netted                     and also shift the cost responsibility for           than increasing, uplift. They also argue
                                               against a countervailing deviation                       uplift from load to other market                     that virtual transactions are easily
                                               between day-ahead and real-time                          participants.36                                      forced out of the market by added fees,
                                               schedules (i.e., a load or export                                                                             such as uplift. These commenters
                                                                                                           24. Others, however, support                      support either reducing or eliminating
                                               decrease, or import increase, relative to                allocating uplift costs to deviations from
                                               its day-ahead schedule) at the same                                                                           the allocation of uplift costs to virtual
                                                                                                        day-ahead schedules, but argue that                  transactions.42 For example, XO Energy
                                               settlement location.31                                   such deviations should be netted based
                                                  22. MISO has a granular approach to                                                                        argues that it is unjust and unreasonable
                                                                                                        on whether they contribute to or                     to allocate energy deviation-related
                                               allocating uplift costs that it states is                alleviate the condition causing uplift.37
                                               based on determining cost-causation                                                                           uplift costs to virtual transactions as XO
                                                                                                        Some commenters contend, for                         Energy asserts these transactions do not
                                               where possible. MISO has several
                                                                                                        example, that netting such deviations is             impact unit commitment because the
                                               categories of uplift, but, for example,
                                                                                                        consistent with cost causation                       energy impacts ‘‘net out’’ and do not
                                               MISO’s Revenue Sufficiency Guarantee
                                                                                                        principles because it ensures that only              affect the system’s power balance.43
                                               uplift category has six different
                                                                                                        market participants deviating from their
                                               methodologies for distributing costs                                                                             28. Other commenters disagree,
                                                                                                        day-ahead schedules in a manner that
                                               based on the reason a resource was                                                                            arguing that virtual transactions should
                                                                                                        increases uplift payments will incur
                                               committed.32 MISO also allocates uplift                                                                       be allocated uplift costs because they
                                                                                                        those costs.38
                                               costs according to a set of defined                                                                           affect day-ahead commitment and
                                               categories based on what MISO                               25. Multiple commenters also                      dispatch, and thus can impact uplift.44
                                               determines to be the cause of the uplift.                recommend the creation of more                       For example, PJM states that allocating
                                               Uplift costs resulting from real-time                    specific uplift cost allocation categories           uplift costs to virtual transactions is
                                               capacity commitments are largely                         that are better aligned with cost                    consistent with cost causation, and that
                                               allocated to deviations, including                       causation. To this end, some                         up-to-congestion transactions should be
                                               physical supply and demand deviations,                   commenters suggest creating a                        allocated uplift costs similar to other
                                               virtual transactions, and import and                     congestion management category that                  virtual transactions, although they are
                                               export physical schedules.33 A portion                   would distinguish uplift incurred for                not currently allocated such costs.45
                                               of uplift resulting from transmission                    congestion management from uplift                    Several commenters also contend that
                                               constraint relief is assigned to the                     incurred for capacity needs or voltage               cost allocation rules for virtual
                                               deviations that caused the congestion.34                 and local reliability and allocate uplift            transactions may need to be revised.46
                                               MISO has also noted that it will not                     costs accordingly.39                                 For example, EEI notes that in PJM,
                                                                                                           26. MISO Market Monitor asserts that              virtual transactions, including
                                                  25 Internal bilateral transactions are a type of

                                               bilateral transaction used to purchase or sell one or
                                                                                                        uplift costs should be minimized to the              increment offers and decrement bids,
                                               more electricity market product(s) within a region.      extent possible by incorporating                     are allocated uplift costs, while up-to-
                                               In all of the RTOs/ISOs, internal bilateral              reliability requirements into market-                congestion transactions are not. EEI
                                               transactions are financial agreements that the two       based products, but any remaining                    asserts that up-to-congestion
                                               parties report to the RTO/ISO to streamline
                                               accounting and settlement. None of the RTOs/ISOs
                                                                                                        uplift costs should then be allocated                transactions should not be given
                                               model internal bilateral transactions in the real-time   based on cost causation. MISO Market                 preferential treatment and should
                                               or day-ahead market, and internal bilateral              Monitor believes that allocating uplift              instead be allocated a share of uplift
                                               transactions do not affect market dispatch or power      costs to those that cause it or benefit
                                               flows.
                                                                                                                                                             costs.47
                                                  26 PJM Report at 33.
                                                                                                        from it gives market participants an
                                                  27 An up-to-congestion transaction is a form of       incentive to act to minimize it. MISO                   40 MISO Market Monitor Feb. 24, 2015 Comments

                                               virtual transaction that combines an offer to sell       Market Monitor also asserts that MISO’s              at 16–17.
                                               energy at a source, with a bid to buy the same MW        uplift cost allocation approach is the                  41 Id. at 17.

                                               quantity of energy at a sink where such transaction      best practice in the industry because it                42 Appian Way Comments at 10; Financial
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                                               specifies the maximum difference between the LMP                                                              Marketers Coalition Comments at 14–15; XO Energy
                                               at the source and sink.                                  determines why the uplift was incurred               Comments at 21.
                                                  28 PJM Report at 33.                                                                                          43 XO Energy Comments at 19–21.
                                                  29 SPP Report at 20.                                    35 Midcontinent Indep. Sys. Operator, Inc., 155       44 PSEG Companies Comments at 10; EEI
                                                  30 Id. at 22.                                         FERC ¶ 61,038, at P 3 (2016).                        Comments at 4.
                                                  31 Id. at 38.                                           36 Appian Way Comments at 1, 7.                       45 PJM Report at 33.
                                                  32 MISO Report at 42–43.                                37 Financial Marketers Coalition Comments at 31.      46 EPSA/P3 Comments at 12; DC Energy, Inertia
                                                  33 Id. at 44.                                           38 Id. at 14, 31.                                  Power, and Vitol Comments at 4–5.
                                                  34 Id.                                                  39 Id. at 14; XO Energy Comments at 24.               47 EEI Comments at 4.




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                                               9544                   Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules

                                               c. Coordinated Transaction Scheduling                   most RTOs/ISOs allocate at least a                    to deviations must follow the practices
                                                  29. CTS transactions are scheduled in                portion of real-time uplift costs to                  described below when allocating such
                                               real-time by the participating RTO/                     market participants that deviate from                 costs. Specifically, the following
                                               ISOs 48 based on forecasted prices. CTS                 their day-ahead market schedules.                     practices ensure that if an RTO/ISO
                                               is not used in all RTO/ISO markets and                  When market participants deviate from                 chooses to allocate real-time uplift costs
                                               the allocation of uplift costs to CTS                   their day-ahead schedule, RTOs/ISOs                   to deviations, it must do so consistent
                                               varies by market, as described herein.                  may have to take actions in real-time to              with cost causation. Accordingly, we
                                               Some RTOs/ISOs, such as MISO, view                      address differences between the day-                  first propose that RTOs/ISOs categorize
                                               CTS transactions as economically                        ahead market solution and real-time                   real-time uplift costs allocated to
                                               dispatched, similar to the economic                     system conditions. These actions, such                deviations into at least two categories
                                                                                                       as committing additional resources, can               based on the reason uplift costs were
                                               dispatch of a generator, and therefore do
                                                                                                       result in real-time uplift costs.                     incurred, a system-wide capacity
                                               not consider them to be deviations for
                                                                                                          33. However, RTOs/ISOs do not                      category and a congestion management
                                               the purpose of allocating uplift costs.
                                                                                                       always consider whether a deviation                   category as discussed in more detail
                                               NYISO and ISO–NE do not allocate
                                                                                                       likely contributed to increasing or                   below. Second, we propose to require
                                               uplift costs to CTS transactions between
                                                                                                       decreasing real-time uplift costs when                each RTO/ISO to distinguish between
                                               their markets. PJM, however, views CTS
                                                                                                       allocating real-time uplift costs.                    deviations that are ‘‘helping’’ to address
                                               transactions as deviations,
                                                                                                       Deviations from day-ahead market                      system needs and those that are
                                               indistinguishable in effect from other
                                                                                                       schedules that create the need for                    ‘‘harming’’ efforts to address system
                                               deviations that cause uplift.
                                                                                                       additional resource commitments in                    needs. Further, within each uplift
                                               d. Additional Comments                                  real-time tend to increase real-time                  category, uplift costs must be allocated
                                                  30. Commenters also provide                          uplift costs. On the other hand,                      to a market participant’s net ‘‘harming’’
                                               feedback on several other market design                 deviations can also contribute to the                 deviations, i.e., relevant ‘‘harming’’
                                               mechanisms related to uplift. For                       convergence of the day-ahead and real-                deviations net of relevant ‘‘helping’’
                                                                                                       time markets by helping to ensure that                deviations. Third, we propose to clarify
                                               example, several commenters discuss
                                                                                                       the day-ahead market solution and the                 that a resource responding to an RTO/
                                               the netting of internal bilateral
                                                                                                       attendant day-ahead schedule reduces                  ISO-initiated real-time dispatch
                                               transactions against other deviations
                                                                                                       the need for system operator actions in               instruction should not be allocated
                                               when allocating uplift costs in PJM.
                                                                                                       real-time. If real-time uplift costs are              deviations-related real-time uplift costs.
                                               While some advocate eliminating this
                                                                                                       assigned improperly, such costs may                   Finally, we propose that real-time uplift
                                               market rule,49 others support it,
                                                                                                       impact market behavior in a manner                    costs allocated to deviations must be
                                               contending that internal bilateral
                                                                                                       that limits otherwise beneficial                      settled using hourly uplift rate
                                               transactions are valuable hedging tools
                                                                                                       transactions, which in turn may distort               calculations. Each proposed practice is
                                               which allow market participants to                                                                            described in detail below.
                                               counteract a deviation from a virtual                   prices and market outcomes. This
                                                                                                       distortion can lead to increased real-                   36. This proposal would apply only to
                                               transaction in the day-ahead market and                                                                       real-time uplift costs allocated to
                                               promote convergence between day-                        time uplift payments, higher overall
                                                                                                       costs to consumers, and potentially                   deviations. The NOPR does not propose
                                               ahead and real-time prices.50                                                                                 to require that RTOs/ISOs allocate uplift
                                                                                                       unjust and unreasonable rates.51
                                               4. Need for Reform                                         34. Therefore, we preliminarily find               costs to deviations, and we recognize
                                                                                                       unjust and unreasonable real-time uplift              that there are other methods for
                                                  31. We preliminarily find that some                                                                        allocating uplift costs that are not based
                                               existing RTO/ISO practices of real-time                 cost allocation rules that fail to
                                                                                                       distinguish between deviations that                   on deviations, such as allocations based
                                               uplift cost allocation to deviations may                                                                      on load obligation. Further, we
                                               be unjust and unreasonable.                             help converge day-ahead and real-time
                                                                                                       markets 52 and those that harm efforts to             recognize that there are many causes of
                                               Specifically, these real-time uplift cost                                                                     uplift and this NOPR does not propose
                                               allocation practices may result in unjust               address system needs. Such rules fail to
                                                                                                       appropriately assign real-time uplift                 to address the allocation of all uplift
                                               and unreasonable rates by allocating                                                                          costs. Rather, to improve upon existing
                                               costs to deviations that could not                      costs to market participants that are
                                                                                                       likely to cause such costs and                        RTO/ISO cost allocation practices, this
                                               reasonably be expected to have caused                                                                         NOPR addresses the allocation of uplift
                                               those costs. Allocating costs to                        inappropriately deter transactions that
                                                                                                       are likely to minimize these costs.                   costs caused by market participants that
                                               deviations that did not cause these costs                                                                     deviate from their day-ahead market
                                               can inappropriately penalize certain                    5. Proposal                                           schedules.
                                               types of transactions that may be                                                                                37. Most RTOs/ISOs allocate some
                                               beneficial to price formation. We note                     35. To remedy the potentially unjust
                                                                                                       and unreasonable rates resulting from                 real-time uplift costs to deviations,
                                               that the Commission is not proposing to                                                                       although their methods for doing so
                                               require RTOs/ISOs to allocate any                       allocating real-time uplift costs to
                                                                                                       deviations in a manner inconsistent                   vary. We set forth here a definition of
                                               amount of uplift costs to deviations,                                                                         deviations to delineate what type of
                                               rather we are simply proposing reforms                  with cost causation, we propose that,
                                                                                                       pursuant to section 206 of the Federal                real-time uplift cost allocation is the
                                               to uplift cost allocation to deviations to                                                                    subject of this NOPR. We propose that
                                               the extent an RTO/ISO chooses to                        Power Act,53 each RTO/ISO that
                                                                                                       currently allocates real-item uplift costs            deviations are megawatt hour
                                               allocate some uplift costs to deviations.                                                                     differences between a market
                                                  32. While there are several                                                                                participant’s scheduled deliveries or
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                                                                                                         51 FERC, Staff Analysis of Uplift in RTO and ISO
                                               approaches to allocating uplift costs,                  Markets, Docket No. AD14–14–000, at 5–7 (Aug.         receipts at particular points cleared in
                                                                                                       2014), https://www.ferc.gov/legal/staff-reports/      the day-ahead market and those
                                                 48 Currently, CTS is effective between NYISO and      2014/08-13-14-uplift.pdf.                             amounts actually delivered or received
                                               ISO–NE and NYISO and PJM. MISO and PJM expect             52 Deviations that help converge day-ahead and
                                               to implement CTS in 2017.
                                                                                                                                                             at those points in real-time that are not
                                                                                                       real-time markets are deviations that bring day-
                                                 49 PJM Market Monitor Comments at 13; PJM             ahead and real-time prices, commitments, and          related to real-time economic or
                                               Report at 33; Appian Way Comments at 8.                 dispatch closer together.                             reliability-related operator dispatch
                                                 50 EPSA/P3 Comments at 12–13.                           53 16 U.S.C. 824e.                                  instructions. We propose that, to the


