83_FR_18214 83 FR 18134 - Uplift Cost Allocation and Transparency in Markets Operated by Regional Transmission Organizations and Independent System Operators

83 FR 18134 - 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 83, Issue 80 (April 25, 2018)

Page Range18134-18157
FR Document2018-08609

The Federal Energy Regulatory Commission is revising its regulations to improve transparency practices for regional transmission organizations (RTO) and independent system operators (ISO). The Commission requires that each RTO/ISO establish in its tariff: Requirements to report, on a monthly basis, total uplift payments for each transmission zone, broken out by day and uplift category; requirements to report, on a monthly basis, total uplift payments for each resource; requirements to report, on a monthly basis, for each operator-initiated commitment, the size of the commitment, transmission zone, commitment reason, and commitment start time; and the transmission constraint penalty factors used in its market software, as well as the circumstances under which those factors can set locational marginal prices, and any process by which they can be changed. The Commission is withdrawing its proposal to require that each RTO/ISO that currently allocates the costs of real-time uplift to deviations allocate such real-time uplift costs only to those market participants whose transactions are reasonably expected to have caused the real-time uplift costs.

Federal Register, Volume 83 Issue 80 (Wednesday, April 25, 2018)
[Federal Register Volume 83, Number 80 (Wednesday, April 25, 2018)]
[Rules and Regulations]
[Pages 18134-18157]
From the Federal Register Online  [www.thefederalregister.org]
[FR Doc No: 2018-08609]



[[Page 18133]]

Vol. 83

Wednesday,

No. 80

April 25, 2018

Part II





Department of Energy





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Federal Energy Regulatory Commission





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18 CFR Part 35





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

Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / 
Rules and Regulations

[[Page 18134]]


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DEPARTMENT OF ENERGY

Federal Energy Regulatory Commission

18 CFR Part 35

[Docket No. RM17-2-000; Order No. 844]


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

AGENCY: Federal Energy Regulatory Commission.

ACTION: Final rule.

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SUMMARY: The Federal Energy Regulatory Commission is revising its 
regulations to improve transparency practices for regional transmission 
organizations (RTO) and independent system operators (ISO). The 
Commission requires that each RTO/ISO establish in its tariff: 
Requirements to report, on a monthly basis, total uplift payments for 
each transmission zone, broken out by day and uplift category; 
requirements to report, on a monthly basis, total uplift payments for 
each resource; requirements to report, on a monthly basis, for each 
operator-initiated commitment, the size of the commitment, transmission 
zone, commitment reason, and commitment start time; and the 
transmission constraint penalty factors used in its market software, as 
well as the circumstances under which those factors can set locational 
marginal prices, and any process by which they can be changed. The 
Commission is withdrawing its proposal to require that each RTO/ISO 
that currently allocates the costs of real-time uplift to deviations 
allocate such real-time uplift costs only to those market participants 
whose transactions are reasonably expected to have caused the real-time 
uplift costs.

DATES: This rule is effective July 9, 2018.

FOR FURTHER INFORMATION CONTACT: 
Adam Cornelius (Technical Information), Office of Energy Policy and 
Innovation, Federal Energy Regulatory Commission, 888 First Street NE, 
Washington, DC 20426, (202) 502-8314, [email protected].
Katherine Scott (Technical Information), Office of Energy Market 
Regulation, Federal Energy Regulatory Commission, 888 First Street NE, 
Washington, DC 20426, (202) 502-6495, [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: 
Before Commissioners: Kevin J. McIntyre, Chairman; Cheryl A. 
LaFleur, Neil Chatterjee, Robert F. Powelson, and Richard Glick.

                            Table of Contents
 
                                                         Paragraph Nos.
 
I. Introduction......................................                  1
II. Background.......................................                 10
    A. Current RTO/ISO Practices.....................                 12
        1. Reporting Uplift..........................                 13
        2. Reporting Operator-Initiated Commitments..                 17
        3. Transmission Constraint Penalty Factors...                 20
III. Need for Reform.................................                 21
    A. Comments......................................                 23
    B. Determination.................................                 27
IV. Transparency Reforms.............................                 30
    A. Zonal Uplift Report...........................                 36
        1. NOPR Proposal.............................                 36
        2. Comments..................................                 39
        3. Determination.............................                 50
    B. Resource-Specific Uplift Report...............                 63
        1. NOPR Proposal.............................                 63
        2. Comments..................................                 66
        3. Determination.............................                 74
    C. Operator-Initiated Commitments................                 83
        1. NOPR Proposal.............................                 83
        2. Comments..................................                 87
        3. Determination.............................                 99
    D. Transmission Constraint Penalty Factors.......                109
        1. NOPR Proposal.............................                109
        2. Comments..................................                111
        3. Determination.............................                121
    E. Other Comments Requested......................                123
        1. Reporting of Transmission Outages.........                123
        2. Availability of Market Models.............                131
V. Compliance and Implementation Timelines...........                136
    A. Comments......................................                137
    B. Determination.................................                141
VI. Information Collection Statement.................                142
VII. Environmental Analysis..........................                146
VIII. Regulatory Flexibility Act.....................                147
IX. Document Availability............................                149
X. Effective Date and Congressional Notification.....                152
Appendix: List of Short Names/Acronyms of Commenters.
 


[[Page 18135]]

I. Introduction

    1. In this Final Rule, the Federal Energy Regulatory Commission 
(Commission) finds that current regional transmission organization 
(RTO) and independent system operator (ISO) practices with respect to 
reporting uplift payments and operator-initiated commitments,\1\ and 
RTO/ISO tariff provisions regarding transmission constraint penalty 
factors \2\ are insufficiently transparent, resulting in rates that are 
not just and reasonable for the reasons discussed below. To remedy 
these unjust and unreasonable rates, we require, pursuant to section 
206 of the Federal Power Act,\3\ that each RTO/ISO establish in its 
tariff: (1) Requirements to report, on a monthly basis, total uplift 
payments for each transmission zone, broken out by day and uplift 
category (Zonal Uplift Report); (2) requirements to report, on a 
monthly basis, total uplift payments for each resource (Resource-
Specific Uplift Report); (3) requirements to report, on a monthly 
basis, for each operator-initiated commitment, the size of the 
commitment, transmission zone, commitment reason, and commitment start 
time (Operator-Initiated Commitment Report); and (4) the transmission 
constraint penalty factors used in its market software, as well as the 
circumstances under which those factors can set locational marginal 
prices (LMP), and any process by which they can be changed 
(Transmission Constraint Penalty Factor Requirements).
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    \1\ As described below, for the purpose of this rule, the 
Commission defines an operator-initiated commitment as a commitment 
after the day-ahead market for a reason other than minimizing the 
total production costs of serving load.
    \2\ 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.
    \3\ 16 U.S.C. 824e.
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    2. We reach this conclusion for several reasons. RTO/ISO markets 
can be affected by a number of operational challenges such as unplanned 
transmission and generation outages and the need to maintain adequate 
voltage throughout the system. Limitations in the ability of the market 
software to incorporate all reliability considerations can at times 
result in prices that fail to reflect some of these challenges. In such 
situations, certain resources needed to reliably serve load may not 
economically clear the market and RTOs/ISOs must take out-of-market 
actions (i.e., operator-initiated commitments) to ensure system needs 
are met. These actions give rise to uplift costs.
    3. Because out-of-market actions and the resulting uplift costs are 
not reflected in market prices, these costs and the reasons for 
incurring such costs are inherently less transparent. Out-of-market 
actions can at times mask system conditions, which limits the ability 
of competitive electric markets to send appropriate price signals to 
compensate and financially encourage investment in resource attributes 
that respond to system needs. Lack of transparency concerning both 
uplift costs and operator-initiated actions can also limit valuable 
input from stakeholders, for example, during RTO/ISO transmission 
planning processes, or in committees that review RTO/ISO resource 
adequacy. Ensuring system needs are transparent to market participants 
is a critical step in finding cost-effective solutions to the 
operational challenges RTOs/ISOs face to support reliable operations 
and resilience. Reporting information about uplift and operator 
initiated commitments helps ensure these system needs are transparent 
to the marketplace.
    4. Although 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, and is not 
consistently reported across markets. Current reporting practices 
regarding uplift and the reasons for making operator-initiated 
commitments do not provide adequate transparency for stakeholders to 
understand the needs of the system and recognize the resource 
attributes that are required to meet these needs. This lack of 
transparency hinders the ability of market participants to plan for and 
efficiently respond to system needs in a cost-effective manner, 
resulting in rates that are unjust and unreasonable. Improving the 
availability of information about the location and causes of uplift and 
operator-initiated commitments would enhance market participants' 
ability to evaluate the need for, and the value of investment in, 
transmission and generation. Increased transparency could also 
facilitate more informed stakeholder discussions that support capacity 
or transmission planning to address future reliability and resilience 
issues. Additionally, RTO/ISO practices with respect to transmission 
constraint penalty factors can significantly affect clearing prices. 
Improving transparency into such practices would enhance market 
participants' understanding of how energy prices are formed and thus 
would enhance their ability to hedge transactions and respond to market 
signals. Finally, increased transparency into uplift payments, 
operator-initiated commitments, and transmission constraint penalty 
factors will allow market participants to assess and advocate for 
improvements to RTO/ISO practices in these areas. Therefore, we set 
forth transparency requirements for each RTO/ISO in this Final Rule.
    5. We are adopting the transparency proposal in the Notice of 
Proposed Rulemaking (NOPR) \4\ with the following modifications: (1) 
Change the permissible level of zonal aggregation for the Zonal Uplift 
Report; (2) change the timing of the release of the Resource-Specific 
Uplift Report from within twenty calendar days of the end of each month 
to within ninety calendar days from the end of each month; (3) change 
the timing of the release of the Operator-Initiated Commitment Report 
from four hours after the time of the commitment to within thirty 
calendar days of the end of each month; and (4) change the details to 
be reported about each operator-initiated commitment. These changes 
will help address concerns expressed by commenters related to the 
potential disclosure of commercially-sensitive information, the burden 
on RTOs/ISOs of meeting the requirements of this Final Rule, and the 
transparency value of consistent reporting.
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    \4\ Uplift Cost Allocation and Transparency in Markets Operated 
by Regional Transmission Organizations and Independent System 
Operators, 82 FR 9539 (Feb. 7, 2017), FERC Stats. & Regs. ] 32,721, 
at P 82 (2017) (NOPR).
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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.\5\
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    \5\ See, e.g., Price Formation in Energy and Ancillary Services 
Markets Operated by Regional Transmission Organizations and 
Independent System Operators, Order Directing Reports, 153 FERC ] 
61,221, at P 2 (2015) (Order Directing Reports); 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).
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    7. The reforms in this Final Rule primarily address the third price 
formation goal listed above. Uplift payments reflect the portion of the 
cost of reliably serving load that is not

[[Page 18136]]

included in market prices. Operator-initiated commitments are made to 
preserve reliability and can affect both market prices and uplift. RTO/
ISO practices associated with transmission constraint penalty factors, 
which establish the price level and cost of re-dispatch the RTO/ISO is 
willing to incur to relieve congestion on transmission constraints, can 
affect commitments and market prices. Improved transparency into these 
areas will enable market participants to better understand drivers of 
market prices and the extent to which prices reflect the true marginal 
cost of reliably serving load. As noted above, the uplift and operator-
initiated commitment reports will also help market participants align 
their investments in facilities and equipment with the needs of the 
system, thus also addressing the second price formation goal. Finally, 
such investments, as well as market participants' enhanced ability to 
understand and suggest changes to RTO/ISO uplift and commitment 
practices, may ultimately shift some of the cost of serving load out of 
uplift and into market prices. Prices that more accurately reflect the 
cost of serving load have the potential to result in improved market 
efficiency and increased market surplus for consumers and suppliers, 
thus also addressing the first price formation goal. These benefits 
will help to ensure just and reasonable rates.
    8. As discussed below, we require each RTO/ISO to submit a filing 
with the tariff changes needed to implement this Final Rule within 60 
days of the Final Rule's effective date, and we require that tariff 
changes filed in response to this Final Rule become effective no more 
than 120 days after compliance filings are due.
    9. Finally, in the NOPR the Commission also proposed to require 
that each RTO/ISO that currently allocates the costs of real-time 
uplift to deviations allocate such real-time uplift costs only to those 
market participants whose transactions are reasonably expected to have 
caused the real-time uplift costs. As discussed below, we withdraw the 
uplift cost allocation proposal and do not make any requirements 
related to uplift cost allocation in this Final Rule.

II. Background

    10. In November 2015, the Commission issued an order that directed 
each RTO/ISO to report on five price formation topics: Fast-start 
pricing; managing multiple contingencies; look-ahead modeling; uplift 
allocation; and transparency.\6\ The order directed each RTO/ISO to 
file a report providing an update on its current practices and any 
efforts to address issues in the five topic areas, and responding to 
specific questions contained in the order. In the reports filed and 
subsequent comments, RTOs/ISOs and commenters addressed the topic of 
transparency, which is the subject of this Final Rule.
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    \6\ Order Directing Reports, 153 FERC ] 61,221.
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    11. In the instant proceeding, on January 19, 2017, the Commission 
issued a NOPR proposing reforms to improve uplift cost allocation and 
to enhance transparency. As noted above, we withdraw the proposed 
uplift cost allocation reforms. With respect to transparency, the NOPR 
proposed 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 megawatts (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 
changed temporarily.\7\ The Commission also requested comments on 
specific aspects of each requirement.\8\
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    \7\ NOPR, FERC Stats. & Regs. ] 32,721 at P 82.
    \8\ A list of commenters and the abbreviated names used for them 
in this Final Rule appears in the Appendix.
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A. Current RTO/ISO Practices

    12. In the NOPR, the Commission reviewed the current transparency 
practices of each of the RTOs/ISOs,\9\ based largely on the reports 
made by the RTOs/ISOs in response to the Commission's Order Directing 
Reports.\10\ We do so again briefly in this Final Rule.
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    \9\ NOPR, FERC Stats. & Regs. ] 32,721 at PP 59-66.
    \10\ Order Directing Reports, 153 FERC ] 61,221.
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1. Reporting Uplift
    13. 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 uplift reports that are 
generally aggregated across zones and over the month as well as daily 
uplift reports aggregated across their entire systems.\11\ MISO 
provides a number of monthly reports to market participants on 
categories of uplift costs; the reports aggregate the uplift data by 
category and month, and provide historical monthly data for 
comparison.\12\ MISO also posts a Revenue Sufficiency Guarantee \13\ 
Report eight days after the operating day, which includes uplift 
payments by hour, category, and relevant transmission constraint.\14\ 
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 (e.g., start-up costs, minimum 
load costs or energy bid costs).\15\ PJM has recently adopted new rules 
to allow the reporting of daily uplift information by transmission zone 
within seven business days after the end of each month.\16\ SPP reports 
uplift information by category with daily granularity.\17\
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    \11\ ISO-NE Comments at 42; ISO-NE, Report on Price Formation 
Issues, Docket No. AD14-14, at 46-47 (ISO-NE Report); NYISO Comments 
at 5-6; NYISO, Report on Price Formation Issues, Docket No. AD14-14, 
at 56-57, 59 (NYISO Report).
    \12\ MISO, Report on Price Formation Issues, Docket No. AD14-14, 
at 59-60 (MISO Report).
    \13\ Revenue Sufficiency Guarantee is a type of uplift in MISO 
that ensures the recovery of the production and operating reserve 
costs of a resource that has been committed and scheduled by MISO in 
its day-ahead or real-time energy and operating reserve markets. See 
MISO, FERC Electric Tariff, 1.D, Definitions--D (45.0.0); 1.R, 
Definitions--R (48.0.0).
    \14\ MISO Comments at 11-12.
    \15\ See CAISO, Monthly Market Performance Report, http://www.caiso.com/Pages/documentsbygroup.aspx?GroupID=A9180EE4-8972-4F3B-9CB8-21D0809B645E. See also CAISO, Report on Price Formation 
Issues, Docket No. AD14-14, at 56 (CAISO Report).
    \16\ PJM, Business Practice Manual 33; PJM Comments at 11-12.
    \17\ SPP, Report on Price Formation Issues, Docket No. AD14-14, 
at 40 (SPP Report).
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    14. RTO/ISO reporting practices are driven, in part, by the time 
needed to complete the settlement process. For example, ISO-NE and PJM 
report some uplift information within three to five business days based 
on their initial settlement periods, while CAISO provides uplift cost 
information based on its 12-business-day recalculation statement.\18\
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    \18\ CAISO Report at 58; ISO-NE Report at 64-65; PJM, Report on 
Price Formation Issues, Docket No. AD14-14, at 51 (PJM Report).
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    Because of this lag, RTOs/ISOs typically report uplift on a monthly 
basis, aggregated to a zonal or settlement area level.
    15. Most RTOs/ISOs cite confidentiality issues as an additional 
reason for their current reporting practices, particularly in zones 
with few market participants.\19\ Uplift