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                                                                      Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules                                            9545

                                               extent an RTO/ISO allocates real-time                   real-time uplift related to resource                  needs. The particular system need of
                                               uplift costs to deviations, it must do so               commitments to manage transmission                    relevance will depend on the category of
                                               consistent with this proposed                           congestion on specific constraints.                   uplift costs at issue, as discussed further
                                               definition. We seek comment on the                      Under this proposal, we require that an               below. Within each uplift category,
                                               proposed definition of deviations.                      RTO/ISO establish at least these two                  uplift costs must be allocated to a
                                                  38. We propose that if an RTO/ISO                    categories for real-time uplift cost                  market participant’s net ‘‘harming’’
                                               allocates real-time uplift costs to                     allocation to deviations, but propose to              deviations, i.e., relevant ‘‘harming’’
                                               deviations, it must allocate such costs                 provide flexibility to an RTO/ISO to                  deviations net of relevant ‘‘helping’’
                                               only to deviations that can reasonably                  establish additional categories.                      deviations. Such allocation should be
                                               be expected to have caused those costs.                    41. We propose distinguishing the                  commensurate with a market
                                               Real-time uplift costs are most likely to               two categories, system-wide capacity                  participant’s share of total net
                                               be incurred when, for various reasons,                  and congestion management. The                        ‘‘harming’’ deviations.
                                               the day-ahead market clearing process                   distinction ensures real-time uplift costs               46. Under the proposed system-wide
                                               does not schedule sufficient resources to               are allocated more specifically to the                capacity category, a market participant
                                               satisfy the system’s real-time needs, and               market participant that caused the                    would be allocated a portion of the total
                                               instead, RTOs/ISOs must procure                         uplift. Two examples illustrate how                   real-time uplift costs incurred to
                                               additional resources after the day-ahead                delineating these two categories is                   maintain energy and operating reserve
                                               market has cleared. Market participants                 consistent with cost causation.                       requirements in the real-time market
                                               that deviate from their day-ahead                          42. As a first example, consider a                 based on the net contributions of its
                                               schedules will either more closely align                market participant that owns a generator              deviations to those costs. This method
                                               the day-ahead market solution with                      that in real-time produces less than the              would require an RTO/ISO to determine
                                               actual real-time system needs or                        output set forth in its day-ahead                     if each market participant’s deviations
                                               contribute to a divergence from the day-                schedule when it did not receive                      are, on net, ‘‘helping’’, by converging
                                               ahead solution. Scheduling practices                    dispatch instructions to do so. That                  the day-ahead scheduled unit
                                               that contribute to these divergences may                generator’s deviation impacted the                    commitment and dispatch to the unit
                                               require operator actions, such as                       RTO’s/ISO’s ability to maintain real-                 commitment and dispatch needed to
                                               operator-initiated commitments, in real-                time energy and operating reserve                     meet real-time energy and operating
                                               time.                                                   requirements and required a new                       reserve requirements, or if they are
                                                  39. RTO/ISO day-ahead and real-time                  commitment to make up for the                         ‘‘harming’’, by exacerbating the
                                               price signals provide economic                          generator’s deviation. However, absent                difference between the day-ahead
                                               incentives to respond to system needs.                  impacting the power flows on a system                 scheduled unit commitment and
                                               Allocating real-time uplift costs to                    constraint, the generator did not                     dispatch and the unit commitment and
                                               deviations consistent with cost                         contribute to congestion on any                       dispatch needed to meet real-time
                                               causation would help ensure that real-                  constraint. Such a generator should be                energy and operating reserve
                                               time uplift cost allocation does not                    allocated real-time uplift costs for                  requirements. For example, if the
                                               discourage or deter behavior that may                   capacity but not congestion                           system operator committed an
                                               converge day-ahead and real-time                        management. The generator caused a                    additional resource to maintain energy
                                               market solutions. By eliminating the                    need for more capacity to come online,                and operating reserve requirements in
                                               allocation of real-time uplift costs to                 but did not cause a need to relieve                   the real-time market, a market
                                               transactions that are beneficial to                     congestion on a constraint.                           participant with net deviations that
                                               meeting system needs, this proposal                        43. As a second example, suppose                   increased demand (or decreased supply)
                                               strengthens the economic incentives for                 that the same generator is owned by a                 would be allocated a portion of real-
                                               market participants to respond to                       market participant that also serves real-             time uplift costs in the system-wide
                                               system needs. Further, allocating real-                 time load. If the market participant                  category, while a market participant
                                               time uplift costs consistent with cost                  reduces its real-time load in an amount               with net deviations that increased
                                               causation rewards the ability to perform                that equals the generator’s deviation                 supply (or decreased demand) would
                                               in real-time consistent with operator                   (i.e., its reduced supply), the market                not.
                                               instructions and disciplines forward                    participant’s behavior on net did not                    47. Under the proposed congestion
                                               scheduling practices by encouraging                     impact the RTO’s/ISO’s ability to                     management category, a market
                                               market participants to bid into the day-                maintain real-time energy and operating               participant would be allocated real-time
                                               ahead market and submit day-ahead                       reserve requirements. However, if this                uplift costs if its net deviations
                                               schedules consistent with expected real-                behavior—on net—impacts congestion                    contributed to a difference between the
                                               time system conditions.                                 on the system, the market participant                 congestion on a specific constraint in
                                                                                                       should be allocated real-time uplift                  the day-ahead market and the real-time
                                               a. Real-Time Uplift Categories                                                                                congestion on that constraint. This
                                                                                                       costs related to congestion management.
                                                  40. We propose to require each RTO/                     44. We request comments on whether                 method would require an RTO/ISO to
                                               ISO to categorize real-time uplift costs                the proposed reforms should recognize                 determine if each market participant’s
                                               allocated to deviations into at least two               the need for regional flexibility with                deviations are, on net, ‘‘helping’’, by
                                               categories based on the reason the uplift               regard to the uplift categories. We also              converging day-ahead and real-time
                                               cost was incurred: (1) A system-wide                    request comment on whether other                      congestion patterns, or if they are
                                               capacity category and (2) a congestion                  categories should be required.                        ‘‘harming’’, by exacerbating the
                                               management category. The system-wide                                                                          difference between day-ahead and real-
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                                               capacity category would include real-                   b. Netting                                            time congestion on a constraint. Market
                                               time uplift related to resource                            45. In allocating uplift costs to                  participants would be allocated real-
                                               commitments made to ensure sufficient                   deviations, we propose to require each                time uplift costs in this category only if
                                               system-wide online capacity to meet                     RTO/ISO to distinguish between                        their net deviations are harming by
                                               energy and operating reserve                            deviations that are ‘‘helping’’ efforts to            contributing to differences between day-
                                               requirements. The congestion                            address system needs and those that are               ahead and real-time congestion on a
                                               management category would include                       ‘‘harming’’ efforts to address system                 constraint.


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                                               9546                    Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules

                                                  48. For netting within this congestion               market solution and real-time system                  d. Settlement
                                               management category, we propose to                      needs.                                                   55. Regarding settlement of uplift
                                               require each RTO/ISO to determine real-                    52. Consistent with this clarification,            costs, under both the system-wide
                                               time uplift cost allocation based on the                first, we propose that an RTO/ISO may                 capacity category and the congestion
                                               net impact of a market participant’s                    not allocate deviation-related real-time              management category, we propose to
                                               deviations on a constraint. To make this                uplift costs to a transaction that is                 require RTOs/ISOs to allocate and net
                                               determination, an RTO/ISO should net                    economically evaluated by the RTO/ISO                 real-time uplift costs on an hourly basis.
                                               the deviations that relieve real-time                   in the real-time market. Such                         RTOs/ISOs typically allocate uplift costs
                                               congestion on the constraint with those                                                                       either hourly or daily. Hourly allocation
                                                                                                       transactions include real-time energy
                                               that contribute to it.                                                                                        would most closely align the imposition
                                                  49. Deviations caused by non-market                  transactions and CTS transactions. Such
                                                                                                       real-time transactions are responding to              of costs with the incentives to behave
                                               transactions (such as internal bilateral
                                                                                                       real-time market price signals and are                efficiently in the market, since the costs
                                               transactions) would not be netted in
                                                                                                       not deviations for the purposes of this               of real-time uplift and the actions that
                                               either the proposed system-wide
                                                                                                       NOPR. These transactions are helping to               cause that real-time uplift can and
                                               capacity category or the proposed
                                                                                                       address real-time system needs and                    usually do change from hour to hour.
                                               congestion management category
                                                                                                       allocating real-time deviation-related                Under hourly cost allocation, the costs
                                               because they take place outside of the
                                                                                                       uplift costs to such transactions could               for real-time uplift during a particular
                                               day-ahead and real-time markets.
                                                                                                       distort incentives to respond to these                hour are allocated only to those market
                                               Transactions that take place outside of
                                                                                                       signals. Conversely, transactions that are            participants that contribute to the need
                                               the markets do not affect real-time
                                                                                                       not economically evaluated in the real-               for that uplift in that hour.
                                               scheduling or dispatch and therefore
                                               should not offset transactions that do                  time market and do not have day-ahead                 e. Other Comments Sought
                                               affect real-time scheduling or dispatch.                schedules, such as self-scheduled real-
                                                                                                                                                                56. We recognize that considering
                                                  50. We seek comment on whether                       time transactions, should be treated as
                                                                                                                                                             real-time uplift cost allocation to
                                               there should be advanced notification                   deviations for the purposes of allocating
                                                                                                                                                             deviations for system-wide capacity and
                                               requirements in determining helpful                     real-time deviation-related uplift costs.
                                                                                                                                                             congestion management separately may
                                               deviations. That is, is there a period of                  53. Second, consistent with this                   require a method for dividing costs
                                               time prior to the operating hour at                     clarification, we further propose that                between the two categories for
                                               which a deviation should no longer be                   instructed deviations (those initiated by             circumstances in which real-time uplift
                                               considered helpful because notification                 the RTO/ISO) are not deviations for the               is incurred for the benefit of both
                                               of the deviation was provided to the                    purposes of allocating real-time uplift               categories (e.g., committing a unit to
                                               RTO/ISO too close to the operating                      costs, and therefore, an RTO/ISO may                  relieve transmission congestion will
                                               hour? If so, we seek comment on what                    not allocate real-time uplift costs based             also impact system-wide capacity
                                               the advanced notification requirement                   on deviations that result from a market               requirements). We seek comment on the
                                               should be.54 Under the proposed                         participant following a reliability-                  best methods to quantify this impact
                                               definition of deviations, transactions                  related dispatch instruction. Following               and to perform the appropriate cost
                                               related to real-time economic or                        such a dispatch instruction, by                       allocation. We also seek comment on
                                               reliability-related operator dispatch                                                                         the process for netting of transactions
                                                                                                       definition, helps the system. Allocating
                                               instructions would not be used in                                                                             and deviations set forth in the proposal
                                                                                                       real-time uplift costs to market
                                               determining a market participant’s net                                                                        for each category. Finally, we seek
                                                                                                       participants who follow dispatch
                                               deviations for both the system-wide                                                                           comment on the clarifications provided
                                                                                                       instructions unfairly penalizes market
                                               capacity and congestion management                                                                            herein regarding those transactions that
                                                                                                       participants that are responding to
                                               categories. We also request comment on                                                                        should not be considered deviations for
                                               whether and how such transactions                       system needs in real-time. Further,
                                                                                                       assessing real-time uplift costs to such              the purpose of real-time uplift cost
                                               should be used to determine a market                                                                          allocation and whether there are
                                               participant’s net deviations.                           deviations could discourage a market
                                                                                                       participant from following dispatch                   additional transactions that should be
                                               c. Deviations That Result From                          instructions. At times of system stress,              included in this category.
                                               Following Dispatch                                      it is essential that resources follow                 B. Transparency
                                                  51. Based on the discussion above and                dispatch instructions. For instance, an
                                                                                                       RTO/ISO may issue out-of-market                          57. In this section, we first provide a
                                               consistent with the proposed definition
                                                                                                       dispatch instructions or deploy reserves              brief background on the benefits of
                                               of deviations, we clarify that if the RTO/
                                                                                                       to address immediate reliability issues.              transparency in the wholesale electric
                                               ISO instructs a resource to deviate from
                                                                                                       A resource that responds to such an                   power markets operated by RTOs/ISOs
                                               its day-ahead schedule, be that a
                                                                                                       RTO/ISO instruction performs an                       with respect to reporting uplift,
                                               market-based or out-of-market
                                                                                                                                                             operator-initiated commitments, and
                                               instruction, that resource would not be                 essential reliability function and should
                                                                                                                                                             transmission constraint penalty factors.
                                               regarded as deviating for purposes of                   not be allocated real-time deviation-
                                                                                                                                                             We then review current RTO/ISO
                                               this NOPR, and should not be allocated                  related uplift costs for following the
                                                                                                                                                             practices with regard to reporting uplift
                                               real-time deviation-related uplift costs,               dispatch instruction.
                                                                                                                                                             and operator-initiated commitments,
                                               because it is helping to address                           54. By excluding instructed                        and summarize comments on
                                               differences between the day-ahead                       deviations from the definition of a                   transparency requirements, frequency of
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                                                  54 For example, MISO determines whether a
                                                                                                       deviation, the Commission is also                     reporting, type of uplift information to
                                               deviation is helpful based on whether it occurred       proposing that instructed deviations                  be reported, inclusion of reasons for
                                               before or after a notification deadline which is four   would not be used in any ‘helping’ and                uplift or operator-initiated
                                               hours prior to the operating hour. See generally        ‘harming’ netting process. We seek                    commitments, granularity with respect
                                               MISO, FERC Electric Tariff, Definitions,
                                               ‘‘Notification Deadline’’, 1.N & Real-Time Energy
                                                                                                       comment on whether instructed                         to location, and the inclusion of
                                               and Operating Reserve Market Settlement Cal,            deviations should be included in any                  transmission constraint penalty factors
                                               40.3.3.                                                 netting calculations.                                 in RTO/ISO tariffs. Then, we explain the


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                                                                      Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules                                                     9547

                                               need for the reform regarding reporting                 report that divides uplift costs into                  b. Reporting Operator-Initiated
                                               of uplift, operator-initiated                           seven categories.60                                    Commitments
                                               commitments, and transmission                              60. RTO/ISO reporting practices are                    63. RTOs/ISOs also vary in the
                                               constraint penalty factors. Finally, we                 driven, in part, by the time needed to                 amount, granularity, and timing of
                                               request comment on two additional                       complete the settlement process. Some                  information that is reported on operator-
                                               topics: Reporting of transmission                                                                              initiated commitments. For example,
                                                                                                       settlement periods last three to five
                                               outages and availability of network                                                                            CAISO, MISO, and NYISO provide
                                                                                                       business days and CAISO provides
                                               models.                                                                                                        information regarding operator-initiated
                                                                                                       uplift cost information based on its 12-
                                               1. Background                                           business day recalculation statement,                  commitments either shortly after the
                                                                                                       although the settlement period is                      operating day or in near real-time.
                                                  58. Visibility into the process by                                                                          CAISO and MISO both report total
                                               which prices are developed in energy                    shorter.61 Because of this lag, RTOs/
                                                                                                                                                              operator-initiated commitments
                                               and ancillary services markets supports                 ISOs typically report uplift on a
                                                                                                                                                              aggregated across the RTO/ISO,
                                               the functioning of efficient markets by                 monthly basis, with the information                    including the reasons for the
                                               enhancing predictability, identifying                   aggregated to a zonal or settlement area               commitments.65 MISO provides its
                                               system needs, and facilitating                          level.                                                 reports in near real-time, while CAISO
                                               investment decisions. Moreover,                            61. Most RTOs/ISOs cite                             releases its report several days after the
                                               understanding how RTOs/ISOs                             confidentiality issues as an additional                operating day. Throughout the operating
                                               calculate prices and how events impact                  reason for their current reporting                     day, NYISO posts operational
                                               those prices is critical to hedging,                                                                           announcements providing information
                                                                                                       practices, particularly in regions with
                                               investment, and resource entry and exit                                                                        about individual operator-initiated
                                                                                                       few market participants.62 Uplift
                                               decisions. While all RTOs/ISOs release                                                                         commitments, including the units
                                                                                                       information is typically aggregated to
                                               some information, either through                                                                               involved, level of unit commitment, and
                                               periodic reports or making data                         avoid publishing information for
                                                                                                       individual resources. All RTOs/ISOs                    the reason for the commitment, with a
                                               available on their Web sites, as                                                                               reference to the relevant reliability rule,
                                               discussed below, there is significant                   assert that they are prohibited from
                                                                                                       publicly revealing resource-specific                   if applicable.66
                                               variation in the timing, granularity, and                                                                         64. In addition, all RTOs/ISOs
                                               types of data released.                                 data, as specified in their confidentiality            provide summary reports of operator-
                                                                                                       rules.63 Some RTOs/ISOs note that they                 initiated commitments over longer time
                                               2. Current RTO/ISO Practices                            cannot provide information on a more                   periods. CAISO’s monthly performance
                                               a. Reporting Uplift                                     granular basis without changes to their                report provides metrics on exceptional
                                                  59. All RTOs/ISOs report information                 confidentiality rules or information                   dispatch 67 and operator-initiated
                                               about uplift payments. However, the                     policies.64                                            commitments organized by market (i.e.,
                                               extent of the information reported varies                  62. It is worth noting that market                  day-ahead or real-time), trade date,
                                               widely. For example, ISO–NE and                         participants with market-based and                     reason, or local area.68 CAISO also files
                                               NYISO provide monthly reports of                        traditional cost of service rate authority             a monthly report on the frequency and
                                               uplift that generally provide information               are required to report uplift payments in              volume of exceptional dispatch,
                                               that is aggregated across zones and over                the Electric Quarterly Report (EQR).                   pursuant to directives in previous
                                               the month.55 NYISO also makes                           Pursuant to EQR reporting                              Commission orders.69 ISO–NE
                                               aggregated uplift costs (in dollars)                                                                           publishes weekly, monthly, and
                                                                                                       requirements, uplift payments are
                                               available to stakeholders on a daily                                                                           quarterly reports that describe notable
                                                                                                       required to be reported at a granular
                                               basis through its daily reconciliation                                                                         operational events, but it does not
                                                                                                       level. Those reporting requirements                    provide any information regarding the
                                               reports.56 MISO provides a number of                    require market participants to report
                                               monthly reports to market participants                                                                         location or capacity of committed
                                                                                                       when the uplift payment changes.                       units.70 ISO–NE also reports the number
                                               on categories of uplift costs; the reports
                                                                                                       Because many resources are                             of units committed after the close of the
                                               aggregate the uplift data by category by
                                                                                                       commercially organized as stand-alone                  day-ahead market (but not including
                                               month and provide historical monthly
                                               data for comparison.57 CAISO                            limited liability corporations, many                   real-time commitments) each day.71 SPP
                                               aggregates uplift data to its 10 existing               individual resources report uplift                     reports monthly the MW of operator-
                                               local capacity requirement areas and                    payments to EQR within 30 days                         initiated commitments.72
                                               reports daily total uplift costs for each               following the end of a quarter. While                     65. PJM states that, although its
                                               month by the market in which the uplift                 EQR provides a significant amount of                   confidentiality provisions prevent it
                                               is incurred (e.g., day-ahead or real-time),             information, it does not provide detailed              from reporting individual operator-
                                               and by the type of costs incurred, i.e.,                information regarding uplift. For                      initiated commitments in real-time, it
                                               start-up costs, minimum load costs or                   example, EQR contains only a single
                                                                                                                                                                65 MISO Report at 60; CAISO, Daily Exceptional
                                               energy bid costs.58 PJM has recently                    ‘‘uplift’’ category which does not
                                                                                                                                                              Dispatch Report, http://www.caiso.com/market/
                                               adopted new rules to allow the                          differentiate between different types of               Pages/DailyExceptionalDispatch/Default.aspx.
                                               reporting of daily uplift information by                uplift (e.g., day-ahead, voltage and local               66 NYISO Report at 56–57 and n.32.

                                               transmission zone, with certain                         reliability).                                            67 CAISO states that its system operator issues

                                               exceptions for confidentiality reasons.59                                                                      exceptional dispatches to resources to address
                                                                                                                                                              system issues that cannot be addressed by the
                                               SPP provides uplift information in a                      60 SPP  Report at 40.
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                                                                                                                                                              constraints modeled within the market. CAISO
                                                                                                         61 ISO–NE  Report at 64–65; PJM Report at 51;        Report at 41.
                                                 55 ISO–NE  Report at 60; NYISO Report at 56–57.       CAISO Report at 58.                                      68 Id. at 56.
                                                 56 NYISO                                                 62 PJM Report at 48, 54–55; SPP Report at 41, 44;
                                                           Report at 59.                                                                                        69 Id. See also Cal. Indep. Sys. Operator Corp.,
                                                 57 MISO Report at 60.                                 ISO–NE Report at 61, 67; NYISO Report at 60.           131 FERC ¶ 61,100 (2010) (clarifying the reporting
                                                 58 CAISO Report at 56.                                   63 CAISO Report at 59; NYISO Report at 58; PJM      timeline for reporting exceptional dispatches).
                                                 59 PJM, Business Practice Manual 33:                  Report at 50–51; SPP Report at 42; ISO–NE Report         70 ISO–NE Report at 60.

                                               Administrative Services for the PJM                     at 63–64; MISO Report at 58–59.                          71 Id. at 61–62.