[[Page 18137]]

information is typically aggregated to avoid publishing information on 
individual resources. All RTOs/ISOs assert that they are prohibited 
from publicly revealing resource-specific data, as specified in their 
confidentiality rules.\20\ Some RTOs/ISOs note that they cannot provide 
information on a more granular basis without changes to their 
confidentiality rules or information policies.\21\
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    \19\ ISO-NE Report at 61, 67; NYISO Report at 60-61; PJM 
Comments at 11; PJM Report at 48; SPP Report at 44.
    \20\ 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.
    \21\ PJM Report at 48; ISO-NE Report at 61.
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    16. Some uplift information is publicly available. For example, all 
public utilities and certain non-public utilities are required to 
report uplift payments in the Commission's Electric Quarterly Report 
(EQR) within 30 days following the end of a quarter. Most EQR filers 
report uplift payments with at least daily granularity. Depending on 
the granularity provided by the filer, and whether the filer reports 
its EQR as a single resource, EQR uplift information can also sometimes 
identify a specific unit and its location. EQR contains a single 
``uplift'' category which does not differentiate between different 
types of uplift (e.g., day-ahead, voltage and local reliability). EQR 
information is available to the public via the Commission's website.
2. Reporting Operator-Initiated Commitments
    17. 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. MISO reports the hourly aggregated economic maximum MWs of 
committed resources by commitment reason and relevant constraint in 
near real-time,\22\ while CAISO reports the daily aggregated megawatt-
hours of exceptional dispatches \23\ (which include operator-initiated 
commitments) by reason several days after the operating day.\24\ 
Throughout the operating day, NYISO posts operational announcements 
that provide 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.\25\
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    \22\ MISO Comments at 16-17.
    \23\ 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.
    \24\ See CAISO, Daily Exceptional Dispatch Report, http://www.caiso.com/market/Pages/DailyExceptionalDispatch/Default.aspx.
    \25\ NYISO Comments at 8 & n.29; NYISO Report at 56-57 and n.32.
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    18. 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 and other 
operator actions organized by market (i.e., day-ahead or real-time), 
trade date, reason, or local area.\26\ CAISO also files a monthly 
report on the frequency and volume of exceptional dispatch, pursuant to 
directives in previous Commission orders.\27\ 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.\28\ 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.\29\ SPP reports monthly the 
MWs of operator-initiated commitments.\30\
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    \26\ CAISO Report at 56.
    \27\ Id. at 56. See also Cal. Indep. Sys. Operator Corp., 131 
FERC ] 61,100 (2010) (clarifying the reporting timeline for 
reporting exceptional dispatches).
    \28\ ISO-NE Report at 60.
    \29\ Id. at 61-62.
    \30\ SPP Report at 40.
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    19. PJM states that, although its confidentiality provisions 
prevent it from reporting individual operator-initiated commitments in 
real-time, it 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.\31\ ISO-NE also states that its confidentiality provisions 
prohibit reporting of operator-initiated commitments in real-time.
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    \31\ PJM Report at 49-50.
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3. Transmission Constraint Penalty Factors
    20. 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 described 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.\32\ The penalty factors are 
typically 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. Although these penalty 
factors can have significant impacts on prices, some RTOs/ISOs do not 
file the penalty factors with the Commission or make public any 
temporary changes to them. Specifically, PJM and ISO-NE do not include 
transmission constraint penalty factors in their respective tariffs, 
but the other RTOs/ISOs do.\33\ Further, MISO is the only RTO/ISO that 
details in its tariff how transmission constraint penalty factors are 
changed temporarily.\34\
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    \32\ Transmission constraint penalty factors create a cap on the 
shadow price of a transmission constraint. See Potomac Economics 
Comments, Docket No. AD14-14-000, at 20-21 (Feb. 24, 2015).
    \33\ CAISO, MRTU Tariff 27.4.3.1-27.4.3.2; MISO, FERC Electric 
Tariff, Schedule 28A; NYISO Tariffs, NYISO Markets and Services 
Tariff 1.20; SPP, OATT, Sixth Revised Volume No. 1, Attachment AE, 
8.3.2, Addendum 1.
    \34\ MISO, FERC Electric Tariff, Schedule 28A; MISO Comments at 
19.
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III. Need for Reform

    21. In the NOPR, the Commission preliminarily found that some 
existing RTO/ISO practices of reporting uplift and operator-initiated 
commitments are insufficiently transparent and may result in unjust and 
unreasonable rates. Specifically, the Commission stated that, 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. The Commission posed, as an example, 
reports that aggregate uplift payments over the month, which can 
obscure daily trends that allow market participants to evaluate the 
effectiveness of current operating practices of RTOs/ISOs. The 
Commission stated that this lack of transparency hinders the ability of 
market participants to plan and efficiently respond to system needs. 
The Commission reasoned that improving the availability of information 
about the location and causes of uplift and operator-initiated 
commitments could allow market participants to evaluate the need for 
and the value of investment in transmission and generation, as well as 
assess operator-initiated commitment practices and raise any issues of 
concern through the stakeholder process. The Commission posed, as an 
example, the scenario of releasing information about

[[Page 18138]]

uplift incurred to address a local reliability issue. This information, 
the Commission reasoned, could potentially incent market participants 
to advocate for changes to the RTO's/ISO's operational procedures or to 
undertake investments that could resolve the local reliability issue 
more efficiently. The Commission further reasoned that, by helping to 
incent appropriate market responses to system needs, increased 
transparency could improve market efficiency, and could ultimately 
reduce the level of uplift, thereby resulting in rates that are just 
and reasonable.\35\
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    \35\ NOPR, FERC Stats. & Regs. ] 32,721 at PP 77-79.
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    22. The Commission also preliminarily found that a lack of 
transparency with respect to transmission constraint penalty factors 
may result in unjust and unreasonable rates. Specifically, the 
Commission stated this lack of transparency may make it difficult for 
market participants to hedge transactions appropriately or to 
effectively assess RTO/ISO changes to transmission constraint penalty 
factors and raise concerns through the stakeholder process.\36\
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    \36\ Id. P 80.
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A. Comments

    23. Several commenters agree with the Commission's preliminary 
finding in the NOPR that transparency reform is needed. Appian Way 
states that greater transparency will allow issues to be resolved more 
quickly and efficiently in the contexts of enforcement and stakeholder 
advocacy.\37\ ELCON states that uplift payments and the reasons behind 
them are not currently transparent, and that transparency is essential 
no matter the size of the uplift or the cause.\38\ ELCON cites analysis 
from an August 2014 Commission Staff paper that outlined the potential 
benefits of additional transparency.\39\ Competitive Suppliers state 
that they strongly support the proposed transparency provisions, and 
assert that increased transparency could lead to reductions in 
uplift.\40\ R Street Institute states that price formation visibility 
in energy and ancillary services markets is very important for 
efficient market functionality and comments that each of the 
Commission's proposed requirements is reasonable.\41\ Exelon notes that 
transparency around uplift and the actions that cause uplift is an 
important step to minimizing system uplift costs, and that by allowing 
visibility into the causes, location, and frequency of uplift payments, 
market participants will have the information necessary to advocate 
effectively for improvements to the RTO/ISO operational procedures and 
market rules and, more importantly, to discover and invest in cost-
saving opportunities.\42\ Financial Marketers Coalition state that 
transparency is critical to a well-functioning organized market because 
it is the key to proper price signals.\43\
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    \37\ Appian Way Comments at 1, 8.
    \38\ ELCON Comments at 4.
    \39\ Id. at 10 (citing FERC, Staff Analysis of Uplift in RTO and 
ISO Markets, Docket No. AD14-14, at 28 (2014), https://www.ferc.gov/legal/staff-reports/2014/08-13-14-uplift.pdf (Staff Analysis of 
Uplift)).
    \40\ Competitive Suppliers Comments at 8.
    \41\ R Street Institute Comments at 5-6.
    \42\ Exelon Comments at 9.
    \43\ Financial Marketers Coalition Comments at 36-37.
---------------------------------------------------------------------------

    24. Several commenters express general support for the proposed 
transparency reforms, but do not comment in-depth on the need for 
reform.\44\ Several other commenters acknowledge a need for reform, but 
are reserved in expressing support. APPA and NRECA state that they have 
long supported additional transparency in the RTO/ISO markets and do 
not oppose the proposed requirements, but they caution the Commission 
not to overstate any potential outcomes, such as incenting market 
participants to advocate for changes to operational procedures or 
incenting investments. They add, however, that there is still value in 
making the information available.\45\ MISO Transmission Owners state 
that enabling market participants to gain additional information 
regarding the causes, frequency, and costs of out-of-market actions and 
associated uplift costs will enhance market efficiency.\46\ But they 
strongly oppose requiring reporting of resource-specific information 
related to uplift payments, stating that such reporting would have an 
anti-competitive effect on the market, and would work counter to the 
Commission's transparency goals articulated in the NOPR.\47\ Potomac 
Economics states that, in general, it supports transparency. However, 
Potomac Economics asserts that immediate release of uplift information 
is not important for transparency because uplift is a settlement 
process.\48\ Several commenters raise concerns about other specific 
elements of the proposal but do not generally oppose the proposed 
transparency requirements.\49\
---------------------------------------------------------------------------

    \44\ Golden Spread Comments at 11-12; MISO Comments at 2; NYISO 
Comments at 5, 12; PJM Comments at 11; PJM Market Monitor Comments 
at 9; Potomac Economics Comments at 11, 13; SPP Market Monitor 
Comments at 3.
    \45\ APPA and NRECA Comments at 12-13.
    \46\ MISO Transmission Owners Comments at 5.
    \47\ Id. at 6-11.
    \48\ Potomac Economics Comments at 11.
    \49\ EEI Comments at 6-10; ISO-NE Comments at 42; PJM Market 
Monitor Comments at 9; SPP Comments at 4-5.
---------------------------------------------------------------------------

    25. CAISO states that it supports greater market transparency but 
argues that its existing reporting practices on uplift payments and 
exceptional dispatch provide sufficient transparency, and that 
additional reporting would be overly burdensome and problematic for 
CAISO.\50\
---------------------------------------------------------------------------

    \50\ CAISO Comments at 2-3.
---------------------------------------------------------------------------

    26. The Commission also proposed in the NOPR to require that each 
RTO/ISO that currently allocates the costs of real-time uplift to 
deviations allocate such real-time uplift costs only to those market 
participants whose transactions are reasonably expected to have caused 
the real-time uplift costs. Although some commenters support the 
proposed uplift allocation reforms,\51\ others broadly oppose the 
proposed reforms.\52\ Still others, while not expressing outright 
opposition, raise significant concerns about whether a generic approach 
to the issue is merited, or find flaws in major elements of the uplift 
allocation proposal.\53\
---------------------------------------------------------------------------

    \51\ See, e.g., Appian Way Comments at 3-7; Direct Energy 
Comments at 1-10; Diversified Trading/eXion Energy Comments at 4-5; 
EEI Comments at 3-6; ELCON Comments at 5-9; Financial Marketers 
Coalition Comments at 17-36; Golden Spread Comments at 6-10; MISO 
Transmission Owners Comments at 5; Potomac Economics Comments at 3-
10; XO Energy Comments at 3-53; R Street Institute Comments at 2-4.
    \52\ See, e.g., CAISO Comments at 3-10; Calpine Comments at 2-7; 
ISO-NE Comments at 4-41; PJM Comments at 2-10; PJM Market Monitor 
Comments at 1-9; SPP Comments at 2-3; SPP Market Monitor Comments at 
2-3.
    \53\ See, e.g., CAISO Market Monitor Comments at 1-10; Exelon 
Comments at 4-7; IRC Comments at 2-6; PG&E Comments at 3-6; TAPS 
Comments at 2-8.
---------------------------------------------------------------------------

B. Determination

    27. Based on our analysis of the record in this proceeding, we 
adopt the preliminary findings related to transparency in the NOPR and 
conclude that the existing RTO/ISO practices of reporting uplift, 
operator-initiated commitments, and transmission constraint penalty 
factors are insufficiently transparent, resulting in rates that are 
unjust and unreasonable. We find that the current reporting on uplift 
is insufficient because no RTO/ISO currently reports uplift on a 
resource-specific basis. Some RTOs/ISOs do not report uplift by zone, 
and some do not report in a machine-readable format. Additionally, 
reporting on operator-initiated commitments is insufficient because 
some RTOs/ISOs do not report the reasons for these commitments, the 
zones in which the

[[Page 18139]]

commitments are made, or information about the size of the system needs 
for which resources are committed. Finally, some RTOs/ISOs do not 
include transmission constraint penalty factor values in their tariffs, 
and most do not include practices related to the use of transmission 
constraint penalty factors in their tariffs. This Final Rule will 
remedy these deficiencies and is therefore necessary to achieve a level 
of transparency that will result in just and reasonable rates.
    28. As described above, the transparency proposal received a broad 
level of support from commenters. CAISO is the singular commenter to 
oppose the proposed transparency reforms outright. CAISO states that 
its reporting practices are sufficient and that the burden of 
additional reporting would outweigh the benefits of the proposed 
reforms. As explained below, we disagree that existing transparency 
practices are sufficient. We do, however, modify the proposed 
transparency requirements to reduce the potential burden of the reforms 
and to address commenters' other concerns including the potential 
disclosure of commercially-sensitive information and the transparency 
value of consistent reporting. These modifications are discussed below 
in the subsections dealing with each requirement.
    29. Based on our analysis of the record in this proceeding, we 
decline to adopt the preliminary finding related to uplift cost 
allocation in the NOPR. We continue to believe that uplift should 
ideally be allocated to those market participants whose transactions 
caused the uplift and that allocations of uplift costs should avoid 
penalizing behavior that can improve price formation. That said, some 
commenters raised substantial concerns about the uplift cost allocation 
reforms proposed in the NOPR. They expressed concern about the 
application of the NOPR proposal to certain RTOs/ISOs in light of the 
reasons for uplift in these markets, and whether certain RTOs/ISOs 
would be able to implement the generic uplift cost allocation reforms 
proposed in the NOPR. We find those concerns sufficiently persuasive to 
decline to take generic action at this time. Accordingly, we withdraw 
the NOPR proposal to require that each RTO/ISO that currently allocates 
the costs of real-time uplift to deviations allocate such real-time 
uplift costs only to those market participants whose transactions are 
reasonably expected to have caused the real-time uplift costs.