                                               Interconnection Operating Agreement at 23–24.              64 PJM Report at 48; ISO–NE Report at 61.             72 SPP Report at 40.




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                                               9548                   Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules

                                               does provide regionally aggregated                      penalty factors are temporarily                       strikes a balance between granularity
                                               information on uneconomic                               changed.78                                            and confidentiality.86 In contrast, SPP
                                               commitments in the day-ahead market                                                                           and MISO caution that reporting uplift
                                                                                                       3. Comments
                                               at the end of the business day. In                                                                            on a zonal basis could reveal sensitive
                                               addition, PJM posts total capacity                      a. General Comments                                   market participant information.87
                                               committed during the Reliability                           67. Various commenters recommend                      69. Commenters have differing views
                                               Assessment and Commitment period to                     reporting of uplift and operator-initiated            on what uplift information should be
                                               meet forecasted load and reserves, as                   commitments that is more regular, more                reported. PSEG Companies argue that
                                               well as resources committed for                         geographically granular, more specific                uplift can be effectively reported on a
                                               transmission constraints, voltage/                      about the size of the action (in MW),                 dollar basis.88 Energy Storage
                                               reactive constraints, or conservative                   and/or more informative of the reason                 Association states that RTOs/ISOs
                                               operations.73 ISO–NE also states its                    for uplift or operator action. Numerous               should share daily summary data on
                                               confidentiality provisions prohibit                     commenters argue that such reporting                  uplift in dollars, including the reasons
                                               reporting of operator-initiated                         about uplift and operator-initiated                   for the uplift and the location (at a
                                               commitments in real-time, while CAISO                   commitments should be mandatory.79                    minimum at a zonal level) of the
                                               states providing information about                      Exelon urges the Commission to require                resources that receive it.89 The PJM
                                               exceptional dispatches more frequently                  RTOs/ISOs to identify out-of-market                   Market Monitor recommends reporting
                                               than monthly would require significant                  actions and the resulting uplift in                   uplift charges by resource as well as
                                               changes to its systems.74 SPP states it is              regular reports.80 Several commenters                 detailed reasons for incurring uplift.90
                                               technically feasible to report                          propose that RTOs/ISOs be required to                 EPSA and EPSA/NEPGA recommend
                                               commitments resulting from operator                     post information in a way that is                     reporting the settled uplift dollar impact
                                               actions in real-time, but notes such                    uniform, consistent, and comparable                   on a MW basis, as well as the reasons
                                               reporting could disclose sensitive                      across RTOs/ISOs.81                                   for out-of-market commitments every
                                               reliability information.75                                                                                    month.91 EPSA asserts that reporting
                                                                                                       b. Comments on Uplift Reporting
                                               c. Transmission Constraint Penalty                                                                            additional information on the drivers of
                                               Factors                                                    68. In terms of frequency, some                    uplift and out-of-market dispatch can be
                                                                                                       commenters recommend monthly                          made public without compromising
                                                  66. Transmission constraint penalty                  reporting of uplift to improve                        sensitive information, because NYISO
                                               factors are the values at which an                      transparency.82 Energy Storage                        currently does so in monthly reports.92
                                               RTO’s/ISO’s market software will relax                  Association requests that RTOs/ISOs                      70. EPSA/IPPNY warns that reporting
                                               the flow-based limit on a transmission                  provide daily summary data on uplift                  uplift more frequently than daily could
                                               element to relieve a constraint caused                  credits. Energy Storage Association
                                               by that limit rather than re-dispatch                                                                         potentially reveal confidential
                                                                                                       asserts that such information should, at              information.93 Energy Storage
                                               resources to relieve the constraint. The                a minimum, be at a zonal level and
                                               cost of re-dispatching resources can be                                                                       Association suggests that, given
                                                                                                       should be made available by all RTOs/                 confidentiality concerns, the
                                               regarded as the re-dispatch price.                      ISOs several days after the operating
                                               Transmission constraint penalty factors                                                                       Commission could allow an RTO/ISO to
                                                                                                       day.83                                                request an exemption from reporting
                                               represent the maximum re-dispatch                          Several commenters request more
                                               price that the system will pay before                                                                         zonal or locational information in
                                                                                                       granular locational information
                                               allowing flows to exceed a given                                                                              certain situations where there are few
                                                                                                       regarding uplift.84 These commenters
                                               transmission element’s limit.76 The                                                                           participants in a zone or location.94
                                                                                                       argue that it is difficult to reduce or
                                               penalty factors should be set at levels                                                                       ISO–NE and MISO suggest that the level
                                                                                                       eliminate uplift when market
                                               that are high enough to avoid relaxing                                                                        of aggregation be adjusted to ensure that
                                                                                                       participants do not know where it
                                               constraints too frequently, but low                                                                           confidentiality is maintained.95
                                                                                                       originates. To address this request,
                                               enough to avoid extremely expensive re-                 many commenters, including CAISO,                     c. Comments on Reporting Operator-
                                               dispatch solutions that are more                        ISO–NE, and PJM, support reporting                    Initiated Commitments
                                               expensive than the expected cost of                     uplift on a zonal basis.85 CAISO, ISO–
                                               exceeding a given transmission                                                                                  71. Several commenters recommend
                                                                                                       NE, and PJM state that zonal reporting
                                               element’s limit. While these penalty                                                                          monthly reporting of operator-initiated
                                               factors can have significant impacts on                   78 MISO,  FERC Electric Tariff, Schedule 28A.
                                                                                                                                                             actions, including the reasons for out-of-
                                               prices, changes are not always made                       79 DC  Energy, Inertia Power, and Vitol Comments    market actions, to improve
                                               public nor do all RTOs/ISOs file them                   at 18; EPSA Comments (on MISO Report) at 22;
                                                                                                       EPSA/NEPGA Comments at 14; Energy Storage               86 PJM Report at 53; ISO–NE Report at 66; CAISO
                                               with the Commission. Specifically, PJM                  Association Comments at 2–3; Exelon Comments at       Report at 61.
                                               and ISO–NE do not include                               17–18; PSEG Companies Comments at 16.                   87 MISO Report at 60–61; SPP Report at 43.
                                               transmission constraint penalty factors                    80 Exelon Comments at 17–18.
                                                                                                                                                               88 PSEG Companies Comments at 12, 15–16.
                                               in their respective tariffs.77 Further,                    81 DC Energy, Inertia Power, and Vitol Comments
                                                                                                                                                               89 Energy Storage Association Comments at 2.
                                               MISO is the only RTO/ISO that details                   at 18; EPSA Comments (on price formation) at 22;        90 PJM Market Monitor Comments at 20–21.
                                                                                                       EPSA Comments (on MISO Report) at 22; EPSA/
                                               in its tariff how transmission constraint               IPPNY Comments at 13; EPSA Comments (on SPP             91 EPSA and its joint commenters support several

                                                                                                       Report) at 10; EPSA/NEPGA Comments at 14–15;          variations of ‘‘reporting actual settled uplift dollar
                                                 73 PJM  Report at 49–50.                              EPSA/P3 Comments at 15; EPSA/WPTF Comments            impacts, on a Megawatt (MW) basis.’’ It is unclear
                                                 74 ISO–NE   Report at 65; CAISO Report at 58, 62.     at 10.                                                whether this is referring to reporting uplift dollars
                                                 75 SPP Report at 41.                                     82 EPSA Comments (on MISO Report) at 21–22;        divided by the total capacity of resources that
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                                                 76 Transmission constraint penalty factors create     EPSA/NEPGA Comments at 13.                            receive uplift payments, or reporting the total
                                                                                                          83 Energy Storage Association Comments at 2–3.     capacity of committed resources in lieu of
                                               a cap on the shadow price of a transmission
                                                                                                          84 Financial Marketers Coalition Comments at 45;   identifying specific units. EPSA Comments (on
                                               constraint. See MISO Market Monitor Comments,
                                                                                                       Energy Storage Association Comments at 6; Golden      price formation) at 23; EPSA Comments (on MISO
                                               Docket No. AD14–14–000, at 20–21 (Feb. 24, 2015).
                                                 77 CAISO, MRTU Tariff 27.4.3.1–27.4.3.3; SPP,         Spread Comments at 8–9.                               Report) at 21–22; EPSA/NEPGA Comments at 13.
                                                                                                                                                               92 EPSA Comments (on price formation) at 23.
                                               OATT, Sixth Revised Volume No. 1, Attachment               85 Financial Marketers Coalition Comments at 45;
                                                                                                                                                               93 EPSA/IPPNY Comments at 12–13.
                                               AE, 8.3.2, Addendum 1; NYISO Tariffs, NYISO             Energy Storage Association Comments at 6; PJM
                                                                                                                                                               94 Energy Storage Association Comments at 3.
                                               Markets and Services Tariff 1.20; MISO, FERC            Market Monitor Comments at 20; CAISO Report at
                                               Electric Tariff, Schedule 28A.                          61; PJM Report at 52; ISO–NE Report at 64, 66.          95 ISO–NE Report at 66; MISO Report at 61.




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                                                                      Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules                                                  9549