IV. Transparency Reforms

    30. Having concluded that the existing transparency practices 
result in rates that are not just and reasonable, section 206 of the 
Federal Power Act requires that the Commission determine the practices 
that will result in rates that are just and reasonable.\54\ We direct 
each RTO/ISO to establish in its tariff the following three 
requirements related to uplift reporting and one requirement related to 
transmission constraint penalty factors.
---------------------------------------------------------------------------

    \54\ 16 U.S.C. 824e.
---------------------------------------------------------------------------

    31. Each RTO/ISO must post a monthly Zonal Uplift Report of all 
uplift, paid in dollars, and categorized by transmission zone, day, and 
uplift category. We define transmission zone as a geographic area that 
is used for the local allocation of charges, such as a load zone that 
is used to settle charges for energy. Transmission zones with fewer 
than four resources may be aggregated with one or more neighboring 
transmission zones, until each aggregated zone has at least four 
resources, and reported collectively. This report must be posted in 
machine-readable format on a publicly-accessible portion of the RTO's/
ISO's website within 20 calendar days of the end of each month.
    32. Each RTO/ISO must post a monthly Resource-Specific Uplift 
Report containing the resource name and total amount of uplift paid in 
dollars aggregated across the month to each resource that received 
uplift payments. This report must be posted in machine-readable format 
on a publicly-accessible portion of the RTO's/ISO's website within 90 
calendar days of the end of each month.
    33. Each RTO/ISO must post a monthly Operator-Initiated Commitment 
Report listing the commitment size, transmission zone, commitment 
reason, and commitment start time of each operator-initiated 
commitment. We define an operator-initiated commitment as a commitment 
made after the day-ahead market for a reason other than minimizing the 
total production costs of serving load. Commitment reasons shall 
include, but are not limited to, system-wide capacity, constraint 
management, and voltage support. This report must be posted in machine-
readable format on a publicly accessible portion of the RTO's/ISO's 
website within 30 calendar days of the end of each month.
    34. Each RTO/ISO must follow the Transmission Constraint Penalty 
Factor requirements to include, in its tariff, its transmission 
constraint penalty factor values; the circumstances, if any, under 
which the transmission constraint penalty factors can set LMPs; 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 as soon as practicable.
    35. The Zonal Uplift Report is discussed in section IV.A. The 
Resource-Specific Uplift Report is discussed in section IV.B. The 
Operator-Initiated Commitment Report is discussed in section IV.C. The 
Transmission Constraint Penalty Factor Requirements are discussed in 
section IV.D.

A. Zonal Uplift Report

1. NOPR Proposal
    36. In the NOPR, the Commission proposed to require each RTO/ISO to 
post a report of the uplift paid in dollars and categorized by 
transmission zone, day, and uplift category. The Commission proposed to 
define transmission zone as the geographic area that is used for the 
local allocation of charges. The Commission proposed to allow 
transmission zones with fewer than four resources to be aggregated with 
a neighboring zone and reported collectively. The Commission further 
proposed to allow RTOs/ISOs to omit a transmission zone from reporting 
in a given month if it is the only zone and contains fewer than four 
resources or if, when combined with a neighboring transmission zone, 
the combined zones still have fewer than four resources. The Commission 
proposed to require that each RTO/ISO post the report on a publicly 
accessible portion of its website within 20 calendar days of the end of 
each month.\55\
---------------------------------------------------------------------------

    \55\ NOPR, FERC Stats. & Regs, ] 32,721 at Regulatory Text.
---------------------------------------------------------------------------

    37. The Commission reasoned that with more granular information on 
locations, amounts, and types of uplift, market participants would be 
able to better evaluate possible solutions to reduce the incurrence of 
uplift.\56\ In proposing to allow RTOs/ISOs to aggregate and 
collectively report transmission zones with fewer than four resources 
and to exempt from reporting aggregated zones with fewer than four 
resources, the Commission sought to balance the benefits of greater 
transparency with concerns about the potential disclosure of 
commercially-

[[Page 18140]]

sensitive information.\57\ In proposing a 20-day maximum reporting lag, 
the Commission sought to allow RTOs/ISOs sufficient time to prepare 
uplift data for publication after completion of their settlement 
windows, which vary among RTOs/ISOs.\58\
---------------------------------------------------------------------------

    \56\ Id. P 84.
    \57\ Id. PP 87-89.
    \58\ Id. P 88.
---------------------------------------------------------------------------

    38. The Commission requested comments regarding: (1) The proposed 
definition of transmission zone, including the appropriate level of 
geographic granularity; \59\ (2) the timeframe for releasing the report 
after the end of each month; \60\ and (3) the proposed requirement for 
a daily breakdown of uplift categories by charge code, including any 
difficulties related to such reporting and whether different 
categorizations would be more useful.\61\
---------------------------------------------------------------------------

    \59\ Id. P 85.
    \60\ Id. P 86.
    \61\ Id. P 86.
---------------------------------------------------------------------------

2. Comments
    39. Numerous commenters support the proposed requirement for RTOs/
ISOs to report daily uplift payments by transmission zone and uplift 
category.\62\ ELCON asserts that uplift payments inherently lack 
transparency because they are not included in market prices, and that 
increased information could promote the identification of system needs 
and facilitate investment.\63\ Designated Marketers state that market 
participants lack information necessary to invest in generation, 
transmission, or demand response that could prevent uplift.\64\ 
Diversified Trading/eXion Energy, Exelon, and Golden Spread all argue 
that additional information on the causes of uplift will also allow 
market participants to evaluate RTO/ISO uplift practices and raise 
concerns through stakeholder processes.\65\ While sympathetic to 
confidentiality concerns, Competitive Suppliers assert that each RTO/
ISO can provide more information on the causes of uplift, and point to 
NYISO's reporting practices as an example demonstrating that increased 
transparency can be achieved without compromising confidentiality.\66\ 
Competitive Suppliers and Financial Marketers Coalition assert that the 
proposed uplift report will ensure consistent disclosure of uplift 
information among RTOs/ISOs.\67\
---------------------------------------------------------------------------

    \62\ Appian Way Comments at 8; AWEA Comments at 10; Brookfield 
Comments at 2; Calpine Comments at 8; Competitive Suppliers Comments 
at 9; Designated Marketers Comments at 5; Direct Energy Comments at 
10; Diversified Trading/eXion Energy Comments at 5; ELCON Comments 
at 9-10; Exelon Comments at 9; Financial Marketers Coalition 
Comments at 38; Golden Spread Comments at 11-12; PJM Comments at 11; 
PJM Market Monitor Comments at 9; R Street Institute Comments at 5; 
SPP Market Monitor Comments at 3; TAPS Comments at 8; XO Energy 
Replacement Comments at 1, 34.
    \63\ ELCON Comments at 9.
    \64\ Designated Marketers Comments at 5.
    \65\ Diversified Trading/eXion Energy Comments at 5; Exelon 
Comments at 9; Golden Spread Comments at 12.
    \66\ Competitive Suppliers Comments at 9.
    \67\ Id. at 9; Financial Marketers Coalition Comments at 38.
---------------------------------------------------------------------------

    40. Other commenters either do not support the proposed zonal 
uplift report requirement \68\ or state that they support the goals of 
improved transparency into RTO/ISO uplift costs but raise concerns 
about specific elements of the proposed report,\69\ as discussed below.
---------------------------------------------------------------------------

    \68\ CAISO Comments at 12-13.
    \69\ EEI Comments at 6; MISO Transmission Owners Comments at 5-
6; NYISO Comments at 5.
---------------------------------------------------------------------------

a. Zonal Definition
    41. Responding to the Commission's request for comment on the 
proposed definition of ``transmission zone'' as a geographic area that 
is used for the local allocation of charges,\70\ several RTOs/ISOs 
provide descriptions of the geographic granularity of their current 
reporting. ISO-NE states that it reports uplift based on how costs are 
allocated: Uplift allocated at the system level is reported on a 
system-wide basis; uplift allocated regionally is reported regionally. 
ISO-NE states that it also reports uplift by Reliability Region, which 
are equal to load zones used in energy settlement. ISO-NE believes it 
complies with the NOPR proposal, but requests that the Commission 
clarify that RTOs/ISOs may propose to report uplift costs for regions 
that differ from ``transmission zone,'' if appropriate.\71\ PJM states 
that it currently reports uplift by transmission zone and supports the 
proposed definition as long as it can use its current zones.\72\ MISO 
states that it reports uplift differently depending on the uplift 
category. For uplift incurred to manage transmission constraints, MISO 
reports by constraint. MISO reports voltage and local reliability 
uplift by transmission interface and MISO region (i.e., North, South, 
and Central). MISO argues that a lesser degree of geographic 
granularity is appropriate to mask ``transmission zones'' with few 
market participants. MISO states that it supports the proposed 
definition.\73\ NYISO notes that it allocates uplift by Transmission 
District subzones.\74\
---------------------------------------------------------------------------

    \70\ NOPR, FERC Stats. & Regs. ] 32,721 at P 85.
    \71\ ISO-NE Comments at 42-43.
    \72\ PJM Comments at 11.
    \73\ MISO Comments at 11-12.
    \74\ NYISO Comments at 6. NYISO explains that ``subzones'' are 
identified by investor-owned transmission owner service territories 
within each load zone, which can span more than one load zone.
---------------------------------------------------------------------------

    42. Other commenters generally differ on the level of geographic 
granularity that should be reported. MISO Transmission Owners state 
that the proposed definition of ``transmission zone'' is unclear and 
could be susceptible to multiple interpretations. MISO Transmission 
Owners assert that the Commission should direct each RTO/ISO to develop 
a definition of transmission zone through its stakeholder process that 
considers regional needs and ensures that all zones are large enough to 
ensure that resource-specific uplift payments cannot be calculated 
based on daily uplift payment reports.\75\ Several commenters argue for 
more granular reporting.\76\ R Street Institute states that uplift 
reporting at the sub-zonal level would be useful because causes can 
vary within a zone, particularly with respect to transmission 
congestion, but notes that more granular reporting may lead to 
confidentiality concerns and opportunities for collusion.\77\ XO Energy 
argues that the uplift data should be as granular as possible and that 
aggregation into large regions is not as useful.\78\ Competitive 
Suppliers assert that the Commission's proposed reporting by 
transmission zone should allay any confidentiality concerns.\79\
---------------------------------------------------------------------------

    \75\ MISO Transmission Owners Comments at 11-12.
    \76\ Financial Marketers Coalition Comments at 39; R Street 
Institute Comments at 5; XO Energy Replacement Comments at 34.
    \77\ R Street Institute Comments at 5.
    \78\ XO Energy Replacement Comments at 34.
    \79\ Competitive Suppliers Comments at 9.
---------------------------------------------------------------------------

    43. Commenters also differ on the proposal to allow RTOs/ISOs to 
aggregate and collectively report uplift in transmission zones with 
fewer than four resources.\80\ NYISO supports the Commission's proposal 
to allow RTOs/ISOs to aggregate zones because the reporting of daily 
uplift payments by zone could, under some circumstances, allow 
competitors to deduce a resource's operating costs and gain a 
competitive advantage. However, NYISO seeks clarification on whether 
the rule references the total number of resources in the zone or the 
total number of resources in the zone that receive uplift payments in a 
given day.\81\ MISO Transmission Owners and NYISO argue that the 
aggregation should be based on the number of resources receiving uplift 
in order to protect confidentiality and avoid anti-competitive behavior 
concerns.\82\ MISO

[[Page 18141]]

Transmission Owners also note that the Commission did not explain why 
four is the appropriate number of resources on which to base the 
aggregation.\83\ PJM and the PJM Market Monitor oppose the proposal to 
aggregate zones with fewer than four resources because the number of 
resources in a zone that receive uplift could change from month to 
month, resulting in inconsistent reporting, increased complexity, and 
decreased transparency.\84\ PJM asserts that its current practice of 
reporting by zone, even if only one resource in a zone receives uplift, 
provides sufficient transparency while protecting market sensitive 
information.\85\ EEI seeks clarification as to whether, for aggregation 
purposes, a resource is defined as an individual unit within a plant or 
the entire plant, noting that the former definition may not provide 
sufficient confidentiality under certain circumstances.\86\
---------------------------------------------------------------------------

    \80\ NOPR, FERC Stats. & Regs. ] 32,721 at P 89.
    \81\ NYISO Comments at 6-7.
    \82\ MISO Transmission Owners Comments at 12; NYISO Comments at 
7.
    \83\ MISO Transmission Owners Comments at 12.
    \84\ PJM Comments at 12; PJM Market Monitor Comments at 9-10.
    \85\ PJM Comments at 12.
    \86\ EEI Comments at 8.
---------------------------------------------------------------------------

b. Categories
    44. As noted above, numerous commenters provide general support for 
the proposed zonal uplift report, including the proposed requirement to 
report by uplift category. Three RTOs/ISOs state that they already 
report uplift by category. NYISO states that it reports uplift cost on 
a monthly basis by uplift cost category in its Operations Performance 
Metrics Monthly Reports.\87\ MISO states that its Revenue Sufficiency 
Guarantee Report already breaks out uplift payment by category, which 
includes certain charge types as long as any market participant 
specific data is not apparent. MISO requests that the Commission 
consider the risks of unmasking aggregate data when contemplating a 
final rule requiring a daily breakdown of uplift categories by charge 
code.\88\ ISO-NE states that its existing reports break out costs for 
its established uplift categories and therefore believes that it would 
comply with this provision.\89\ PJM seeks clarification on the 
definition of charge code. PJM states that it currently indicates 
market participants' uplift charges by billing line item, and that if 
this is what the Commission means by ``charge code,'' it does not 
object to continuing this practice.\90\ Brookfield states that uplift 
categories based on the cause for committing units out-of-merit would 
help identify market reforms to reduce the need for uplift 
payments.\91\ XO Energy asserts that aggregating data into large 
categories reduces its usefulness.\92\
---------------------------------------------------------------------------

    \87\ NYISO Comments at 6.
    \88\ MISO Comments at 11.
    \89\ ISO-NE Comments at 42.
    \90\ PJM Comments at 12.
    \91\ Brookfield Comments at 2.
    \92\ XO Energy Replacement Comments at 34.
---------------------------------------------------------------------------

c. Timing and Burden
    45. Several RTOs/ISOs discuss their existing uplift reporting 
practices and timing, as well as the level of additional burden that 
would be required to meet the proposed requirements. ISO-NE states that 
its existing reports appear to satisfy most of the proposed 
requirements and that implementation of any new requirements should be 
relatively simple. ISO-NE believes that 20 days is sufficient time for 
monthly uplift reporting.\93\ NYISO states that while it already 
reports uplift costs by category on a monthly basis, it would need to 
revise its processes for developing and posting its report, including 
posting in a machine-readable format.\94\ MISO states that its daily 
uplift report that is posted eight days after the operating day and 
broken out by hour, category, and transmission constraint provides 
sufficient information on areas that need transmission upgrades and 
supply resources.\95\ PJM states that its current uplift reports 
provide more details, such as totals by type of uplift credit, than 
those proposed by the Commission and are posted within seven business 
days of the end of each month. PJM consequently requests, and Calpine 
concurs, that it may continue to post the additional details and that 
the proposed timeline be a minimum standard.\96\ CAISO states that it 
already provides significant transparency on uplift payments on a 
monthly basis. CAISO argues that the proposed requirements would be 
costly to implement and could interfere with other initiatives. CAISO 
further asserts that the proposed requirement to post uplift payment 
data within 20 days of the end of the month is unreasonable, given 
CAISO's existing reporting requirements and the verification necessary 
to ensure accurate reporting. CAISO requests that, if the Commission 
were to impose these reporting requirements, it be allowed to include 
the requested information in the monthly reports it already produces 
and posts at the end of the month following the month of reported 
data.\97\
---------------------------------------------------------------------------