                                               transparency.96 Commenters argue that                   the procedures and authority for RTOs/                information is often highly aggregated or
                                               understanding the reasons for out-of-                   ISOs to modify transmission constraint                lacks detail, limiting its usefulness.
                                               market commitments will help market                     penalty factors.102                                   Information about the location and
                                               participants discern what types of                        76. XO Energy states that transmission              causes of uplift and operator-initiated
                                               investments are needed to meet system                   constraint penalty factors can have a                 commitments that is overly aggregated
                                               needs.97 Moreover, the Financial                        significant impact on prices; however,                or lacks detail hinders the ability of a
                                               Marketers Coalition states that, when                   there is not necessarily clear insight as             market participation to evaluate RTO/
                                               out-of-market commitments are                           to how transmission constraint penalty                ISO operating practices and potentially
                                               identified by location and explained,                   factors are determined or calculated in               respond to system needs by undertaking
                                               financial participants will refrain from                the pricing and dispatch algorithms.103               new investments. For example, reports
                                               bidding because they know that prices                   XO Energy contends that, in some cases,               that aggregate uplift payments over the
                                               will not converge and uplift is likely.98               the default transmission constraint                   month may not provide sufficient
                                                  72. Some commenters also suggest                     penalty factors can be arbitrarily                    information, since monthly reports can
                                               that RTOs/ISOs report operator-initiated                assigned and modified on a case-by-case               obscure daily trends, which may be
                                               commitments closer to real-time. In                     basis.104                                             more relevant to those evaluating
                                               particular, PSEG Companies suggest that                                                                       operating practices or potential
                                               NYISO’s approach to disclosing out-of-                  4. Need for Reform
                                                                                                                                                             investments. Therefore, increasing
                                               market commitment and dispatch                             77. We preliminarily find that some                transparency with respect to the
                                               decisions should be considered a best                   existing RTO/ISO practices of reporting               location and cause of uplift can provide
                                               practice.99                                             uplift, operator-initiated commitments,               market participants additional
                                                  74. Several commenters request more                  and transmission constraint penalty                   information to evaluate the effectiveness
                                               granular locational information                         factors may result in unjust and                      of current operating practices. Without
                                               regarding out-of-market operator                        unreasonable rates. The lack of                       sufficient information to evaluate
                                               actions.100 PSEG Companies note that                    transparency regarding uplift and                     existing operating practices or the need
                                               when RTOs/ISOs provide only                             operator-initiated commitments, which                 for additional investment, market
                                               aggregated data, it is not possible to                  can cause uplift, hinders market                      efficiency may be reduced, resulting in
                                               discern whether the RTO/ISO needed                      participants’ ability to plan and                     unjust and unreasonable rates. Allowing
                                               those units or how many MW were                         efficiently respond to system needs.                  market participants to better evaluate
                                               actually required.101                                   Market participants may lack the                      the need for changes in operating
                                               d. Comments on Transmission                             information necessary to evaluate the                 practices or additional investment could
                                               Constraint Penalty Factors                              need for and value of additional                      ultimately reduce the level of uplift,
                                                                                                       investment, such as transmission                      thereby resulting in rates that are just
                                                  75. The MISO Market Monitor asserts                  upgrades or new generation. Also,
                                               that transmission constraint penalty                                                                          and reasonable.
                                                                                                       without sufficient transparency, market                  80. Similarly, the lack of transparency
                                               factors substantially affect market                     participants may not be able to assess
                                               outcomes but are not filed with or                                                                            with respect to transmission constraint
                                                                                                       each RTO’s/ISO’s operator-initiated                   penalty factors may hinder the ability of
                                               approved by the Commission for some                     commitment practices and raise any
                                               RTOs/ISOs. MISO Market Monitor adds                                                                           market participants to undertake
                                                                                                       issues of concern through the                         efficient transactions. For example, if
                                               that increasing transmission constraint                 stakeholder process.
                                               penalty factors during real-time                                                                              market participants are unaware of what
                                                                                                          78. Reporting that specifies the                   transmission constraint penalty factors
                                               operations to relieve constraints may                   location and causes of uplift and
                                               indicate that constraints were                                                                                are used and whether they will be used
                                                                                                       operator-initiated commitments will                   to set LMPs, market participants may
                                               undervalued previously, and lowering                    help incent appropriate market
                                               transmission constraint penalty factors                                                                       not be able to adequately understand
                                                                                                       responses to system needs. For example,               how an RTO’s/ISO’s actions affect
                                               during real-time operations may                         if resources are routinely committed
                                               indicate that the RTO/ISO is attempting                                                                       clearing prices and thus may not be able
                                                                                                       out-of-market to resolve a local voltage              to hedge transactions appropriately or
                                               to manually reduce congestion costs.                    issue and require uplift payments as a
                                               MISO Market Monitor contends that                                                                             effectively assess the RTO’s/ISO’s
                                                                                                       result, it may be beneficial to release               actions and raise concerns through the
                                               these concerns can be addressed by: (1)                 information on the uplift associated
                                               Establishing parameters that reflect the                                                                      stakeholder process. Without the ability
                                                                                                       with using such resources to alert                    to appropriately hedge transactions,
                                               reliability value of managing the                       market participants about the problem.
                                               constraints, which likely varies by                                                                           market participants may either over-
                                                                                                       Providing more detailed information                   hedge or under-hedge their positions,
                                               constraint; (2) filing these values in the              about the uplift incurred to address a
                                               RTO’s/ISO’s tariffs so they are known                                                                         reducing market efficiency. Also, if
                                                                                                       local reliability issue could potentially             market participants are not able to raise
                                               and approved by the Commission; and                     incent market participants to advocate
                                               (3) filing tariff provisions that specify                                                                     concerns about changes in transmission
                                                                                                       for changes to the RTO/ISO’s                          constraint penalty factors, RTOs/ISOs
                                                  96 EPSA Comments (on MISO Report) at 21–22;
                                                                                                       operational procedures or to undertake                may alter transmission constraint
                                               EPSA/NEPGA Comments at 13; Exelon Comments
                                                                                                       investments that could resolve the local              penalty factors more often than
                                               at 18; EPSA Comments (on price formation) at 23         reliability issue more efficiently (e.g.,             necessary, which impacts market
                                               EPSA/IPPNY Comments at 13; EPSA/P3 Comments             install additional capacitors).                       clearing prices. Therefore, the resulting
                                               at 15–16.                                                  79. While all RTOs/ISOs provide
                                                                                                                                                             rates may be unjust and unreasonable.
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                                                  97 EPSA Comments (on price formation) at 23;
                                                                                                       some information regarding the
                                               EPSA/P3 Comments at 15–16.
                                                                                                       locations and causes of uplift and                       81. Some RTOs/ISOs report that there
                                                  98 Financial Marketers Coalition Comments at 42.
                                                                                                       operator-initiated commitments, the                   are a variety of stakeholder initiatives
                                                  99 PSEG Companies Comments at 11.
                                                  100 Financial Marketers Coalition Comments at 45
                                                                                                                                                             and discussions underway to improve
                                               (referring to SPP); Energy Storage Association           102 Comments of MISO Market Monitor, Docket          transparency,105 while others do not
                                               Comments at 6 (referring to MISO and SPP); Golden       No. AD14–14–000, at 20–21 (Feb. 24, 2015).
                                               Spread Comments at 8–9.                                  103 XO Energy Comments at 67–68.                      105 CAISO Report at 55; MISO Report at 56;
                                                  101 PSEG Companies Comment at 14.                     104 Id. at 68.                                       NYISO Report at 55; PJM Report at 47.



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                                               9550                    Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules

                                               mention any specific plans.106 Despite                   of the RTO’s/ISO’s Web site. With this                by disclosing commercially sensitive
                                               these efforts, it is not clear that the                  information, market participants may be               information like fuel procurement
                                               transparency concerns discussed in this                  able to evaluate possible solutions to                strategies.
                                               NOPR will be addressed through                           reduce the incurrence of uplift. For                     88. While we understand the need to
                                               existing stakeholder initiatives.                        example, with more granular                           protect certain types of information, we
                                               Accordingly, we preliminarily find that                  information on the location, amounts,                 are not persuaded that revealing a
                                               some existing RTO/ISO practices with                     and types of uplift, market participants              resource’s daily uplift payments or
                                               respect to reporting uplift, operator-                   can better evaluate the benefits of                   energy offer, after some minimal time
                                               initiated commitments, and                               additional transmission upgrades that                 lag, would result in any significant harm
                                               transmission constraint penalty factors                  could reduce the need for unit                        to competition or individual market
                                               may be unjust and unreasonable.                          commitments.                                          participants. First, many individual
                                                                                                           85. We also propose to define                      resources already publicly report their
                                               5. Proposal                                              ‘‘transmission zone’’ as a geographic                 uplift payments pursuant to Electric
                                                  82. To remedy these potentially                       area that is used for the local allocation            Quarterly Reporting requirements (with
                                               unjust and unreasonable reporting                        of charges. For example, this could                   a 90-day lag). Second, RTO/ISO energy
                                               practices, we propose, pursuant to                       include a load zone that is used to settle            markets are mitigated, so concerns about
                                               section 206 of the Federal Power Act, to                 charges for energy. We request                        the potential for collusion can be
                                               require that each RTO/ISO: (1) Report                    comments on this proposed definition                  addressed through must offer
                                               total uplift payments for each                           of transmission zone, including the                   requirements and market power
                                               transmission zone on a monthly basis,                    appropriate level of geographic                       mitigation rules. Third, after the 20-day
                                               broken out by day and uplift category;                   granularity.                                          lag for reporting following the end of the
                                               (2) report total uplift payments for each                   86. Regarding the timeliness of                    month, fuel costs and other conditions
                                               resource on a monthly basis; (3) report                  posting this information, we recognize                have often changed, diminishing the
                                               the MW of operator-initiated                             that each RTO/ISO has a different                     potential usefulness of any resource
                                               commitments in or near real-time and                     settlement window and uplift is                       offer information. These three factors
                                               after the close of the day-ahead market,                 finalized during the settlement process.              limit the potential for anti-competitive
                                               broken out by zone and commitment                        As such, it is not possible for an RTO/               behavior and any harm to market
                                               reason; and (4) list in its tariff the                   ISO to release information immediately                participants.
                                               transmission constraint penalty factors,                 at the end of the month. In order to                     89. Nevertheless, to address
                                               the circumstances under which they can                   account for differences in settlement                 commenters’ concerns, we seek to
                                               set LMPs, and the procedure by which                     periods and the time necessary to                     balance the benefits of greater
                                               they can be temporarily changed.                         prepare the uplift data for publication,              transparency with the desire to preserve
                                                                                                        we propose to require that both reports               a reasonable level of confidentiality.
                                               a. Uplift Reporting
                                                                                                        described above be released no later                  Specifically, for the reporting
                                                  83. We propose to require that, within                than 20 calendar days following the end               requirements aggregated by
                                               20 days of the end of each month, each                   of the month. While we believe this is                transmission zone, we propose that
                                               RTO/ISO post on its Web site two                         a reasonable timeframe for release, we                transmission zones with fewer than four
                                               reports, at minimum, regarding uplift                    seek comment on the timeframe for                     resources need not be reported
                                               payments. First, the RTO/ISO should                      releasing the information after the end               individually; rather, transmission zones
                                               report the total uplift payments in                      of each month. In addition, we seek                   with fewer than four resources may be
                                               dollars paid daily to the resources in                   comment on the proposed requirement                   aggregated with a neighboring
                                               each transmission zone, subject to                       for a daily breakdown of uplift                       transmission zone and reported
                                               certain exceptions described below.                      categories by charge code, including any              collectively. If only one transmission
                                               Each RTO/ISO must post the total                         obstacles or difficulties related to such             zone exists and it has fewer than four
                                               amount of uplift in dollars in each                      reporting and whether different                       resources or, if when combined with a
                                               category (e.g., day-ahead, real-time,                    categorizations would be more useful.                 neighboring transmission zone the
                                               voltage and local reliability) paid to                      87. Many commenters express                        combined transmission zone still has
                                               resources in each transmission zone for                  concern that greater transparency in                  fewer than four resources, then these
                                               each day within the calendar month. We                   uplift reporting could unintentionally                transmission zones would be exempted
                                               propose to require that each RTO/ISO                     disclose a resource’s uplift payments or              from reporting the uplift information
                                               post uplift payment amounts based on                     energy offers, which some characterize                described above. Similarly, for the
                                               its specific uplift categories to allow                  as confidential or commercially-                      resource-specific reporting requirements
                                               market participants to distinguish                       sensitive information. Commenters’ core               proposed above, we will require that
                                               between different types of uplift.                       concerns appear to relate to two issues:              uplift payment data for each resource be
                                               Second, each RTO/ISO must post the                       first, that disclosing a resource’s uplift            aggregated across the month, rather than
                                               resource name and the total amount of                    payments will allow other market                      reporting daily uplift payments to each
                                               uplift paid in dollars aggregated across                 participants to calculate energy offers               resource. We expect that this temporal
                                               the month to each resource that received                 and may result in collusion between                   aggregation should mask daily behavior
                                               uplift payments within the calendar                      market participants.107 Second,                       that some commenters have expressed
                                               month. We seek comment on whether                        commenters appear to be concerned that                concerns over revealing.
                                               these resource-specific reports should                   revealing uplift payments may put a                   b. Reporting Operator-Initiated
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                                               also be broken out by uplift category, be                resource at a competitive disadvantage
                                               reported using a different time duration,                                                                      Commitments
                                               or contain other additional details.                       107 In conjunction with other information, uplift      90. We also propose to require that
                                                  84. Information on uplift payments                    payments could potentially be used to determine a     each RTO/ISO post all operator-initiated
                                               should be posted in a machine readable                   resource’s energy offers. For example, if a market    commitments on its Web site. For the
                                                                                                        participant knew a resource’s output, LMP, and
                                               format on a publicly accessible portion                  uplift payments, it could potentially calculate the
                                                                                                                                                              purposes of this NOPR, we propose to
                                                                                                        resource’s energy offer because the uplift would      define operator-initiated commitments
                                                 106 ISO–NE   Report at 59; SPP Report at 39.           make the resource whole up to its offer costs.        as a commitment that is not associated


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                                                                      Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules                                                   9551