    \93\ ISO-NE Comments at 43.
    \94\ NYISO Comments at 5-6.
    \95\ MISO Comments at 11.
    \96\ Calpine Comments at 8; PJM Comments at 13.
    \97\ CAISO Comments at 12-13.
---------------------------------------------------------------------------

    46. XO Energy responds to several of CAISO's arguments. It notes 
that CAISO's current uplift reports contain only charts, with no 
mechanism to extract the raw data.\98\ XO Energy generally asserts that 
uplift should be reported at the same time it is settled and 
specifically points out that CAISO settles uplift three days after the 
operating day, and therefore should be able to post the uplift data 
within 20 days of the end of the month.\99\ XO Energy suggests that if 
the proposed detailed reports are too time-consuming to produce 
quickly, RTOs/ISOs should post a simple spreadsheet on their website 
while their systems are being updated.\100\
---------------------------------------------------------------------------

    \98\ XO Energy Reply Comments at A-2.
    \99\ XO Energy Replacement Comments at 34; XO Energy Reply 
Comments at A-3.
    \100\ XO Energy Replacement Comments at 34.
---------------------------------------------------------------------------

d. Other Issues
    47. Direct Energy requests that the Commission clarify that the 
transparency provisions apply to all uplift costs, not just those 
resulting in allocations to deviations from day-ahead schedules.\101\
---------------------------------------------------------------------------

    \101\ Direct Energy Comments at 10.
---------------------------------------------------------------------------

    48. EEI and MISO Transmission Owners assert that the proposed 
report would primarily benefit market participants, so in order to 
protect market participants' confidentiality, the information should be 
posted on a password-protected portion of an RTO's/ISO's website, 
rather than made publicly available.\102\ Designated Marketers, on the 
other hand, support the proposed requirement that RTOs/ISOs post the 
uplift information in a machine-readable format on an accessible 
portion of the RTO/ISO website. Designated Marketers argue that 
information that is not machine-readable can reduce transparency by 
inhibiting data processing and may disadvantage those that do not have 
access to electronic versions of the data through other channels.\103\
---------------------------------------------------------------------------

    \102\ EEI Comments at 7; MISO Transmission Owners Comments at 
13.
    \103\ Designated Marketers Comments at 8.
---------------------------------------------------------------------------

    49. Exelon suggests that, in addition to the proposed reporting 
requirements, the Commission also require RTOs/ISOs to submit a one-
time report covering the years 2012 through 2016 that identifies uplift 
categories and provide the aggregate uplift cost associated with each 
category.\104\
---------------------------------------------------------------------------

    \104\ Exelon Comments at 9-10.
---------------------------------------------------------------------------

3. Determination
    50. We adopt the proposal that each RTO/ISO report, in the Zonal 
Uplift Report, the total daily uplift payments

[[Page 18142]]

in dollars in each category paid to the resources in each transmission 
zone, subject to modifications and clarifications discussed below. We 
find that current RTO/ISO practices do not provide sufficient 
transparency regarding uplift payments. Because uplift payments are not 
included in publicly available market prices, they inherently lack 
transparency and must be reported separately to show the cost of 
serving load and maintaining a reliable electric system. As stated in 
the NOPR, access to information on uplift payments may allow market 
participants to evaluate possible solutions to reduce the incurrence of 
uplift.\105\ We find that the basis for this requirement, as outlined 
in the NOPR, remains compelling. The Zonal Uplift Report will provide 
granular information about the location, timing, and causes of uplift. 
Such information will facilitate more informed stakeholder discussions 
that support planning processes, improve the ability of market 
participants to raise concerns with RTO/ISO uplift payments, and 
support cost-effective solutions to system needs by allowing market 
participants to make more informed investment decisions. Over the long 
term, improved RTO/ISO practices and additional investment may lead to 
reduced uplift payments and increased market efficiency. PJM's recent 
report summarizing market outcomes during the December 28, 2017-January 
7, 2018 cold snap provides an example of timely reporting of uplift 
cost information. PJM's report identifies uplift cost by category, by 
day, and by resource type, identifying the days when specific uplift 
categories were greatest.\106\ PJM uses these data to suggest potential 
areas for improvement. We note that the report was issued February 26, 
2018, less than two months after the end of the cold weather events. 
The uplift data provided in the report, which is consistent with the 
data required in this Final Rule, illustrates the type of information 
that market participants and interested stakeholders could use to 
understand how RTO/ISO markets operate during stressful system 
conditions and provide a basis for a stakeholder discussion about 
potential market reforms. The requirements of this Final Rule will 
ensure that market participants have access to uplift information in a 
consistent format on an ongoing basis.
---------------------------------------------------------------------------

    \105\ NOPR, FERC Stats. & Regs. ] 32,721 at PP 78, 84.
    \106\ PJM, PJM Cold Snap Performance, Dec. 28, 2017 to Jan. 7, 
2018, 27-30 (Feb. 26, 2018), http://www.pjm.com/-/media/library/reports-notices/weather-related/20180226-january-2018-cold-weather-event-report.ashx (PJM Cold Snap Performance Report).
---------------------------------------------------------------------------

    51. We address commenters' concerns regarding the Zonal Uplift 
Report below.
    52. We adopt the definition proposed in the NOPR of ``transmission 
zone'' as a geographic area that is used for the local allocation of 
charges, such as a load zone that is used to settle charges for energy. 
We find that this level of geographic reporting will improve 
transparency by providing more specific information about the location 
of system needs. For instance, understanding that a particular category 
of uplift is concentrated in a limited area could provide information 
about the nature of the reliability need or could inform discussions 
about uplift cost allocation.
    53. Some commenters argue that RTOs/ISOs should be permitted to 
define transmission zones more broadly because daily uplift payments in 
combination with other public information could be used to derive a 
resource's energy offer or cost information, which some characterize as 
confidential because it is commercially sensitive. Commenters assert 
that the revelation of cost or offer data could lead to collusion or 
gaming. We recognize that it may be possible, under specific 
circumstances, to deduce an individual resource's daily uplift payments 
by using the information provided in the Zonal Uplift Report and 
Resource-Specific Uplift Report. For instance, if the Resource-Specific 
Uplift Report makes clear that only one resource within a zone has 
received uplift during a given month, and if that resource has only one 
generating unit, then the Zonal Uplift Report would reveal the 
resource's daily uplift payments. This information could be used with 
knowledge of the resource's output and publicly-available data on LMPs 
to estimate the resource's energy offer or cost.\107\ We understand 
commenters' concern to be that if a resource's offer or costs are 
revealed, another resource owner could increase its own offer above its 
costs in a manner that would be inconsistent with a competitive market.
---------------------------------------------------------------------------

    \107\ We note that such estimates may be imprecise, as they 
would likely rely on additional assumptions such as the relative 
values of the start-up, no-load or minimum load, and incremental 
energy components of the resource's offer.
---------------------------------------------------------------------------

    54. Out of an abundance of caution and as discussed below, we delay 
the timing of Resource-Specific Uplift report to allow a 90-day time 
lag in releasing the Resource-Specific Uplift Report \108\ to reduce 
the likelihood that the information could be used to harm competition 
or individual market participants. We also point out that additional 
transparency may deter collusion and gaming and provide a means for 
anti-competitive behavior to be identified and addressed more quickly. 
As commenters suggest, market participants may use the information 
provided by the reports to call attention to potential market issues.
---------------------------------------------------------------------------

    \108\ In the NOPR, we proposed to require a 20-day lag for both 
uplift reports. As discussed below, we modify the lag to 90 days for 
the Resource-Specific Uplift Report.
---------------------------------------------------------------------------

    55. In the NOPR, we recognized that RTOs/ISOs may have very small 
transmission zones, and sought to balance the benefits of greater 
transparency with concerns about revealing daily resource-specific 
uplift information by (1) allowing RTOs/ISOs to aggregate any 
transmission zone containing fewer than four resources with a 
neighboring zone and report them collectively, and (2) exempting from 
reporting any combined transmission zone with fewer than four 
resources.
    56. In response to comments, we clarify that any aggregation should 
be based on the number of resources located in the zone rather than the 
number of resources in the zone that receive uplift payments in a given 
reporting period. As noted by PJM and the PJM Market Monitor, 
aggregating based on the number of resources that receive uplift 
payments could lead to different zonal aggregations from month to month 
and inconsistent zonal reporting, which would add complexity and reduce 
transparency.\109\ Aggregation based on the number of resources located 
in a zone will ensure a consistent zonal definition from month-to-
month, which we would only expect to change with the addition or 
retirement of resources. We find that aggregating transmission zones to 
achieve a minimum of four resources addresses concerns that individual 
resource uplift payments could be deduced from the report. We reason 
that if a zone has at least four resources, there will be enough 
possibilities of which resource or resources received uplift that it 
will be unlikely that the Zonal Uplift Report alone will reveal 
individual resources' uplift payments.
---------------------------------------------------------------------------

    \109\ PJM Comments at 12; PJM Market Monitor Comments at 10.
---------------------------------------------------------------------------

    57. We also clarify that, for the purpose of zonal aggregation, the 
term ``resource'' refers to an entire generating facility and not each 
individual unit within a plant. We agree with EEI that if a 
transmission zone contained, for example, a single power plant with 
four units, aggregation with a neighboring

[[Page 18143]]

zone would be necessary to avoid the possibility that the zonal uplift 
report alone could reveal the plant's daily uplift payments.
    58. We also modify the permissible level of aggregation. The 
proposal in the NOPR to allow a transmission zone with fewer than four 
resources to be aggregated with a single neighboring zone and to exempt 
from the reporting requirement any aggregated zone that still contains 
fewer than four resources could result in a zone that is permanently 
exempted from reporting, in light of the clarification above. Instead, 
we will allow RTOs/ISOs to aggregate transmission zones containing 
fewer than four resources with one or more neighboring zones in such a 
manner that all aggregated zones have at least four resources. Allowing 
such aggregation obviates the need for any aggregated zone to be 
exempted from the reporting requirement. This modification preserves 
the intended protections of the aggregation proposed in the NOPR while 
closing a potential reporting gap.
    59. On balance, our definition of transmission zone and the 
associated aggregation protections provide the transparency benefits of 
geographically granular uplift information while minimizing the risk of 
harm to the market from the potential disclosure of commercially-
sensitive information. However, we acknowledge that RTOs/ISOs may have 
multiple existing types of zones that could meet our definition. On 
compliance, we require each RTO/ISO to include in its tariff the type 
of zone that it proposes to use in its Zonal Uplift Report and explain 
how the chosen type of zone meets the definition of transmission zone 
adopted in this Final Rule, as well as explain any proposal to 
aggregate transmission zones that fits the characteristics described 
above. While our definition of transmission zone provides RTOs/ISOs a 
level of flexibility, we note that transmission zones are defined as 
areas that are used for the local allocation of charges; therefore, we 
expect each RTO/ISO to propose transmission zones that provide an 
appropriate level of geographic granularity.
    60. We adopt the NOPR proposal to require the reporting of zonal 
uplift by category. As noted above, numerous commenters express support 
for this proposal, and several RTOs/ISOs already report such 
information. Reporting the causes of uplift in each transmission zone 
on each day will help market participants understand the relationship 
between system conditions, location, and reasons that uplift is 
incurred. Market participants will therefore be better equipped to 
raise concerns about RTO/ISO uplift payments and direct appropriate 
infrastructure investment to reduce the need for a given type of uplift 
payment. No commenters opposed including categories in the Zonal Uplift 
Report. As mentioned in the NOPR, we expect the categories to be based 
on the RTO/ISO uplift charge codes.\110\ For RTOs/ISOs that do not use 
the term ``charge codes,'' we clarify that ``charge codes'' refers to 
individual charges for settlement purposes. We expect that basing 
uplift categories on existing charge codes will ease the potential 
reporting burden on RTOs/ISOs.
---------------------------------------------------------------------------

    \110\ NOPR, FERC Stats. & Regs. ] 32,721 at P 86.
---------------------------------------------------------------------------

    61. With respect to timeliness of reporting, we adopt the NOPR 
proposal to require that each RTO/ISO post this Zonal Uplift Report 
within 20 calendar days of the end of the month. However, in response 
to CAISO's concern on this issue, on compliance we will consider 
proposals with longer timelines if an RTO/ISO demonstrates that the 20-
day deadline does not provide an RTO/ISO with sufficient time to 
compile the report given its existing uplift settlement and reporting 
timelines.
    62. Regarding other issues raised by commenters with respect to 
this report, in response to Direct Energy we confirm that RTOs/ISOs 
must report all uplift payments to resources and not just those 
resulting from deviations from day-ahead schedules in both the Zonal 
Uplift Report and the Resource-Specific Uplift Report. We also confirm 
that RTOs/ISOs may choose to report more information and/or to report 
more promptly. We adopt the NOPR proposal to require each RTO/ISO to 
publish the two uplift reports, the Zonal Uplift Report and the 
Resource-Specific Uplift Report, in a machine-readable format on a 
publicly accessible, rather than password-protected, portion of its 
website. As discussed above, we are not persuaded that the potential 
revelation of a resource's uplift payments, subject to the discussed 
protections, would result in harm to competition or to market 
participants. Moreover, while we have discussed the benefits in the 
context of existing market participants, we find that other 
stakeholders such as third-party researchers, potential future market 
participants, and ratepayers may also benefit from public availability 
of this data. Finally, while we recognize the potential transparency 
benefits of the historical uplift report requested by Exelon, we find 
that it goes beyond the scope of this rulemaking and decline to require 
it here.

B. Resource-Specific Uplift Report

1. NOPR Proposal
    63. In the NOPR, the Commission proposed to require each RTO/ISO to 
post a monthly report containing the resource name and total amount of 
uplift paid in dollars aggregated across the month to each resource 
that received uplift payments. The Commission proposed to require that 
the report be posted on a publicly-accessible portion of each RTO's/
ISO's website within 20 calendar days of the end of each month.\111\
---------------------------------------------------------------------------

    \111\ Id. at Regulatory Text.
---------------------------------------------------------------------------

    64. The Commission reasoned that with more granular information on 
the location and amounts of uplift, market participants may be able to 
better evaluate possible solutions to reduce the incurrence of 
uplift.\112\ The Commission sought to mask daily uplift payments by 
requiring that resource-specific uplift payment data be aggregated 
across the month.\113\
---------------------------------------------------------------------------

    \112\ Id. P 84.
    \113\ Id. P 89.
---------------------------------------------------------------------------

    65. The Commission requested comments on: (1) 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; \114\ and (2) whether 20 calendar days after the 
end of the month was a reasonable timeframe for releasing the 
information.\115\
---------------------------------------------------------------------------

    \114\ Id. P 83.
    \115\ Id. P 86.
---------------------------------------------------------------------------

2. Comments
    66. Many commenters generally support \116\ or state that they are 
not opposed \117\ to the NOPR proposal for a resource-specific monthly 
report. Appian Way notes that some RTOs/ISOs have indicated that most 
uplift costs are attributed to a few units, and that the Commission's 
Office of Enforcement has brought cases alleging inflated uplift costs 
for certain units. Appian Way believes that improved transparency into 
which units receive uplift would allow market participants to advocate 
for solutions and call attention to these

[[Page 18144]]

issues more quickly and efficiently.\118\ Golden Spread similarly 
argues that the more information that is available to all market 
participants, and not just market operators, the faster market 
imperfections can be removed.\119\ Brookfield and Exelon state that 
more granular and comprehensive data would help market participants 
identify and address root causes of uplift.\120\ Financial Marketers 
Coalition agree that if details on uplift payments are not presented, 
it is unlikely uplift drivers will be identified and displaced through 
competition.\121\ Similarly, XO Energy agrees that the usefulness of 
data will be reduced if it is aggregated.\122\
---------------------------------------------------------------------------

    \116\ Appian Way Comments at 8; AWEA Comments at 10; Brookfield 
Comments at 2; Calpine Comments at 8; Designated Marketers Comments 
at 5-6; Direct Energy Comments at 10; Diversified Trading/eXion 
Energy Comments at 5; Exelon Comments at 9; Financial Marketers 
Coalition Comments at 39; Golden Spread Comments at 11-12; NYISO 
Comments at 5; PJM Market Monitor Comments at 10; R Street Institute 
Comments at 5; TAPS Comments at 8; XO Energy Replacement Comments at 
34.
    \117\ ISO-NE Comments at 43; PJM Comments at 11.
    \118\ Appian Way Comments at 8.
    \119\ Golden Spread Comments at 12.
    \120\ Brookfield Comments at 2; Exelon Comments at 9.
    \121\ Financial Marketers Coalition Comments at 38.
    \122\ XO Energy Replacement Comments at 34.
---------------------------------------------------------------------------

    67. On the other hand, MISO and MISO Transmission Owners assert 
that the benefits of the resource-specific report are unclear. MISO 
Transmission Owners state the Commission does not explain why resource-
level information is necessary and why the other transparency reforms 
are insufficient to meet the Commission's goals. Moreover, they contend 
market participants do not need to know resource-level information to 
understand RTO/ISO actions and react properly to them.\123\ MISO 
Transmission Owners point out that market monitors can use confidential 
data to propose fixes for market design flaws.\124\ MISO similarly 
asserts that it is unnecessary to disclose resource-specific uplift 
information beyond its current processes. MISO and MISO Transmission 
Owners assert that the value of publicly disclosed information may be 
outweighed by its risk of harm to the markets.\125\ MISO Transmission 
Owners argue that continuing to require public utilities to report 
uplift payments in EQR while also implementing this proposal would 
provide no additional benefit and would be duplicative.\126\
---------------------------------------------------------------------------

    \123\ MISO Transmission Owners Comments at 7-8.
    \124\ Id. at 9-10.
    \125\ MISO Comments at 12-13; MISO Transmission Owners Comments 
at 8-9.
    \126\ MISO Transmission Owners Comments at 11.
---------------------------------------------------------------------------

a. Confidentiality
    68. Some commenters highlight concerns around confidentiality and 
the release of data in a resource-specific monthly report. MISO 
Transmission Owners and Potomac Economics raise the concern that a 
resource-specific report could allow the discovery of a resource's 
sensitive cost information or lead to some form of collusion among 
suppliers.\127\ MISO Transmission Owners argue there may be instances 
when market participants and competitors could derive sensitive 
resource cost information by combining resource-specific uplift with 
settlement LMPs and backing out costs.\128\ MISO Transmission Owners 
and EEI argue that monthly aggregation may not sufficiently mask daily 
uplift payments if a unit is infrequently paid uplift or committed out-
of-market within a month.\129\ MISO echoes this concern, arguing that 
the Commission should consider the effect of resource energy offers, 
which may be used for anti-competitive purposes such as gaming.\130\ 
Potomac Economics argues that releasing uplift payment information with 
only a minimal lag could allow for tacit or explicit collusion among 
suppliers.\131\ MISO and SPP state that resources' uplift information 
is considered confidential in their regions.\132\ PJM does not oppose 
the NOPR proposal, but notes stakeholder concerns that resource-
specific uplift reporting could reveal market-sensitive information 
such as bidding strategies.\133\ The SPP Market Monitor contends that 
identifiable information for resources should not be released.\134\
---------------------------------------------------------------------------

    \127\ Id. at 6-7; Potomac Economics Comments at 11.
    \128\ MISO Transmission Owners Comments at 6-7.
    \129\ EEI Comments at 8; MISO Transmission Owners Comments at 7.
    \130\ MISO Comments at 13; PJM Comments at 11.
    \131\ Potomac Economics Comments at 11.
    \132\ MISO Comments at 13; SPP Comments at 3 (citing Attachment 
AE, Section 11).
    \133\ PJM Comments at 11.
    \134\ SPP Market Monitor Comments at 3.
---------------------------------------------------------------------------

    69. Several commenters provide suggestions for protecting 
resources' confidential information. EEI and MISO Transmission Owners 
argue that because the Commission has only identified benefits for 
market participants, the resource-specific uplift information should be 
available only to market participants.\135\ Moreover, they argue the 
data should be posted to a password-protected portion of the RTO's/
ISO's website.\136\ MISO Transmission Owners further state that the 
data should only be accessible to those market participants that have 
shown a need to access the information and have signed a 
confidentiality agreement.\137\ Competitive Suppliers state that uplift 
information should be reported on a MW basis rather than a unit-
specific basis.\138\ EEI suggests that the Commission allow RTOs/ISOs 
to determine the level of transparency needed to protect commercially 
sensitive information.\139\
---------------------------------------------------------------------------

    \135\ EEI Comments at 7; MISO Transmission Owners at 13.
    \136\ EEI Comments at 7; MISO Transmission Owners Comments at 
13.
    \137\ MISO Transmission Owners Comments at 13.
    \138\ Competitive Suppliers Comments at 9.
    \139\ EEI Comments at 8-9.
---------------------------------------------------------------------------

    70. MISO Transmission Owners, EEI, and Potomac Economics all 
comment that if a resource-specific report is adopted, a final rule 
should increase the lag time for releasing the report or should 
aggregate the data over a longer time period. Potomac Economics asserts 
that an immediate release of uplift information does not improve 
transparency because uplift is a settlement process and market 
participants cannot take economic actions to reduce uplift costs. 
Potomac Economics also believes the proposed 20-day lag is too short to 
ensure competition will not be adversely affected and recommends at 
least a three-month lag, which it asserts will not diminish the 
transparency value of the report.\140\ MISO Transmission Owners agree 
that three months is the appropriate lag for reporting any resource-
specific report on uplift payments, noting that this reporting timing 
has been in effect for some time for EQR.\141\ EEI suggests that uplift 
information be aggregated over the quarter and reported quarterly, in 
order to lessen the ability of market participants to deduce resources' 
offers while providing an appropriate level of transparency.\142\
---------------------------------------------------------------------------

    \140\ Potomac Economics Comments at 11.
    \141\ MISO Transmission Owners Comments at 10-11.
    \142\ EEI Comments at 8.
---------------------------------------------------------------------------

    71. Multiple commenters argue that the proposed monthly aggregation 
for reporting is sufficient to reduce data and resource confidentiality 
concerns. R Street Institute finds that monthly aggregation is 
reasonable and provides sufficient masking of daily offer 
behavior.\143\ TAPS agrees that the proposal strikes the appropriate 
balance of increasing transparency against confidentiality and 
competition concerns.\144\ In response to confidentiality concerns, XO 
Energy notes that resource-specific uplift information is already 
publicly reported in EQR.\145\ Financial Marketers Coalition states 
that RTOs/ISOs should be able to mask, rather than withhold from the 
market, particularly sensitive information such as bid data, but 
asserts that uplift payments are not a competitive aspect of the market 
and

[[Page 18145]]

should be made clear to market participants.\146\ ELCON and EEI 
recommend allowing RTOs/ISOs flexibility to determine the appropriate 
balance between transparency and protecting sensitive information.\147\
---------------------------------------------------------------------------

    \143\ R Street Institute Comments at 5.
    \144\ TAPS Comments at 8.
    \145\ XO Energy Reply Comments at A-6, A-9.
    \146\ Financial Marketers Coalition Comments at 38.
    \147\ ELCON Comments at 10; EEI Comments at 9.
---------------------------------------------------------------------------

b. Categories and Additional Information
    72. Several commenters responded to the Commission's request for 
comment on whether the resource-specific reports should be broken out 
by uplift category or contain other additional details.\148\ The PJM 
Market Monitor supports specifying the category of uplift but does not 
agree that disclosing additional information beyond categories is 
necessary.\149\ Direct Energy encourages requiring RTOs/ISOs to report 
additional information for each instance when uplift costs are 
incurred: the name of the unit receiving uplift; uplift category; 
timeframe of the binding constraint driving the uplift payment; 
timeframe of uplift earned; operating parameter creating the need for 
uplift; and total payment to the unit.\150\ ISO-NE asserts that, for 
security reasons, public reporting of voltage-related uplift payments 
on a resource-specific basis should not be required.\151\
---------------------------------------------------------------------------

    \148\ NOPR, FERC Stats. & Regs. ] 32,721 at P 83.
    \149\ PJM Market Monitor Comments at 10.
    \150\ Direct Energy Comments at 10-11.
    \151\ ISO-NE Comments at 43.
---------------------------------------------------------------------------

c. Other Comments
    73. As discussed in more detail with respect to the zonal uplift 
report, CAISO argues that it already posts significant information on 
uplift payments monthly and contends the proposed reports and 20-day 
deadline would impose significant costs on CAISO. CAISO requests that 
the Commission allow CAISO to include any required additional uplift 
information in the monthly reports it already produces.\152\ 
Conversely, ISO-NE states that reporting uplift payments on a resource-
specific level should be simple to implement.\153\
---------------------------------------------------------------------------

    \152\ CAISO Comments at 12.
    \153\ ISO-NE Comments at 43.
---------------------------------------------------------------------------

3. Determination
    74. We adopt the NOPR proposal and require each RTO/ISO to report 
the resource name and the total amount of uplift paid in dollars to 
each resource that received uplift payments within the calendar month. 
We find that this Resource-Specific Uplift Report provides additional 
transparency benefits beyond those provided by the Zonal Uplift Report 
and existing uplift reporting requirements. Below, we discuss the 
benefits particular to this report and also address commenters' other 
concerns.
    75. We find that the Resource-Specific Uplift Report will improve 
transparency into the causes of uplift. The Resource-Specific Uplift 
Report will complement the Zonal Uplift Report by providing more 
granular technology-type and geographic information, allowing market 
participants to identify potential system needs at specific locations 
that may not otherwise be revealed through price signals. The 
locational granularity of the required uplift report also mirrors the 
locational granularity of energy prices. We find that the two uplift 
reports in combination can improve market efficiency by providing 
information to market participants considering, for example, where to 
site new resources, transmission facilities, or demand response. In 
addition, as Appian Way notes, several RTOs/ISOs have previously 
indicated that uplift payments are concentrated and persistent among a 
few units, an observation corroborated by the Staff Analysis of 
Uplift.\154\ As noted above, PJM's recent Cold Snap Performance Report 
illustrates the value of resource-specific uplift information. For 
instance, knowing that uplift was concentrated in combustion turbines 
rather than steam units \155\ can provide insight regarding the nature 
of the system need that is being addressed through actions that lead to 
uplift. While MISO Transmission Owners argue that market monitors have 
access to resource-specific uplift data and are therefore already able 
to raise any issues, other commenters assert that disseminating 
resource-specific uplift information publicly would also allow market 
participants to call attention to such issues. We agree with the latter 
argument, as market participants, particularly those that may be 
allocated uplift costs, may be financially incentivized to advocate for 
solutions that reduce uplift costs. Market participants can also use 
this information to make investment decisions; this is something market 
monitors cannot do. Public release of this information may therefore 
result in faster or more efficient resolution to circumstances 
responsible for uplift which will help achieve just and reasonable 
rates.
---------------------------------------------------------------------------

    \154\ Staff Analysis of Uplift at 7-10.
    \155\ PJM Cold Snap Performance Report at 30.
---------------------------------------------------------------------------

    76. MISO Transmission Owners argue that the Resource-Specific 
Uplift Report is duplicative with the requirement that public utilities 
report uplift payments in EQR. EQR serves as a reporting mechanism for 
public utilities to fulfill their responsibility under section 205(c) 
of the Federal Power Act to have their rates and charges on file in a 
convenient form and place.\156\ While EQR facilitates price 
transparency, the Commission has not required uplift to be reported at 
the level of granularity necessary to meet the price formation 
objectives of this proceeding. Depending on the granularity of the 
information reported by the filer, and whether the filer reports its 
EQR as a single resource, resource level uplift information is 
sometimes reported in EQR. The Resource-Specific Uplift Report would 
include information about specific resources, which is not currently 
required by EQR. For instance, the Staff Analysis of Uplift shows that 
EQR data contain lower total uplift payments and fewer locations 
reported than do non-public RTO/ISO uplift data.\157\ Therefore, we 
find that the Resource-Specific Uplift Report is not duplicative and 
provides additional transparency benefits that could not be fully 
achieved under existing EQR filing requirements.
---------------------------------------------------------------------------

    \156\ 16 U.S.C. 824d(c).
    \157\ Some entities, including certain cooperatives and 
municipalities, were not required to file EQRs during the majority 
of the time analyzed within the report. See Staff Analysis of Uplift 
at 22.
---------------------------------------------------------------------------

    77. Several commenters continue to express concern that the 
Resource-Specific Uplift Report could, in conjunction with other 
information, unintentionally reveal a resource's daily uplift payments, 
energy offer, or cost information, which some characterize as 
confidential because it is commercially sensitive. As noted above, it 
may be possible, under specific circumstances, for a market participant 
to estimate a resource's energy offer using the Resource-Specific 
Uplift Report in conjunction with the Zonal Uplift Report, and other 
information and assumptions. Commenters assert that the revelation of 
cost or offer data could lead to collusion or gaming.
    78. Out of an abundance of caution, we address these concerns 
regarding revealing commercially-sensitive information by modifying the 
NOPR proposal to extend the deadline for the release of the Resource-
Specific Uplift Report from 20 to 90 calendar days following the end of 
the reporting month, as several commenters recommend. An RTO/ISO can 
propose more timely reporting on compliance to the extent it believes 
that reporting more timely does not present the kinds of risks 
discussed above, for instance, because there are consistently enough

[[Page 18146]]

resources awarded uplift in each zone that the uplift reports taken 
together cannot be used to infer a resource's costs.
    79. We also find that any inferred information regarding a 
resource's offers or costs becomes less likely to be used to harm 
competition or individual market participants with the passage of time, 
because fuel prices and other market conditions change. After 90 
calendar days following the end of the reporting month, the report will 
be released in a different season from the incurrence of uplift, 
increasing the likelihood that transient issues will be resolved, and 
thus decreasing the likelihood that any deduced resource-specific cost 
or offer data can be used to harm to competition or individual market 
participants. Furthermore, as Appian Way suggests, transparency into 
resource-specific uplift payments can highlight potential instances of 
gaming and collusion for other market participants, and allow them to 
advocate for solutions and call attention to such issues more quickly 
and efficiently. Finally, some information about resource-specific 
uplift payments is already available or can be derived from EQR.
    80. We find that monthly aggregation of uplift payments to each 
resource, combined with a reporting delay of 90 calendar days, strikes 
an appropriate balance between the goal of providing public information 
that is detailed enough to identify system needs and issues with RTO/
ISO uplift payment practices while also preserving a reasonable level 
of protection of potentially commercially-sensitive information. We 
expect that the later deadline should also alleviate CAISO's concern 
with respect to the burden of releasing this report on time.
    81. As with the Zonal Uplift Report, the Commission does not agree 
with commenters that argue that access to the Resource-Specific Uplift 
Report should be limited to certain market participants on a password-
protected portion of the RTO/ISO website. Providing data only to 
certain market participants does not achieve the goals of this Final 
Rule. As stated earlier, we find that reporting resource-specific 
uplift cost information more broadly may benefit a range of 
stakeholders, and we require each RTO/ISO to publish the Resource-
Specific Uplift Report in a machine-readable format on a publicly 
accessible portion of its website.
    82. In the NOPR, the Commission requested comment regarding whether 
the Resource-Specific Uplift Report should include uplift categories or 
other additional details. While, as some commenters suggest, there may 
be additional value in reporting uplift categories on a resource-
specific basis, we do not require RTOs/ISOs to report resource-specific 
uplift by category. We find that the requirement for RTOs/ISOs to 
report uplift categories in the Zonal Uplift Report provides sufficient 
transparency about the locations where specific types of uplift are 
incurred to address system needs. However, RTOs/ISOs may choose to 
include uplift categories or other information in the Resource-Specific 
Uplift Report, and must indicate on compliance whether they plan to do 
so.