                                               with a resource clearing the day-ahead                  provide sufficient transparency                       capacity-related). We seek comment on
                                               or real-time market on the basis of                     regarding operator-initiated                          whether the Commission should define
                                               economics and that is not self-                         commitments and that a minimum level                  a common set of categories for use
                                               scheduled.108 This definition would                     of transparency is necessary as operator-             across all RTOs/ISOs and, if so, what
                                               include any commitment, whether                         initiated commitments can affect rates.               categories should be included, or
                                               manual or automated, made after the                     In particular, operator-initiated                     whether it is more appropriate to allow
                                               execution of the day-ahead market that                  commitments can affect energy and                     each RTO/ISO to establish a set of
                                               is made outside of the real-time market.                ancillary service prices and can result in            appropriate operator-initiated
                                               Such commitments include                                uplift. In addition, greater transparency             commitment reasons on compliance. In
                                               commitments made through a residual                     will allow stakeholders to better assess              addition, we note that some RTOs/ISOs
                                               unit commitment processes after the                     the RTO’s/ISO’s operator-initiated                    currently provide more granular or
                                               execution of the day-ahead market,                      commitment practices and raise any                    detailed information about the reason
                                               commitments made through look-ahead                     issues of concern through the                         for operator-initiated commitments.112
                                               commitment processes, and manual                        stakeholder process.                                  Therefore, we seek comment on whether
                                               commitments made in real-time. We                          93. While most commenters focus on                 the proposal provides sufficient
                                               acknowledge that this definition of                     reporting of manual operator-initiated                transparency, or if more information is
                                               operator-initiated actions could result in              commitments (i.e. not through                         needed (e.g., specific constraint name),
                                               reporting most commitments that occur                   automated software),111 operator-                     as well as any potential concerns with
                                               after the day-ahead market. Moreover,                   initiated commitments made through                    requiring additional information (e.g.,
                                               we understand that whether a                            automated processes like look-ahead                   required software upgrades or impact on
                                               commitment cleared the market on the                    commitment can also have a significant                operational processes).
                                               basis of economics could be a point of                  impact on uplift. In addition, as noted
                                                                                                       by several RTOs/ISOs, manual operator-                c. Transmission Constraint Penalty
                                               confusion, particularly with respect to
                                                                                                       initiated commitments are generally                   Factors
                                               look-ahead commitment processes.
                                               Therefore, we request comment on this                   infrequent. Because posting all operator-                96. We propose to require that all
                                               aspect of the definition of operator-                   initiated commitments, whether manual                 RTOs/ISOs include certain provisions
                                               initiated actions.                                      or automated, would help market                       related to transmission constraint
                                                  91. The report posted on each RTO’s/                 participants to better understand the                 penalty factors in their tariffs because
                                               ISO’s Web site would include the                        drivers behind the incurrence of uplift               transmission constraint penalty factors
                                               following: (1) The upper economic                       in each zone and the impact of such                   can significantly impact market clearing
                                               operating limit of the committed                        commitments on rates, we propose that                 prices.
                                               resource in MW (i.e., its economic                      all operator-initiated commitments be                    97. First, we propose to require that
                                               maximum); (2) the transmission zone in                  posted, whether manual or automated.                  all RTOs/ISOs include their
                                               which the resource is located; and (3)                  We also seek comment on the types of                  transmission constraint penalty factor
                                               the reason for commitment.109 We                        unit commitments that should be                       values in their tariffs. This requirement
                                               propose that each RTO/ISO post this                     reported as operator-initiated                        would only apply to penalty factors
                                               information on a publicly accessible                    commitments.                                          used for transmission constraints and
                                               portion of its Web site in machine-                        94. In addition, we propose that real-             would not include other penalty factors
                                               readable format as soon as practicable                  time commitments be posted as soon as                 used in commitment and dispatch
                                               after the resource has been committed                   practicable after they occur, but no later            algorithms. If the RTO/ISO uses
                                               (i.e., directed to start up by the RTO/                 than four hours after the commitment.                 different transmission constraint
                                               ISO). As above, we propose to define                    We understand that this type of                       penalty factors for different processes,
                                               ‘‘transmission zone’’ as a geographic                   reporting could require significant                   we propose to require that all sets of
                                               area that is used for the local allocation              changes to current RTO/ISO systems                    transmission constraint penalty factors
                                               of charges. We request comments on                      and processes. Accordingly, we seek                   be included in the tariff. For example,
                                               this proposed definition, including the                 comment on the proposed reporting                     if an RTO/ISO uses different
                                               appropriate level of geographic                         timeframe, including the potential                    transmission constraint penalty factors
                                               granularity. Also, as discussed further                 software upgrades necessary to facilitate             in its security constrained unit
                                               below, we propose that real-time                        reporting in near real-time and other                 commitment and its security
                                               commitments be posted as soon as                        potential implementation challenges.                  constrained economic dispatch, it
                                               practicable after they occur, but no later              We also seek comment on whether a                     should include both sets of transmission
                                               than four hours after the commitment.                   different reporting timeframe (e.g.,                  constraint penalty factors in its tariff.
                                                  92. Many commenters express                          reporting once daily or monthly) would                   98. Second, we propose to require that
                                               concern about the lack of transparency                  provide sufficient transparency.                      RTOs/ISOs include in their tariffs an
                                               surrounding operator-initiated                             95. We also understand that reporting              explanation as to if and when
                                               commitments and request that the                        the reason for an operator-initiated                  transmission constraint penalty factors
                                               Commission require RTOs/ISOs to                         commitment may require the                            may be used to set LMPs. If the RTO/
                                               provide more information.110 We agree                   development of new internal processes.                ISO has different processes for allowing
                                               that current RTO/ISO practices may not                  In particular, we understand that the                 transmission constraint penalty factors
                                                                                                       reasons for operator-initiated                        to set LMPs in different circumstances,
                                                 108 See   supra text accompanying note 1.             commitments can vary based on the                     this should be explained in the tariff. As
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                                                 109 For   example, if a resource with two             particular situation. Therefore, our                  part of its explanation, the RTO/ISO
                                               combustion turbines with a capacity of 50 MW each       proposal would only require RTOs/ISOs
                                               was committed to manage congestion on a
                                                                                                                                                             should also make clear whether there
                                               transmission facility, the RTO/ISO would be
                                                                                                       to report the commitment reason within                are any specific restrictions or
                                               required to report the committed capacity (100 MW)      broad categories (e.g., voltage support,
                                               and the reason (e.g., constraint management).                                                                   112 For example, for real-time commitments made
                                                  110 E.g., EPSA Comments at 22–23; Exelon               111 CAISO  Report at 60; ISO–NE Report at 65; SPP   to manage congestion, MISO identifies the specific
                                               Comments at 17–18; Financial Marketers Coalition        Report at 42; PSEG Companies Comments at 12, 14–      constraint that prompted the commitment. MISO
                                               Comments at 42; PSEG Comments at 12.                    16, 21.                                               Report at 60.



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                                               9552                   Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules

                                               conditions under which transmission                     the Final Rule. We note that this                         unless the collection of information
                                               constraint penalty factors are allowed to               compliance deadline is for RTOs/ISOs                      displays a valid OMB control number.
                                               set LMPs, such as a minimum duration                    to submit proposed tariff changes or                         106. The reforms proposed in this
                                               for transmission constraint violations.                 otherwise demonstrate compliance with                     NOPR would amend the Commission’s
                                                  99. Finally, if RTOs/ISOs wish to have               the Final Rule. We understand that                        regulations to improve the operation of
                                               the flexibility to temporarily change                   implementing the reforms required by                      organized wholesale electric power
                                               transmission constraint penalty factors                 any Final Rule in this proceeding may                     markets operated by RTOs/ISOs. The
                                               to account for changes in system                        be a complex endeavor. However, we                        Commission proposes to require each
                                               conditions, they must include the                       preliminarily find that implementation
                                                                                                                                                                 RTO/ISO that allocates the costs of real-
                                               procedures for doing so in their tariffs.               of these reforms is important to ensure
                                               We also propose to require these                                                                                  time uplift due to deviations should
                                                                                                       rates are just and reasonable. Therefore,
                                               procedures to include a requirement                                                                               allocate such real-time uplift costs to
                                                                                                       we propose that tariff changes filed in
                                               that notice of the temporary change be                                                                            only those market participants whose
                                                                                                       response to a Final Rule in this
                                               provided to market participants. For                    proceeding must become effective no                       transactions are reasonably expected to
                                               example, an RTO/ISO could notify                        more than six months after compliance                     have caused the real-time uplift. The
                                               market participants of the temporary                    filings are due.                                          Commission also proposes to revise its
                                               change by posting on its Web site.                         103. We seek comment on whether 90                     regulations to enhance transparency by
                                                                                                       days is sufficient time for RTOs/ISOs to                  requiring that each RTO/ISO post uplift
                                               d. Comment Sought on Transmission                                                                                 costs paid (dollars) and operator-
                                                                                                       develop new tariff language in response
                                               Outages                                                                                                           initiated commitments (megawatts) on
                                                                                                       to the Final Rule.
                                                 100. We seek comment on whether                          104. To the extent that any RTO/ISO                    its Web site; and define in its tariff its
                                               additional reporting of transmission                    believes that it already complies with                    transmission constraint penalty factors,
                                               outages should be required.                             the reforms proposed in this NOPR, the                    as well as the circumstances in which
                                               Transmission outages can affect RTO/                    RTO/ISO would be required to                              the penalty factors can set locational
                                               ISO commitment and dispatch decisions                   demonstrate how it complies in the                        marginal prices, and any procedure for
                                               and resulting market clearing prices,                   compliance filing required 90 days after                  changing the penalty factors. The
                                               and thus are an important facet of price                the effective date of any Final Rule in                   reforms proposed in this NOPR would
                                               formation. Though the current record on                 this proceeding. To the extent that any                   require one-time filings of tariffs with
                                               this issue is limited, we seek comment                  RTO/ISO believes that its existing                        the Commission and potential software
                                               as to whether additional transparency in                market rules are consistent with or                       upgrades to implement the reforms
                                               this regard would be beneficial to                      superior to the reforms adopted in any                    proposed in this NOPR. The
                                               stakeholders and if RTOs/ISOs have any                  Final Rule, the Commission will                           Commission anticipates the reforms
                                               limitations in providing more detailed                  entertain those at that time.114                          proposed in this NOPR, once
                                               data in this regard, including any                                                                                implemented, would not significantly
                                               appropriate time lag for reporting.                     IV. Information Collection Statement
                                                                                                                                                                 change currently existing burdens on an
                                                                                                         105. The Paperwork Reduction Act                        ongoing basis. The Commission will
                                               e. Comment Sought on Availability of                    (PRA) 115 requires each federal agency to
                                               Market Models                                                                                                     submit the proposed reporting
                                                                                                       seek and obtain Office of Management                      requirements to OMB for its review and
                                                  101. Some commenters indicate that                   and Budget (OMB) approval before                          approval under section 3507(d) of the
                                               distribution of the network model may                   undertaking a collection of information                   Paperwork Reduction Act.117
                                               be limited to certain market                            directed to ten or more persons or
                                               participants.113 For the purposes of this               contained in a rule of general                               107. While the Commission expects
                                               NOPR we define network model as the                     applicability. OMB’s regulations 116                      the adoption of the reforms proposed in
                                               RTO’s/ISO’s model used in its energy                    require approval of certain information                   this NOPR to provide significant
                                               management system for the real-time                     collection requirements imposed by                        benefits, the Commission understands
                                               operation of the transmission system                    agency rules. Upon approval of a                          implementation can be a complex
                                               (e.g., state-estimation, contingency                    collection of information, OMB will                       endeavor. The Commission solicits
                                               analysis). We seek comment on whether                   assign an OMB control number and an                       public comments on its need for this
                                               certain classes of market participants are              expiration date. Respondents subject to                   information, whether the information
                                               prohibited from obtaining the network                   the filing requirements of an agency rule                 will have practical utility, the accuracy
                                               model in certain RTOs/ISOs. Moreover,                   will not be penalized for failing to                      of burden and cost estimates, ways to
                                               if there are limitations to which market                respond to the collection of information                  enhance the quality, utility, and clarity
                                               participants are able to obtain the                                                                               of the information to be collected or
                                               model, we seek comment on the                              114 See, e.g., Settlement Intervals and Shortage       retained, and any suggested methods for
                                               justification for any such limitations.                 Pricing in Markets Operated by Regional                   minimizing respondents’ burden,
                                                                                                       Transmission Organizations and Independent                including the use of automated
                                               III. Compliance                                         System Operators, Order No. 825, FERC Stats. &
                                                                                                                                                                 information techniques.
                                                                                                       Regs. ¶ 31,384, at P 72 (2016); Demand Response
                                                  102. We propose to require that each                 Compensation in Organized Wholesale Energy                   108. Public Reporting Burden
                                               RTO/ISO submit a compliance filing                      Markets, Order No. 745, FERC Stats. & Regs. ¶             Estimate and Information Collection
                                               within 90 days of the effective date of                 31,322, at P 4 & n.7, order on reh’g and clarification,
                                                                                                                                                                 Costs: The Commission believes that the
                                               any eventual Final Rule in this                         Order No. 745–A, 137 FERC ¶ 61,215 (2011), reh’g
                                                                                                       denied, Order No. 745–B, 138 FERC ¶ 61,148                burden estimates that follow are
                                               proceeding to demonstrate that it meets                 (2012), vacated sub nom. Elec. Power Supply Ass’n         representative of the average burden on
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                                               the proposed requirements set forth in                  v. FERC, 753 F.3d 216 (D.C. Cir. 2014), rev’d &           respondents, including necessary
                                                                                                       remanded sub nom. FERC v. Elec. Power Supply
                                                  113 DC Energy, Inertia Power, and Vitol Comments     Ass’n, 136 S. Ct. 760 (2016).                             communications with stakeholders.
                                                                                                          115 44 U.S.C. 3507 (2012).
                                               at 21, 26; Financial Marketers Coalition Comments                                                                  117 44
                                               at 43.                                                     116 5 CFR 1320 (2016).                                           U.S.C. 3507(d).