C. Operator-Initiated Commitments

1. NOPR Proposal
    83. In the NOPR, the Commission proposed to require each RTO/ISO to 
post operator-initiated commitments in MWs, categorized by transmission 
zone and commitment reason, to a publicly accessible portion of its 
website within four hours of the commitment. The Commission proposed to 
define transmission zone as a geographic area that is used for the 
local allocation of charges.\158\
---------------------------------------------------------------------------

    \158\ NOPR, FERC Stats. & Regs. ] 32,721 at Regulatory Text.
---------------------------------------------------------------------------

    84. The Commission reasoned that transparency into operator-
initiated commitments is necessary as such commitments can affect 
energy and ancillary service prices and can result in uplift. In 
addition, the Commission preliminarily found that greater transparency 
would allow stakeholders to better assess the RTO's/ISO's operator-
initiated commitment practices and raise any issues of concern through 
the stakeholder process.\159\
---------------------------------------------------------------------------

    \159\ Id. P 92.
---------------------------------------------------------------------------

    85. In the NOPR, the Commission defined an operator-initiated 
commitment as 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. The Commission added that this 
definition would include both manual and automated commitments made 
after the execution of the day-ahead market and outside of the real-
time market. The Commission noted that the definition includes 
commitments made through residual unit commitment and look-ahead 
commitment processes, and manual commitments made in real-time. The 
Commission proposed that both manual and automated operator-initiated 
commitments be posted in order to help market participants better 
understand the drivers of uplift in each zone and the impact of such 
commitments on rates.
    86. The Commission requested comments on: (1) The types of unit 
commitments that should be reported as operator-initiated commitments; 
\160\ (2) what it means for a commitment to clear the market on the 
basis of economics; \161\ (3) the proposed definition of ``transmission 
zone,'' including the appropriate level of geographic granularity; 
\162\ (4) the proposed reporting timeframe, including potential 
implementation challenges particularly with regard to real-time 
reporting and whether a different reporting timeframe would provide 
sufficient transparency; \163\ (5) whether the Commission should define 
a common set of operator-initiated commitment reasons for use across 
all RTOs/ISOs and, if so, what reasons 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; and 
(6) whether the proposal provides sufficient transparency, or whether 
more information is needed (e.g., specific constraint name), as well as 
any potential concerns with requiring additional information.\164\
---------------------------------------------------------------------------

    \160\ Id. P 93.
    \161\ Id. P 90.
    \162\ Id. P 91.
    \163\ Id. P 94.
    \164\ Id. P 95.
---------------------------------------------------------------------------

2. Comments
    87. Several commenters support the proposed requirement that each 
RTO/ISO report operator-initiated commitments in or near real-time and 
after the close of the day-ahead market, with the report including the 
upper economic operating limit of the committed resource in MWs, the 
transmission zone in which the resource is located, and the reason for 
the commitment.\165\ Diversified Trading/eXion Energy note that greater 
transparency with respect to operator-initiated commitments will 
provide incentives for RTOs/ISOs to reduce the need for those 
commitments and ensure that the cost of meeting system needs are 
reflected in market prices.\166\ Financial Marketers Coalition asserts

[[Page 18147]]

that transparency with respect to the location and reasons for out-of-
market and out-of-merit operator actions allows financial market 
participants to understand that a problem is being resolved outside of 
normal market operations and that the day-ahead and real-time markets 
are unlikely to converge through market actions. Financial Marketers 
Coalition adds that this level of transparency allows any market 
participant transacting in an area where an out-of-market or out-of-
merit operator action is being taken to know that it will be subjected 
to uplift allocation exposure.\167\ Furthermore, Financial Marketers 
Coalition asserts that robust transparency practices allow the 
marketplace to develop solutions to problems.\168\ R Street Institute 
states that transparency of operator-initiated commitments is important 
because such commitments often occur when the system is stressed, have 
a sizable effect on market outcomes, and may become more frequent given 
the penetration of meteorologically-sensitive resources. R Street 
Institute contends that reporting operator-initiated commitments by 
zone and commitment reason is reasonable. R Street Institute further 
contends that reporting on a sub-zonal basis would provide value in 
areas with transmission constraints.\169\ Other commenters raise 
concerns or request clarification about elements of the proposed 
requirements as discussed further below.
---------------------------------------------------------------------------

    \165\ AWEA Comments at 10; Brookfield Comments at 2; Competitive 
Suppliers Comments at 12; Designated Marketers Comments at 6; 
Diversified Trading/eXion Energy Comments at 5; Financial Marketers 
Coalition Comments at 36; Golden Spread Comments at 11-12; NYISO 
Comments at 8; PJM Market Monitor Comments at 10; R Street Institute 
Comments at 5-6; SPP Market Monitor Comments at 3-4.
    \166\ Diversified Trading/eXion Energy Comments at 5.
    \167\ Financial Marketers Coalition Comments at 37.
    \168\ Id.
    \169\ R Street Institute Comments at 5-6.
---------------------------------------------------------------------------

a. Definition of Operator-Initiated Commitments
    88. Three RTOs/ISOs, MISO, NYISO, and PJM, found elements of the 
proposed definition of operator-initiated commitments to be unclear and 
requested clarification as to whether or not certain types of 
commitments should be reported. MISO argues that the proposed 
definition of operator-initiated commitments as ``commitments not 
associated with clearing the day-ahead or real-time market on the basis 
of economics'' may contradict the statement in the NOPR that 
commitments made through residual unit commitment and look-ahead 
commitment processes should be reported. MISO requests clarification on 
whether to report residual unit commitments and look-ahead commitments 
because the NOPR specifically states that these commitments should be 
reported even though MISO considers costs when making these 
commitments. Similarly, NYISO requests confirmation that commitments 
made through its real-time commitment and dispatch processes are not 
intended to be included simply because they consider multiple time 
horizons and thus include look-ahead functionality. NYISO also states 
that its real-time dispatch software can economically evaluate 
commitments of certain offline resources that can respond to dispatch 
instructions within 10 minutes, but that subsequent action by the 
operator is needed to actually dispatch the resource. NYISO states that 
it does not believe the Commission intended these commitments to be 
considered operator-initiated commitments for the purposes of this 
NOPR.\170\ MISO suggests that as an alternative, the Commission could 
define operator-initiated commitments as those made outside of the day-
ahead market, whether manual or automated, without consideration of 
total production costs.\171\
---------------------------------------------------------------------------

    \170\ NYISO Comments at 8-11.
    \171\ MISO Comments at 14-15 (citing NOPR, FERC Stats. & Regs. ] 
32,721 at P 90).
---------------------------------------------------------------------------

    89. PJM states that it does not have any automated commitments in 
either the real-time or day-ahead market; instead PJM has a variety of 
applications that provide commitment suggestions to PJM operators, who 
perform additional analyses prior to committing any unit. PJM 
interprets the proposal to require it to post all commitments made 
after the close of the day-ahead market. PJM states that it is able to 
accomplish this goal, but requests confirmation that this was the 
intent of the proposal.\172\
---------------------------------------------------------------------------

    \172\ PJM Comments at 13-14.
---------------------------------------------------------------------------

b. Confidentiality, Market Power, and CEII
    90. Several RTOs/ISOs state that the proposed operator-initiated 
commitment reports could reveal resource-identifiable or competitive 
information, or lead to market power concerns.\173\ MISO claims that 
the proposed report may not protect the data of individual market 
participants and may reveal identifiable competitive information.\174\ 
MISO states that it does not post commitment data by resource or 
provide the name or transmission zone of the committed resources to 
avoid disclosure of confidential information that may harm market 
participants and create risks in MISO's competitive markets. Instead, 
MISO aggregates posted commitment data by commitment reason.\175\ MISO 
does not support posting commitment information by resource, and argues 
that if the Commission does require reporting of locational information 
that it should allow RTOs/ISOs to aggregate transmission zones when 
posting commitment data, as there could be transmission zones that have 
a single asset owner. MISO adds that the use of existing transmission 
zone aggregations should be allowed in each RTO/ISO instead of creating 
new transmission zone aggregations.\176\ ISO-NE and NYISO both state 
that they could report additional information to comply with this 
requirement.\177\ NYISO notes, however, that it may be necessary to 
modify existing mitigation rules or potentially create new rules to 
address market power or anti-competitive behavior concerns that may 
arise from the requirements of any final rule.\178\ Similarly, ISO-NE 
contends that, in any final rule, the Commission should allow each RTO/
ISO to propose rules or procedures that may be necessary to address 
market power issues.\179\ SPP contends that the operational 
characteristics of resources, including their economic maximums, are 
competitive information and should not be posted.\180\
---------------------------------------------------------------------------

    \173\ ISO-NE Comments at 44; MISO Comments at 18; SPP Comments 
at 3-4.
    \174\ MISO Comments at 18.
    \175\ Id. at 17.
    \176\ Id. at 18.
    \177\ ISO-NE Comments at 44; NYISO Comments at 8-9.
    \178\ NYISO Comments at n. 28.
    \179\ ISO-NE Comments at 44.
    \180\ SPP Comments at 3-4.
---------------------------------------------------------------------------

    91. Responding to SPP, XO Energy states that the proposed report 
would not require SPP to identify the unit that was committed.\181\ XO 
Energy states that, for confidentiality reasons, specific names of 
resources should not be posted, but that the information posted should 
be as granularly specific as possible.\182\ XO Energy points to MISO's 
operator-initiated commitment reports as an example of the granularity 
that should be provided in a report.\183\ EEI suggests that RTOs/ISOs 
protect confidentiality by making the information available only to 
market participants.\184\
---------------------------------------------------------------------------

    \181\ XO Energy Reply Comments at A-9.
    \182\ XO Energy Replacement Comments at 34-35.
    \183\ Id. at 35.
    \184\ EEI Comments at 9.
---------------------------------------------------------------------------

    92. ISO-NE and PJM raise concerns that the proposed operator-
initiated commitment reports could reveal Critical Energy/Electric 
Infrastructure Information (CEII).\185\ ISO-NE states

[[Page 18148]]

that detailed reporting in real-time on operator-initiated actions 
could raise system security issues and argues that, in any final rule, 
the Commission should permit each RTO/ISO to propose rules or 
procedures to protect CEII.\186\ PJM explains that the identification 
of specific resources committed to control specific transmission 
constraints is CEII and should not be published.\187\ In response to 
PJM, XO Energy argues that many market participants have clearance from 
the Commission to access CEII data and these participants should be 
able to access any and all CEII data.\188\
---------------------------------------------------------------------------

    \185\ 18 CFR 388.113 (2017). See also Regulations Implementing 
FAST Act Section 61003--Critical Electric Infrastructure Security 
and Amending Critical Energy Infrastructure Information, Order No. 
833, 81 FR 93732 (Dec. 21, 2016), FERC Stats. & Regs. ] 31,389 
(2016).
    \186\ ISO-NE Comments at 44.
    \187\ PJM Comments at 14.
    \188\ XO Energy Reply Comments at A-7.
---------------------------------------------------------------------------

c. Commitment Reasons
    93. Several commenters responded to the request for comment on 
whether the Commission should define a common set of commitment reason 
categories and, if so, which categories should be included, or whether 
it is more appropriate to allow each RTO/ISO to establish a set of 
commitment reasons on compliance.\189\ MISO contends that regional 
flexibility should be allowed for each RTO/ISO to establish an 
appropriate set of commitment reason categories. MISO further argues 
that prescribing a set of categories may lead to confusion and 
disruption of established processes that may provide the desired 
transparency, but in a manner that does not fit the prescribed 
categories.\190\ TAPS similarly urges the Commission to leave it to 
individual RTOs/ISOs to determine how best to comply with reporting 
requirements.\191\
---------------------------------------------------------------------------

    \189\ NOPR, FERC Stats. & Regs. ] 32,721 at P 95.
    \190\ MISO Comments at 15-16; TAPS Comments at 9.
    \191\ TAPS Comment at 9.
---------------------------------------------------------------------------

    94. Conversely, PJM and EEI support the Commission defining a 
minimum set of categories to be used by RTOs/ISOs that identify the 
reasons for the commitment.\192\ PJM requests that the Commission allow 
each RTO/ISO to develop its own additional categories because RTOs/ISOs 
have different market designs and operational practices. Similarly, EEI 
argues that RTOs/ISOs should have the flexibility to provide more 
granular, detailed, or relevant information, as needed.\193\ MISO also 
suggests that the Commission could alternatively require that the 
categories that each RTO/ISO establishes should, at a minimum, reflect 
the uplift categories the NOPR proposes.\194\ PJM states that it is 
unclear what level of detail the Commission is contemplating for these 
categories and argues that a final rule should clarify the level of 
detail envisioned.\195\
---------------------------------------------------------------------------

    \192\ EEI Comments at 9; PJM Comments at 14.
    \193\ EEI Comments at 9.
    \194\ MISO Comments at 15-16.
    \195\ PJM Comments at 14.
---------------------------------------------------------------------------

d. Reporting Timeline
    95. Several RTOs/ISOs discussed their current reporting practices 
and whether it is feasible to meet the proposed requirement to report 
real-time operator-initiated commitments within four hours.\196\ MISO 
states that it currently posts economic and constraint management 
commitments, excluding those made in the day-ahead market, to its 
public website on a real-time and historical basis. In addition, MISO 
notes that historical information is included in the Real-Time Revenue 
Sufficiency Guarantee Commitments report, which is updated daily with a 
one-day lag. MISO states that the posted commitment information 
includes an aggregation of the hourly economic maximum limit of 
committed resources by commitment reason, and the total number of 
resources committed by commitment reason (either capacity or constraint 
name).\197\ MISO requests guidance as to whether the four-hour 
timeframe will be counted from the time the commitment notification is 
issued, the beginning of the commitment period, or the start of the 
current market interval.\198\ ISO-NE and PJM state that they would 
likely be able to comply with the proposed reporting of operator-
initiated commitments. PJM requests that any final rule provide 
flexibility in the reporting timeframe so that, in the event of 
unforeseen technical issues, PJM is not exposed to a compliance 
violation.\199\ NYISO states that it already posts information 
regarding many operator-initiated commitments in real-time and 
generally supports the proposed reforms but, as noted above, would need 
to report on additional commitments and add both the location and upper 
operating limit of each resource included in its report.\200\
---------------------------------------------------------------------------

    \196\ NOPR, FERC Stats. & Regs. ] 32,721 at P 94.
    \197\ MISO Comments at 17 (MISO states that the data is 
described as pertaining to ``3 or less resources'' when the number 
of committed resources is less than or equal to three).
    \198\ Id. at 16.
    \199\ PJM Comments at 14.
    \200\ NYISO Comments at 8-9.
---------------------------------------------------------------------------

    96. On the other hand, CAISO states that it produces operator-
initiated commitment reports manually because they require collecting 
operator log information and presenting it in a reporting format. 
Therefore, CAISO states that it cannot provide the required operator-
initiated commitment information within the four-hour deadline.\201\ 
CAISO further contends that there is no reason the requested 
information should be required within four hours as it is not clear 
what actions market participants can take to address these issues under 
the proposed timeline. CAISO argues that market participants can better 
evaluate issues raised due to exceptional dispatches by analyzing 
monthly trends. CAISO states that it already provides much of this 
information on a monthly basis, and argues that the Commission should 
modify its proposal to allow RTOs/ISOs to post information as part of 
existing monthly reports that they already provide.\202\
---------------------------------------------------------------------------

    \201\ CAISO Comments at 14.
    \202\ Id. at 14-15.
---------------------------------------------------------------------------

    97. In response to CAISO's concerns, XO Energy states that it 
disagrees with CAISO's assertion that expediting reporting of operator-
initiated commitments is not feasible because these systems are already 
in place in other RTOs/ISOs. XO Energy asserts that the commitment of 
units must be recorded into a database because this information is used 
for settlement purposes and dispatch instructions are sent 
electronically to resources and incorporated into the next SCED 
calculation. XO Energy states that these commitments can and should be 
posted in real-time as they occur.\203\ XO Energy asserts that 
knowledge that a unit was committed by operator action may indicate an 
inefficiency in the system that is not currently reflected in published 
prices, presenting an opportunity to solve that issue through normal 
market activity. XO Energy argues that if this information is delayed 
by even four hours, the opportunity to place bids to address that 
inefficiency may pass.\204\ XO Energy contends that market participants 
that own the units being dispatched have access to operator-initiated 
commitment information; market participants without physical assets are 
disadvantaged because they do not currently have access to this data 
and are underrepresented in the stakeholder process.\205\ Competitive 
Suppliers argue that real-time commitments need to be posted as soon as 
practical after they occur, not later than four hours after the 
commitment, to help market participants understand uplift.\206\ R 
Street Institute contends that the proposed temporal requirements are

[[Page 18149]]

reasonable and already met by NYISO, MISO, and CAISO.\207\
---------------------------------------------------------------------------

    \203\ XO Energy Reply Comments at A-3.
    \204\ Id. at A-3.
    \205\ Id. at A-1.
    \206\ Competitive Suppliers Comments at 12.
    \207\ R Street Institute Comments at 5-6.
---------------------------------------------------------------------------

e. Other Issues
    98. Some commenters suggest that RTOs/ISOs should be required to 
post other types of commitments or additional information. XO Energy 
asserts that there is a substantial amount of operator discretion in 
the day-ahead market and that all resources that contribute to day-
ahead or real-time uplift should be reported.\208\ Competitive 
Suppliers state that the definition should also include other operator-
initiated actions that impact uplift, such as load biasing. 
Furthermore, Competitive Suppliers argue that self-scheduled units 
should be reported when they are called on to alleviate an issue that 
would have resulted in some uplift payment had the unit not been self-
scheduled.\209\ Golden Spread requests that the Commission include the 
reporting of certain transactions in the day-ahead market that can 
impact LMPs and cause uplift, such as excess rampable capacity in SPP 
that has been moved into the day-ahead market.\210\ EEI argues that in 
addition to generator information, RTOs/ISOs should publish criteria 
used to make decisions with regard to reserve levels, conservative 
operations, import levels, and other operational constraints. EEI 
contends that identifying the types of costs or transactions included 
in uplift payments, and which of those should be included in LMPs will 
help inform potential changes to market rules around out-of-market 
actions.\211\
---------------------------------------------------------------------------

    \208\ XO Energy Replacement Comments at 35.
    \209\ Competitive Suppliers Comments at 10-11.
    \210\ Golden Spread Comments at 12-13.
    \211\ EEI Comments at 9-10.
---------------------------------------------------------------------------

3. Determination
    99. We adopt the NOPR proposal and require each RTO/ISO to post all 
operator-initiated commitments on its website, subject to the 
modifications and clarifications discussed below. Operator-initiated 
commitments are made to address system needs, but because they are made 
outside of the market are inherently less transparent. As stated in the 
NOPR, transparency into operator-initiated commitments is important 
because such commitments can affect energy and ancillary service prices 
and can result in uplift. Greater transparency will allow stakeholders 
to better understand the drivers of uplift costs, assess an RTO's/ISO's 
operator-initiated commitment practices, and raise any issues of 
concern through the stakeholder process.\212\ We find that the basis 
for this requirement as outlined in the NOPR remains compelling. The 
Operator-Initiated Commitment Report will provide granular information 
about the location, timing, causes and size of operator-initiated 
commitments. Such information will allow stakeholders to better 
understand the connections between system needs and operator actions 
and to make investments in facilities and equipment where most needed 
by the system, thus potentially improving market efficiency. We address 
commenters' concerns below.
---------------------------------------------------------------------------

    \212\ NOPR, FERC Stats. & Regs. ] 32,721 at PP 92-93.
---------------------------------------------------------------------------

    100. Based on the comments, we adopt a modified definition of an 
operator-initiated commitment for the purpose of this Final Rule. We 
agree with MISO and NYISO that the proposed definition of operator-
initiated commitments as ``commitments not associated with clearing the 
day-ahead or real-time market on the basis of economics'' may 
contradict the clarification in the NOPR that the proposed definition 
includes commitments made through look-ahead processes,\213\ 
particularly if an RTO/ISO process commits units on the basis of 
economics and includes look-ahead functionality. Further, as we noted 
in the NOPR, whether a commitment cleared the market on the basis of 
economics may be a point of confusion. In order to be more precise, we 
therefore modify the definition of an operator-initiated commitment to 
be a commitment after the day-ahead market, whether manual or 
automated, for a reason other than minimizing the total production 
costs of serving load. RTO/ISO market software generally minimizes 
total production costs subject to certain reliability constraints. Such 
software may make commitments to meet needs for additional supply due 
to changing market conditions or variations from forecast after the day 
ahead market. These commitments reflect the next marginal supply to 
meet load and minimize total production costs and are thus exempt from 
this reporting requirement. In contrast, because some constraints 
cannot be included in market software, RTOs/ISOs may need to make some 
commitments to address reliability considerations that are not modeled 
in the market software. Because these considerations are not included 
in the software, they may not minimize total production costs and thus 
should be reported. Such commitments are not likely to be reflected in 
market prices and may result in uplift costs. Thus, unlike the NOPR 
proposal, the definition adopted here does not include commitments made 
through look-ahead commitment processes that minimize total production 
costs. Consistent with the NOPR proposal, this definition excludes 
self-schedules. We expect that by not explicitly requiring the 
inclusion of look-ahead commitments, this modified definition will 
likely reduce the number of commitments that RTOs/ISOs are required to 
report compared to the definition proposed in the NOPR, but the 
modified definition will focus RTO/ISO reporting on commitments of 
those resources whose offers are least likely to be reflected in day-
ahead and real-time prices and are therefore most likely to result in 
uplift costs.
---------------------------------------------------------------------------

    \213\ Id. P 90.
---------------------------------------------------------------------------

    101. PJM requests clarification that we intend to require PJM to 
report all commitments made by operators occurring after the close of 
the day-ahead market because it has no ``automated'' commitments. We 
clarify that when an automated process makes a recommendation to an 
operator who makes the final decision, the commitment must be reported 
if the underlying process did not minimize total production costs. 
However, we are aware that RTOs/ISOs have a variety of processes 
through which units can be committed. On compliance, we therefore 
require each RTO/ISO to indicate, for each commitment process (whether 
automated or manual) that executes after the day-ahead market, whether 
it believes our modified definition implicates some or all commitments 
from the process and justify any commitments that it does not plan to 
report.
    102. After considering commenters' responses to the questions the 
Commission asked about the reporting timeframe, potential 
implementation challenges of reporting in real-time, and whether a 
different reporting timeframe would provide sufficient 
transparency,\214\ we find that requiring operator-initiated 
commitments to be posted no later than four hours after the commitment 
may place an unnecessary burden on some RTOs/ISOs. Therefore, we 
require that each RTO/ISO post this information on its website in 
machine-readable format as soon as practicable but no later than 30 
days after the end of the month. However, we note that the timing of 
operator-initiated commitments is important to understanding system 
conditions surrounding those commitments, and was implicit in the 
proposed four-hour deadline. Because we no longer require

[[Page 18150]]

near-real-time reporting of operator-initiated commitments, we instead 
will require each RTO/ISO to include in its report the start time of 
each commitment in order to enable stakeholders to understand system 
conditions surrounding the commitment. While we are providing each RTO/
ISO significant flexibility in when it must report operator-initiated 
commitments, we encourage each RTO/ISO to design its processes so that 
this information is provided to market participants as soon as 
possible.
---------------------------------------------------------------------------

    \214\ Id. P 94.
---------------------------------------------------------------------------

    103. We adopt the NOPR proposal to require RTOs/ISOs to report the 
size of each commitment. In the NOPR, we described this value as the 
upper economic operating limit of the committed resource in MW (i.e., 
its economic maximum).\215\ We continue to believe this requirement 
will provide transparency into the size of the system need associated 
with the operator-initiated commitment. However, RTOs/ISOs may propose, 
on compliance, an alternative metric and must demonstrate that it 
provides transparency into the size of the system need associated with 
the operator-initiated commitment that is consistent with or superior 
to that provided by the economic maximum of each committed resource. 
This should address SPP's assertion that this resource parameter should 
not be posted because it is considered competitive information.
---------------------------------------------------------------------------

    \215\ Id. P 91.
---------------------------------------------------------------------------

    104. As with the Zonal Uplift Report discussed above, we adopt the 
NOPR proposal and define ``transmission zone'' as a geographic area 
that is used for the local allocation of charges and find that this 
definition balances the benefits of greater transparency with the 
desire to preserve a reasonable level of protection of potentially 
commercially-sensitive information. As discussed above, RTOs/ISOs may 
have multiple existing types of zones that could meet our definition. 
We believe that there are transparency benefits to using the same set 
of zones for the Zonal Uplift Report and the Operator-Initiated 
Commitment Report. However, we acknowledge that an RTO/ISO may have a 
legitimate reason for using a more or less granular set of zones for 
one or the other of the two reports and the decision to provide less 
granularity on one report does not necessitate less granularity for 
both reports simply to maintain consistency between reports. On 
compliance, we require each RTO/ISO to include in its tariff the type 
of zone that it proposes to use in its Operator-Initiated Commitment 
Report, explain how the chosen type of zone meets the definition of 
transmission zone adopted in this Final Rule, and provide justification 
for any differences between the sets of zones used for the two reports.
    105. We adopt the NOPR proposal and require that the Operator-
Initiated Commitment Reports include the reason for each commitment. In 
the NOPR, the Commission requested comment as to whether the Commission 
should define a common set of categories of commitment reasons for use 
across all RTOs/ISOs and, if so, what reasons should be included, or 
whether to allow each RTO/ISO to establish a set of appropriate 
operator-initiated commitment reasons on compliance. As EEI suggests, 
requiring a common set of commitment reasons will help ensure that 
RTOs/ISOs provide similar information to market participants. This 
consideration is balanced against the desire for a minimum set of 
commitment reasons that are not so broad as to provide limited 
inference about the nature of the reliability consideration addressed 
through the commitment. While no specific commitment reasons were 
suggested by commenters, the potential commitment reasons listed in the 
NOPR \216\ appear to be consistent with the broad reasons for which 
RTOs/ISOs make operator-initiated commitments. Therefore, we require 
that RTOs/ISOs, include, at a minimum, the following three commitment 
reasons: system-wide capacity, constraint management, and voltage 
support. However, we acknowledge that RTOs/ISOs may use different 
terminology or have other reasons for making operator-initiated 
commitments that do not minimize total production costs. Therefore, if 
RTOs/ISOs would like to include additional or more detailed commitment 
reasons in their Operator-Initiated Commitment Reports, they may do so.
---------------------------------------------------------------------------

    \216\ Id. P 95 and n.109.
---------------------------------------------------------------------------

    106. We clarify that we are not requiring that RTOs/ISOs identify 
resource names or specific constraints in the Operator-Initiated 
Commitment Report. We also clarify, in response to concerns from PJM 
and ISO-NE that each RTO/ISO is permitted to propose, upon compliance, 
modifications to the report to avoid disclosing information that could 
be used to harm system security.
    107. In response to NYISO's and ISO-NE's comments that it may be 
necessary to create new rules or procedures to address market power or 
anti-competitive behavior that may arise as a result of this report we 
note that any such rules or procedures would be outside the scope of 
this proceeding. RTOs/ISOs may propose any further changes they deem 
appropriate in a separate filing pursuant to section 205 of the Federal 
Power Act.\217\
---------------------------------------------------------------------------

    \217\ 16 U.S.C. 824d.
---------------------------------------------------------------------------

    108. We also confirm that RTOs/ISOs may choose to report more 
information about operator-initiated commitments or other operator 
actions. However, we find that requests by several commenters to 
require reporting of other types of commitments or other operator 
actions that may affect uplift are beyond the scope of this proceeding, 
as this requirement only addresses operator-initiated commitments.

D. Transmission Constraint Penalty Factors

1. NOPR Proposal
    109. In the NOPR, the Commission proposed to require each RTO/ISO 
to include, in its tariff: Its transmission constraint penalty factor 
values; the circumstances, if any, under which the transmission 
constraint penalty factors can set LMPs; and the procedure, if any, for 
temporarily changing the transmission constraint penalty factor values. 
The Commission further proposed that any procedure for temporarily 
changing transmission constraint penalty factor values must provide for 
notice of the change to market participants.\218\
---------------------------------------------------------------------------

    \218\ NOPR, FERC Stats. & Regs. ] 32,721 at Regulatory Text.
---------------------------------------------------------------------------

    110. The Commission reasoned that transparency into transmission 
constraint penalty factors and associated practices is important 
because the penalty factors and practices can affect prices. Without an 
understanding of the level of transmission constraint penalty factors 
or under what circumstances they can set LMPs or be temporarily 
changed, market participants may not be able to hedge transactions 
appropriately or raise concerns into RTO/ISO practices through the 
stakeholder process.\219\
---------------------------------------------------------------------------

    \219\ Id. P 80.
---------------------------------------------------------------------------

2. Comments
    111. Many commenters support the proposed requirement that all 
RTOs/ISOs include provisions related to transmission constraint penalty 
factors in their tariffs.\220\ Potomac Economics

[[Page 18151]]

explains that transmission constraint penalty factors represent the 
maximum re-dispatch cost that a RTO/ISO will incur to resolve 
congestion on a constraint, and are generally used to set the 
congestion components of LMPs when a constraint is violated. Because 
penalty factors can set prices and affect dispatch, Potomac Economics 
supports requiring RTOs/ISOs to file transmission constraint penalty 
factors, and any provisions to adjust them, in their tariffs to be 
reviewed and approved by the Commission.\221\ Competitive Suppliers 
state that transmission constraint penalty factors affect prices and 
uplift, so transparency around their use is important for market 
participants to understand their impact.\222\ MISO asserts that 
transparency around transmission constraint penalty factors can 
increase confidence that market outcomes are rational and encourage 
dialogue to improve market efficiency, while Financial Marketers 
Coalition asserts that a lack of transparency around these practices 
can lead to confusion and uncertainty in understanding and forecasting 
prices.\223\ No commenters express opposition to the requirements 
proposed in the NOPR.
---------------------------------------------------------------------------

    \220\ APPA/NRECA Comments at 12-13; AWEA Comments at 10; 
Competitive Suppliers Comments at 10; Designated Marketers Comments 
at 6; Direct Energy Comments at 10; EEI Comments at 10; Financial 
Marketers Coalition Comments at 45; Golden Spread Comments at 5; 
MISO Comments at 19; NYISO Comments at 1; PJM Comments at 15; PJM 
Market Monitor Comments at 10; Potomac Economics Comments at 12-13; 
R Street Institute Comments at 6; TAPS Comments at 10; XO Energy 
Replacement Comments at 37, 39.
    \221\ Potomac Economics Comments at 12-13.
    \222\ Competitive Suppliers Comments at 10.
    \223\ Financial Marketers Coalition Comments at 45; MISO 
Comments at 18.
---------------------------------------------------------------------------