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                                                                            Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules                                                          9553

                                                                                          FERC–516G, AS MODIFIED BY THE NOPR IN DOCKET RM17–2–000
                                                                                                                                                                         Average
                                                                                                                                   Annual                                                 Total annual
                                                                                                              Number of                                                   burden                               Cost per
                                                                                                                                  number of        Total number                           burden hours
                                                                                                               respond-                                                 (hours) &                             respondent
                                                                                                                               responses per       of responses                              & total
                                                                                                                ents 118                                                 cost per                                 ($)
                                                                                                                                 respondent                                                annual cost
                                                                                                                                                                      response 119

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

                                               Uplift Allocation ........................................                  6                  1                  6    500; $36,500               3,000;             $36,500
                                                                                                                                                                                               $219,000
                                               Transparency ...........................................                    6                  1                  6    500; $36,500                3,000;             36,500
                                                                                                                                                                                               $219,000



                                                  Cost to Comply: The Commission has                             objective support for the burden                      VI. Regulatory Flexibility Act
                                               projected the total cost of compliance,                           estimates associated with the                            111. The Regulatory Flexibility Act of
                                               within Year 1 to be $438,000. After Year                          information collection requirements.                  1980 (RFA) 122 generally requires a
                                               1, the reforms proposed in this NOPR,                               109. Interested persons may obtain                  description and analysis of proposed
                                               once implemented, would not                                       information on the reporting                          rules that will have significant
                                               significantly change existing burdens on                          requirements by contacting the                        economic impact on a substantial
                                               an ongoing basis.                                                 following: Federal Energy Regulatory                  number of small entities. The RFA does
                                                  Title: FERC–516G, Electric Rate                                Commission, 888 First Street NE.,                     not mandate any particular outcome in
                                               Schedules and Tariff Filings in Docket                            Washington, DC 20426 [Attention: Ellen                a rulemaking. It only requires
                                               RM17–2–000.                                                       Brown, Office of the Executive Director],             consideration of alternatives that are
                                                  Action: Proposed revisions to an                               email: DataClearance@ferc.gov, Phone:                 less burdensome to small entities and an
                                               existing information collection.                                  (202) 502–8663, fax: (202) 273–0873.
                                                  OMB Control No.: TBD.                                                                                                agency explanation of why alternatives
                                                                                                                 Comments concerning the collection of                 were rejected.
                                                  Respondents for this Rulemaking:                               information and the associated burden
                                               RTOs/ISOs.                                                                                                                 112. This rule would apply to six
                                                                                                                 estimate(s) may also be sent to the                   RTOs/ISOs (all of which are
                                                  Frequency of Information: One-time.                            Office of Information and Regulatory
                                                  Necessity of Information: The Federal                                                                                transmission organizations). The
                                                                                                                 Affairs, Office of Management and                     average estimated annual cost to each of
                                               Energy Regulatory Commission                                      Budget, 725 17th Street NW.,
                                               implements this rule to improve                                                                                         the RTOs/ISOs is $73,000. The RTOs/
                                                                                                                 Washington, DC 20503 [Attention: Desk                 ISOs are not small entities, as defined
                                               competitive wholesale electric markets                            Officer for the Federal Energy
                                               in the RTO/ISO regions.                                                                                                 by the RFA.123 This is because the
                                                                                                                 Regulatory Commission]. Due to                        relevant threshold between small and
                                                  Internal Review: The Commission has                            security concerns, comments should be
                                               reviewed the changes and has                                                                                            large entities is 500 employees and the
                                                                                                                 sent electronically to the following                  Commission understands that each
                                               determined that such changes are                                  email address: oira_submission@
                                               necessary. These requirements conform                                                                                   RTO/ISO has more than 500 employees.
                                                                                                                 omb.eop.gov. Comments submitted to                    Furthermore, because of their pivotal
                                               to the Commission’s need for efficient                            OMB should refer to FERC–516G and
                                               information collection, communication,                                                                                  roles in wholesale electric power
                                                                                                                 OMB Control No TBD.                                   markets in their regions, none of the
                                               and management within the energy
                                               industry. The Commission has specific,                            V. Environmental Analysis                             RTOs/ISOs meet the last criterion of the
                                                                                                                    110. The Commission is required to                 two-part RFA definition of a small
                                                 118 Respondent   entities are either RTOs or ISOs.              prepare an Environmental Assessment                   entity: ‘‘not dominant in its field of
                                                 119 The  estimated hourly cost (salary plus
                                                                                                                 or an Environmental Impact Statement                  operation.’’ As a result, the Commission
                                               benefits) provided in this section are based on the                                                                     certifies that the reforms proposed in
                                               salary figures for May 2015 posted by the Bureau                  for any action that may have a
                                               of Labor Statistics for the Utilities sector (available           significant adverse effect on the human               this NOPR would not have a significant
                                               at http://www.bls.gov/oes/current/naics2_                         environment.120 We conclude that                      economic impact on a substantial
                                               22.htm#00-0000) and scaled to reflect benefits using              neither an Environmental Assessment                   number of small entities.
                                               the relative importance of employer costs in
                                               employee compensation from December 2015                          nor an Environmental Impact Statement                 VII. Comment Procedures
                                               (available at http://www.bls.gov/news.release/                    is required for this NOPR under section                 113. The Commission invites
                                               ecec.nr0.htm). The hourly estimates for salary plus               380.4(a)(15) of the Commission’s
                                               benefits are:                                                                                                           interested persons to submit comments
                                                                                                                 regulations, which provides a
                                                  Legal (code 23–0000), $129.12                                                                                        on the matters and issues proposed in
                                                                                                                 categorical exemption for approval of
                                                  Computer and Mathematical (code 15–0000),                                                                            this document to be adopted, including
                                               $60.63                                                            actions under sections 205 and 206 of
                                                                                                                                                                       any related matters or alternative
                                                  Information Security Analyst (code 15–1122),                   the FPA relating to the filing of
                                                                                                                                                                       proposals that commenters may wish to
                                               $58.08                                                            schedules containing all rates and
                                                  Accountant and Auditor (code 13–2011), $53.86                  charges for the transmission or sale of                 122 5 U.S.C. 601–12 (2012).
                                                  Information and Record Clerk (code 43–4199),                   electric energy subject to the                          123 The RFA definition of ‘‘small entity’’ refers to
                                               $37.75                                                            Commission’s jurisdiction, plus the                   the definition provided in the Small Business Act,
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                                                  Electrical Engineer (code 17–2071), $64.29
                                                                                                                 classification, practices, contracts and              which defines a ‘‘small business concern’’ as a
                                                  Economist (code 19–3011), $74.53                                                                                     business that is independently owned and operated
                                                  Computer and Information Systems Manager
                                                                                                                 regulations that affect rates, charges,
                                                                                                                                                                       and that is not dominant in its field of operation.
                                               (code 11–3021), $91.76                                            classifications, and services.121                     The Small Business Administrations’ regulations at
                                                  Management (code 11–0000), $89.07                                                                                    13 CFR 121.201 define the threshold for a small
                                                                                                                   120 Regulations Implementing the National
                                                  The average hourly cost (salary plus benefits),                                                                      Electric Bulk Power Transmission and Control
                                               weighting all of these skill sets evenly, is $73.23.              Environmental Policy Act of 1969, Order No. 486,      entity (NAICS code 221121) to be 500 employees.
                                               For the calculations here, the Commission rounds                  FERC Stats. & Regs. ¶ 30,783 (1987).                  See 5 U.S.C. 601(3), citing to Section 3 of the Small
                                               it to $73 per hour.                                                 121 18 CFR 380.4(a)(15) (2016).                     Business Act, 15 U.S.C. 632.



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                                               9554                   Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules

                                               discuss. Comments are due April 10,                     List of Subjects in 18 CFR Part 35                    shall be allocated a portion of the total
                                               2017. Comments must refer to Docket                       Electric power rates, Electric utilities,           real-time uplift costs incurred to
                                               No. RM17–2–000, and must include the                    Reporting and recordkeeping                           maintain energy and operating reserve
                                               commenter’s name, the organization                      requirements.                                         requirements in the real-time market
                                               they represent, if applicable, and their                                                                      based on the net contributions of its
                                                                                                         By direction of the Commission.                     deviations to those costs. Within the
                                               address.
                                                                                                         Issued: January 19, 2017.                           congestion management category, costs
                                                  114. The Commission encourages                       Nathaniel J. Davis, Sr.,                              shall be allocated based on whether a
                                               comments to be filed electronically via
                                                                                                       Deputy Secretary.                                     market participant’s deviations on net
                                               the eFiling link on the Commission’s
                                                                                                       Regulatory Text                                       contributed to the real-time congestion
                                               Web site at http://www.ferc.gov. The
                                                                                                                                                             at a given constraint. For the purposes
                                               Commission accepts most standard                          In consideration of the foregoing, the              of real-time uplift allocated to
                                               word processing formats. Documents                      Commission proposes to amend Part 35,                 deviations, a market participant’s
                                               created electronically using word                       Chapter 1, Title 18, Code of Federal                  deviations must be netted hourly. Real-
                                               processing software should be filed in                  Regulations, as follows:                              time uplift allocated to deviations must
                                               native applications or print-to-PDF                                                                           be settled on an hourly basis.
                                               format and not in a scanned format.                     PART 35—FILING OF RATE                                   (ii) Transparency—(A) Uplift
                                               Commenters filing electronically do not                 SCHEDULES AND TARIFFS                                 reporting. Each Commission-approved
                                               need to make a paper filing.                                                                                  independent system operator or regional
                                                                                                       ■ 1. The authority citation for part 35
                                                  115. Commenters that are not able to                 continues to read as follows:                         transmission organization must post two
                                               file comments electronically must send                                                                        reports, at minimum, regarding uplift on
                                               an original of their comments to:                         Authority: 16 U.S.C. 791a–825r, 2601–               a publicly accessible portion of its Web
                                                                                                       2645; 31 U.S.C. 9701; 42 U.S.C. 7101–7352.            site. Such postings shall be made within
                                               Federal Energy Regulatory Commission,
                                               Secretary of the Commission, 888 First                  ■ 2. Amend § 35.28, by adding new                     20 calendar days of the end of each
                                               Street NE., Washington, DC 20426.                       paragraph (g)(11) to read as follows:                 month. First, each Commission-
                                                                                                                                                             approved independent system operator
                                                  116. All comments will be placed in                  § 35.28 Non-discriminatory open access                or regional transmission organization
                                               the Commission’s public files and may                   transmission tariff.
                                                                                                                                                             must post uplift, paid in dollars, and
                                               be viewed, printed, or downloaded                       *      *    *      *    *                             categorized by transmission zone, day,
                                               remotely as described in the Document                      (g) * * *                                          and uplift category. Transmission zone
                                               Availability section below. Commenters                     (11) Uplift allocation and                         shall be defined as the geographic area
                                               on this proposal are not required to                    transparency—(i) Uplift allocation. Each              that is used for the local allocation of
                                               serve copies of their comments on other                 Commission-approved independent                       charges. Transmission zones with fewer
                                               commenters.                                             system operator or regional transmission              than four resources may be aggregated
                                                                                                       organization that allocates the costs of              with a neighboring transmission zone
                                               VIII. Document Availability                             real-time uplift to deviations must                   and reported collectively. If, for any
                                                 117. In addition to publishing the full               allocate such costs only to those market              given monthly report, only one
                                               text of this document in the Federal                    participants whose transactions are                   transmission zone exists and it has
                                               Register, the Commission provides all                   reasonably expected to cause the uplift               fewer than four resources or, if when
                                               interested persons an opportunity to                    costs. For purposes of this allocation,               combined with a neighboring
                                               view and/or print the contents of this                  deviations are megawatt hour                          transmission zone, the combined
                                               document via the Internet through the                   differences between a market                          transmission zones still have fewer than
                                               Commission’s Home Page (http://                         participant’s scheduled deliveries or                 four resources, these transmission zones
                                               www.ferc.gov) and in the Commission’s                   receipts at particular points cleared in              may be omitted from the reporting
                                               Public Reference Room during normal                     the day-ahead market and those                        requirements described in this section.
                                               business hours (8:30 a.m. to 5:00 p.m.                  amounts actually delivered or received                Second, each Commission-approved
                                               Eastern time) at 888 First Street NE.,                  in real-time that are not related to real-            independent system operator or regional
                                               Room 2A, Washington, DC 20426.                          time economic or reliability-related                  transmission organization must post the
                                                                                                       operator dispatch instructions. Costs of              resource name and the total amount of
                                                 118. From the Commission’s Home                       uplift payments must be allocated to at
                                               Page on the Internet, this information is                                                                     uplift paid in dollars aggregated across
                                                                                                       least two distinct categories: System-                the month to each resource that received
                                               available on eLibrary. The full text of                 wide capacity and congestion                          uplift payments within the calendar
                                               this document is available on eLibrary                  management. For purposes of this                      month.
                                               in PDF and Microsoft Word format for                    allocation, each Commission-approved                     (B) Reporting operator-initiated
                                               viewing, printing, and/or downloading.                  independent system operator or regional               commitments. Each Commission-
                                               To access this document in eLibrary,                    transmission organization must                        approved independent system operator
                                               type the docket number excluding the                    distinguish between deviations that                   or regional transmission organization
                                               last three digits of this document in the               help efforts to address system needs and              must post operator-initiated
                                               docket number field.                                    those that harm efforts to address                    commitments in megawatts, categorized
                                                 119. User assistance is available for                 system needs. A market participant’s net              by transmission zone and commitment
                                               eLibrary and the Commission’s Web site                  harmful deviations are its harmful                    reason, on a publicly accessible portion
                                               during normal business hours from the                   deviations less its helpful deviations.               of its Web site as soon as practicable
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                                               Commission’s Online Support at 202–                     Within each uplift category, uplift costs             after the resource has been committed,
                                               502–6652 (toll free at 1–866–208–3676)                  must be allocated to a market                         but no later than four hours after the
                                               or email at ferconlinesupport@ferc.gov,                 participant’s net harmful deviations                  commitment. Transmission zone shall
                                               or the Public Reference Room at (202)                   commensurate with the extent to which                 be defined as a geographic area that is
                                               502–8371, TTY (202) 502–8659. Email                     those deviations harm efforts to address              used for the local allocation of charges.
                                               the Public Reference Room at                            system needs. Within the system-wide                     (C) Transmission constraint penalty
                                               public.referenceroom@ferc.gov.                          capacity category, a market participant               factors. Each Commission-approved


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                                                                               Federal Register / Vol. 82, No. 24 / Tuesday, February 7, 2017 / Proposed Rules                                                           9555

                                               independent system operator or regional                                      procedure, if any, for temporarily                    Note: The following appendix will not be
                                               transmission organization must include,                                      changing the transmission constraint                published in the Code of Federal Regulations.
                                               in its tariff, its transmission constraint                                   penalty factor values. Any procedure for
                                               penalty factor values; the circumstances,                                    temporarily changing transmission                   Appendix: List of Short Names/
                                               if any, under which the transmission                                         constraint penalty factor values must               Acronyms of Commenters
                                               constraint penalty factors can set                                           provide for notice of the change to
                                               locational marginal prices; and the                                          market participants.

                                                                   Short name/acronym                                                                                     Commenter

                                               Appian Way ........................................................           Appian Way Energy Partners, LLC.
                                               CAISO .................................................................       California Independent System Operator Corporation.
                                               DC Energy, Inertia Power, and Vitol ..................                        DC Energy, LLC, Inertia Power, LP, and Vitol Inc.
                                               EEI ......................................................................    Edison Electric Institute.
                                               EPSA ..................................................................       Electric Power Supply Association.
                                               EPSA/IPPNY .......................................................            Electric Power Supply Association and Independent Power Producers of New York.
                                               EPSA/NEPGA .....................................................              Electric Power Supply Association and New England Power Generators Association, Inc.
                                               EPSA/P3 .............................................................         Electric Power Supply Association and PJM Power Providers.
                                               EPSA/Western Power Trading Forum ................                             Electric Power Supply Association and Western Power Trading Forum.
                                               Energy Storage Association ...............................                    Energy Storage Association.
                                               Entergy ................................................................      Entergy Services, Inc. commented on behalf of the Entergy Operating Companies (Entergy Ar-
                                                                                                                               kansas, Inc.; Entergy Louisiana, LLC; Entergy Mississippi, Inc.; Entergy New Orleans, Inc.;
                                                                                                                               and Entergy Texas, Inc.).
                                               Exelon .................................................................      Exelon Corporation.
                                               Financial Marketers Coalition .............................                   Financial Marketers Coalition.
                                               Golden Spread Electric .......................................                Golden Spread Electric Cooperative, Inc.
                                               ISO–NE ...............................................................        ISO New England Inc.
                                               MISO ...................................................................      Midcontinent Independent System Operator, Inc.
                                               MISO Market Monitor .........................................                 Potomac Economics, LLC.
                                               PJM Market Monitor ...........................................                Monitoring Analytics, LLC.
                                               NYISO .................................................................       New York Independent System Operator, Inc.
                                               PJM .....................................................................     PJM Interconnection, L.L.C.
                                               PSEG Companies ...............................................                PSEG Companies (Public Service Electric and Gas Company, PSEG Power LLC and PSEG
                                                                                                                               Energy Resources & Trade LLC).
                                               Public Interest Organizations ..............................                  Public Interest Organizations.
                                               SPP .....................................................................     Southwest Power Pool, Inc.
                                               XO Energy ..........................................................          XO Energy, LLC.



                                               [FR Doc. 2017–02332 Filed 2–6–17; 8:45 am]                                   ADDRESSES:   You may submit comments,               an incorrect docket number in the
                                               BILLING CODE 6717–01–P                                                       identified by docket number and/or                  ADDRESSES  section. The second docket
                                                                                                                            Regulatory Information Number (RIN)                 number referenced in that section, for
                                                                                                                            and title, by any of the following                  submission of public comments, is
                                               DEPARTMENT OF DEFENSE                                                        methods:                                            corrected as: COE–2016–0016.
                                                                                                                               Federal eRulemaking Portal: http://                 Dated: January 31, 2017.
                                               Department of the Army, U.S. Army                                            www.regulations.gov. Follow the
                                                                                                                                                                                Theodore A. Brown,
                                               Corps of Engineers                                                           instructions for submitting comments.
                                                                                                                               Email: WSRULE2016@                               Chief, Policy and Planning Division,
                                                                                                                                                                                Directorate of Civil Works, U.S. Army Corps
                                               33 CFR Part 209                                                              usace.army.mil. Include the docket
                                                                                                                                                                                of Engineers.
                                                                                                                            number, COE–2016–0016, in the subject
                                               [COE–2016–0016]                                                                                                                  [FR Doc. 2017–02415 Filed 2–6–17; 8:45 am]
                                                                                                                            line of the message.
                                               RIN 0710–AA72                                                                   Mail: U.S. Army Corps of Engineers,              BILLING CODE 3720–58–P
                                                                                                                            ATTN: CECC–L, U.S. Army Corps of
                                               Use of U.S. Army Corps of Engineers                                          Engineers, 441 G St. NW., Washington,
                                               Reservoir Projects for Domestic,                                             DC 20314.                                           ENVIRONMENTAL PROTECTION
                                               Municipal & Industrial Water Supply                                             Hand Delivery/Courier: Due to                    AGENCY
                                                                                                                            security requirements, we cannot
                                               AGENCY:  Army Corps of Engineers, DoD.                                                                                           40 CFR Part 180
                                                                                                                            receive comments by hand delivery or
                                               ACTION: Notice of proposed rulemaking;                                       courier.
                                               correction and extension of time for                                                                                             [EPA–HQ–OPP–2015–0032; FRL–9956–86]
                                               public comments.                                                             FOR FURTHER INFORMATION CONTACT:
                                                                                                                            Technical information: Jim Fredericks,              Receipt of Several Pesticide Petitions
                                               SUMMARY:   The U.S. Army Corps of                                            503–808–3856. Legal information:                    Filed for Residues of Pesticide
                                               Engineers (USACE) is correcting a                                            Daniel Inkelas, 202–761–0345.                       Chemicals in or on Various
                                               notice of proposed rulemaking that                                           SUPPLEMENTARY INFORMATION: In                       Commodities
Lhorne on DSK30JT082PROD with PROPOSALS




                                               appeared in the Federal Register of                                          response to requests from multiple                  AGENCY:  Environmental Protection
                                               December 16, 2016 and extending the                                          parties, USACE is extending the time for            Agency (EPA).
                                               comment period on this rulemaking.                                           public comments by 90 days. The date                ACTION: Notice of filing of petitions and
                                               DATES: The comment period for the                                            listed in the DATES section by which                request for comment.
                                               proposed rule published December 16,                                         comments must be received is changed
                                               2016 at 81 FR 91556 is extended until                                        from February 14, 2017 to May 15, 2017.             SUMMARY:  This document announces
                                               May 15, 2017.                                                                Additionally, the document contained                EPA’s receipt of several initial filings of


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Document Created: 2017-02-07 00:27:11
Document Modified: 2017-02-07 00:27:11
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionProposed Rules
ActionNotice of proposed rulemaking.
DatesComments are due April 10, 2017.
ContactStanley Wolf (Technical Information), Office of Energy Policy and Innovation, Federal Energy Regulatory Commission, 888 First Street NE., Washington, DC 20426, (202) 502-6841, [email protected]
FR Citation82 FR 9539 
CFR AssociatedElectric Power Rates; Electric Utilities and Reporting and Recordkeeping Requirements

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