    112. Several RTOs/ISOs state that they currently comply, plan to 
comply, or could comply with the proposed requirements. MISO and MISO 
Transmission Owners assert that MISO's tariff is consistent with the 
proposal.\224\ MISO also notes that it posts shadow prices, 
transmission constraint penalty factors, and reasons for temporary 
overrides of transmission constraint penalty factors in reports on its 
website.\225\ CAISO states that its tariff already contains the penalty 
factors and their impacts on market outcomes for each of its markets 
and market calculations.\226\ NYISO intends to file tariff revisions 
with the Commission independent of the NOPR, which will align with the 
proposed requirements of the NOPR.\227\ PJM supports including certain 
provisions related to transmission constraint penalty factors in its 
tariff.\228\ The PJM Market Monitor explains that it has recommended 
that PJM include transmission constraint penalty factor values in its 
tariff, and explicitly state its policy on the use of these penalty 
factors in setting LMP, the appropriate triggers of these penalty 
factors, and when they should be used to set the shadow prices of 
transmission constraints.\229\ ISO-NE allows that it could specify more 
information on transmission constraint penalty factors in its 
tariff.\230\
---------------------------------------------------------------------------

    \224\ MISO Comments at 18-19 (citing Schedule 28A of its 
Tariff); MISO Transmission Owners Comments at 5 n.17.
    \225\ MISO Comments at 19.
    \226\ CAISO Comments at 11-12.
    \227\ NYISO Comments at 12. Since its comments, NYISO has 
subsequently filed transmission constraint pricing tariff revisions 
with the Commission. N.Y. Indep. Sys. Operator, Inc., Docket No. 
ER17-1453-000 (June 14, 2017) (delegated letter order).
    \228\ PJM Comments at 15.
    \229\ PJM Market Monitor Comments at 10 (citing PJM, 2015 Annual 
State of the Market Report, v. 2, Section 3: Energy Market (March 
2016), http://www.monitoringanalytics.com/reports/PJM_State_of_the_Market/2015/2015-som-pjm-volume2-sec3.pdf).
    \230\ ISO-NE Comments at 44-45.
---------------------------------------------------------------------------

    113. Several commenters explicitly support the proposal requiring 
RTOs/ISOs to explain in their tariffs when transmission constraint 
penalty factors can set LMPs, if ever.\231\ Potomac Economics, XO 
Energy, and R Street Institute explain that when a constraint is 
violated, some RTOs/ISOs relax the constraint to reduce the shadow 
price to less than the penalty factor, which reduces congestion 
components of LMPs.\232\ Potomac Economics explains that if, for 
example, an RTO/ISO has a penalty factor of $1,000 and the unit that is 
re-dispatched to manage the constraint has a marginal cost of $999, the 
congestion will be determined by the $999 shadow price. However, if the 
RTO/ISO relaxes the constraint, thereby diminishing reliability, the 
``relaxed'' shadow price that determines the congestion cost may be 
well below the penalty factor.\233\
---------------------------------------------------------------------------

    \231\ Competitive Suppliers Comments at 10; EEI Comments at 10; 
Financial Marketers Coalition Comments at 45; Golden Spread Comments 
at 5; PJM Market Monitor Comments at 10; Potomac Economics Comments 
at 16; R Street Institute Comments at 6; XO Energy Replacement 
Comments at 37.
    \232\ Potomac Economics Comments at 14-15; R Street Institute 
Comments at 6; XO Energy Comments at 37-39.
    \233\ Potomac Economics Comments at 14-15.
---------------------------------------------------------------------------

    114. R Street Institute argues that relaxing transmission 
constraints to prevent penalty factors from setting prices distorts 
congestion price formation, which undermines efficient commitment and 
dispatch in the short term and distorts market investments and 
retirements in the long term.\234\ XO Energy asserts that penalty 
prices are in place to improve price formation when all economic 
actions are exhausted, and that constraint relaxation masks the 
underlying violation.\235\ XO Energy further argues that RTOs/ISOs that 
do not allow penalty factors to set price should explain and justify 
the conditions for relaxing a constraint.\236\ Financial Marketers 
Coalition states that arbitrary standards on when transmission 
constraint penalty factors can set LMPs can afford considerable 
discretion to dispatchers and can lead to confusion among market 
participants.\237\
---------------------------------------------------------------------------

    \234\ R Street Institute Comments at 6.
    \235\ XO Energy Comments at 38.
    \236\ Id. at 37.
    \237\ Financial Marketers Coalition Comments at 45.
---------------------------------------------------------------------------

    115. Potomac Economics suggests that the Commission not only 
require RTOs/ISOs to explain how penalty factors contribute to setting 
LMP, but require that penalty factors set shadow prices for violated 
constraints.\238\ The PJM Market Monitor agrees that penalty factors 
should affect LMPs in the same manner that generator offer prices 
affect LMPs, so if the flow on a transmission constraint exceeds the 
line limit, the shadow price of the constraint should equal the 
transmission constraint penalty factor.\239\
---------------------------------------------------------------------------

    \238\ Potomac Economics Comments at 16.
    \239\ PJM Market Monitor Comments at 11.
---------------------------------------------------------------------------

    116. Multiple commenters explicitly support the proposed 
requirement that RTOs/ISOs include in their tariffs any procedures for 
changing penalty factors and provide notice of any such changes to 
market participants.\240\ Potomac Economics states that it has observed 
RTOs/ISOs increasing or decreasing the transmission constraint penalty 
factors in real-time operations for a variety of reasons.\241\ Potomac 
Economics states that RTOs/ISOs generally increase a penalty factor 
when a violation raises more serious reliability concerns than normal 
and decrease a factor in real-time to reduce the real-time congestion 
pricing for a violated constraint. Potomac Economics states that 
whether increasing or decreasing the factors, these actions can 
profoundly affect LMPs, unit commitments, dispatch levels, and 
reliability, and therefore RTOs/ISOs should file any provisions to 
adjust them.\242\
---------------------------------------------------------------------------

    \240\ EEI Comments at 10; Golden Spread Comments at 5; PJM 
Market Monitor Comments at 10; R Street Institute Comments at 5; XO 
Energy Replacement Comments at 39.
    \241\ Potomac Economics Comments at 12-13.
    \242\ Id. at 13-14.
---------------------------------------------------------------------------

    117. XO Energy states that MISO currently posts any overridden 
transmission constraint demand curves through its real-time market and 
provides reasons for such overrides in its next-day market 
reports.\243\ In contrast, XO Energy notes that PJM does not provide 
any indication or rationale for changing transmission constraint 
penalty factors, but generally performs a

[[Page 18152]]

price correction the following day that is only evident through 
increased or decreased shadow prices.\244\ ISO-NE and TAPS state that 
tariff provisions on transmission constraint penalty factors should be 
flexible enough to permit system operators to modify these factors in 
real-time to maintain reliability of the system and otherwise 
temporarily change these values to account for changes in system 
conditions.\245\ CAISO states that while it currently cannot 
temporarily change penalty prices, it does not object to obtaining such 
flexibility in its tariff or to describing in its tariff the relevant 
conditions for utilizing such flexibility.\246\
---------------------------------------------------------------------------

    \243\ XO Energy Replacement Comments at 39-40.
    \244\ Id. at 40.
    \245\ ISO-NE Comments at 44-45; TAPS Comments at 10.
    \246\ CAISO Comments at 11-12.
---------------------------------------------------------------------------

    118. Potomac Economics makes two recommendations to strengthen the 
requirement to file transmission constraint penalty factors. Potomac 
Economics states that the Commission should require or encourage RTOs/
ISOs to file multi-point demand curves, as in MISO and NYISO, rather 
than single penalty values because demand curves demonstrate that the 
size of the violation matters from a reliability perspective. XO Energy 
also supports the implementation of the demand curve approach used in 
MISO.\247\
---------------------------------------------------------------------------

    \247\ XO Energy Replacement Comments at 43.
---------------------------------------------------------------------------

    119. Potomac Economics also suggests that the Commission clarify 
that penalty values should correspond to the reliability concerns that 
arise when constraints are violated. Potomac Economics states that, 
while estimating the reliability value of a transmission constraint can 
be challenging, reasonable values can be set that reflect the relative 
reliability concern associated with violating different 
constraints.\248\
---------------------------------------------------------------------------

    \248\ Potomac Economics Comments at 14.
---------------------------------------------------------------------------

    120. XO Energy states that RTO/ISO actions to affect the 
percentages of thermal limits used for controlling constraints also can 
mask violations of thermal limits and affect how high shadow prices can 
bind. XO Energy therefore suggests enhancing the transparency of 
operator actions surrounding Limit Controls.\249\
---------------------------------------------------------------------------

    \249\ XO Energy Replacement Comments at 36, 39 (citing PJM, 
Transmission Constraint Control Logic in Market Clearing Engines 
(March 2017), http://www.pjm.com/~/media/committees-groups/
committees/mic/20170308/20170308-informational-only-transmission-
constraint-control-logic-in-mces.ashx).
---------------------------------------------------------------------------

3. Determination
    121. We adopt the NOPR proposal and require that each RTO/ISO 
include in its tariff on an on-going basis: (1) The transmission 
constraint penalty factor values used in its market software; \250\ (2) 
the circumstances, if any, under which the transmission constraint 
penalty factors can set LMPs; \251\ and (3) the procedures, if any, for 
temporarily changing transmission constraint penalty factor values. We 
also require that any procedures for temporarily changing transmission 
constraint penalty factor values must provide for notice of the change 
to market participants as soon as practicable.\252\ We find that 
transmission constraint penalty factors have the potential to 
materially affect energy and ancillary services prices so they should 
be included in the tariff. Further, greater transparency into 
transmission constraint penalty factors will allow market participants 
to understand how an RTO's/ISO's actions and practices affect clearing 
prices. We agree with commenters that, without transparency into 
transmission constraint penalty factors, market participants cannot 
understand the impact of these factors on LMPs or effectively engage in 
dialogue or transactions to improve market efficiencies. Accordingly, 
we adopt the proposal in the NOPR. On compliance, each RTO/ISO is 
required to include its current transmission constraint penalty factors 
and associated current practices in its tariff. The three Transmission 
Constraint Penalty Factor Requirements also apply to any subsequent 
changes to an RTO's/ISO's penalty factor values and practices.
---------------------------------------------------------------------------

    \250\ As proposed in the NOPR, if the RTO/ISO includes different 
transmission constraint penalty factors for different purposes 
(e.g., unit commitment and economic dispatch, day-ahead versus real-
time), we require that all sets of transmission constraint penalty 
factors be included in the tariff. See NOPR, FERC Stats. & Regs. ] 
32,721 at P 97.
    \251\ As proposed in the NOPR, RTOs/ISOs should provide 
explanations in their tariffs if they have different processes for 
allowing transmission constraint penalty factors to set LMPs in 
different circumstances, as well as any specific restrictions or 
conditions under which transmission constraint penalty factors are 
allowed to set LMPs. NOPR, FERC Stats. & Regs. ] 32,721 at P 98.
    \252\ NOPR, FERC Stats. & Regs. ] 32,721 at PP 96-99.
---------------------------------------------------------------------------

    122. We clarify that we are not requiring RTOs/ISOs to have 
procedures to temporarily change their transmission constraint penalty 
factor values. Rather, if an RTO/ISO currently has the flexibility to 
temporarily override transmission constraint penalty factor values, for 
example, to account for reliability concerns, the circumstances under 
which the factors may be changed and any procedures for doing so must 
be included in the RTO's/ISO's tariff. We appreciate requests that the 
Commission require RTOs/ISOs to adopt specific practices in developing 
transmission constraint penalty factors and specifications for how 
transmission constraint penalty factors can set LMPs. However, we find 
that such requests go beyond the scope of this rule, which is focused 
on transparency into current RTO/ISO practices related to transmission 
constraint penalty factors. Accordingly, we will not address those 
requests here. Further, RTOs/ISOs may propose any changes they deem 
appropriate to their current practices related to transmission 
constraint penalty factors in a separate filing pursuant to section 205 
of the Federal Power Act.\253\
---------------------------------------------------------------------------

    \253\ 16 U.S.C. 824d.
---------------------------------------------------------------------------

E. Other Comments Requested

1. Reporting of Transmission Outages
    123. In the NOPR, the Commission requested comment on whether 
additional reporting of transmission outages should be required, noting 
that transmission outages are an important facet of price formation 
because they can affect RTO/ISO commitment and dispatch decisions and 
resulting market clearing prices.\254\
---------------------------------------------------------------------------

    \254\ NOPR, FERC Stats. & Regs. ] 32,721 at P 98.
---------------------------------------------------------------------------

a. Comments
    124. Most RTOs/ISOs state that they already provide information on 
transmission outages. MISO states that it posts all transmission 
outages on OASIS on an hourly basis.\255\ ISO-NE states that it 
currently posts both long- and short-term reports on transmission 
outages, updated on a daily and 15-minute basis, respectively.\256\ 
NYISO states that it posts information regarding scheduled and actual 
outages of 100 kV and higher transmission facilities on its website in 
machine-readable format.\257\ PJM states that it posts outages on its 
website.\258\
---------------------------------------------------------------------------

    \255\ MISO Comments at 19.
    \256\ ISO-NE Comments at 45.
    \257\ NYISO Comments at 12.
    \258\ PJM Comments at 15.
---------------------------------------------------------------------------

    125. Several commenters support additional transparency into 
transmission outages.\259\ The PJM Market Monitor asserts that more 
consistent and timely outage reporting is important to 
transparency.\260\ Potomac Economics and AWEA argue that additional 
reporting of transmission outages would improve market

[[Page 18153]]

efficiency and reduce uncertainty for participants.\261\
---------------------------------------------------------------------------

    \259\ AWEA Comments at 10; Direct Energy Comments at 10; 
Diversified Trading/eXion Energy Comments at 5-7; EDF Comments at 1-
5; PJM Market Monitor Comments at 11; Potomac Economics Comments at 
11-12; XO Energy Replacement Comments at 43-45.
    \260\ PJM Market Monitor Comments at 11.
    \261\ AWEA Comments at 10; Potomac Economics Comments at 11-12.
---------------------------------------------------------------------------

    126. XO Energy contends that all RTOs/ISOs should be required to 
post all known transmission outages in real-time at the same frequency 
as real-time dispatch, using EMS model detail. XO Energy also contends 
that planned and emergency outages known and included in the day-ahead 
market solution should be included as an additional report posted with 
each RTO/ISO day-ahead market solution.\262\
---------------------------------------------------------------------------

    \262\ XO Energy Replacement Comments at 43-44.
---------------------------------------------------------------------------

    127. Diversified Trading/eXion Energy and XO Energy contend that 
RTOs/ISOs should be required to post all outages that are modified or 
cancelled after the close of the day-ahead market, as well as the 
impact of cancelled outages on prices and uplift. Diversified Trading/
eXion Energy further contend that this posting should also include the 
reason for the cancellation or modification, the transmission owner, 
and the frequency with which the transmission owner has cancelled or 
modified outages after the cut-off.\263\
---------------------------------------------------------------------------

    \263\ Diversified Trading/eXion Energy Comments at 5-7; XO 
Energy Replacement Comments at 44-45.
---------------------------------------------------------------------------

    128. EDF asserts that there is a need for RTOs/ISOs to incorporate 
economic assessments into their transmission outage scheduling 
practices and moves that the Commission establish a technical 
conference to address the impact of transmission outages on RTO/ISO 
commitment and dispatch decisions and resulting market clearing 
prices.\264\ EDF contends that RTOs/ISOs typically only assess the 
reliability impact of outages and do not consider economic impacts. EDF 
contends that an economic assessment of transmission outages should be 
possible, at relatively low cost, most of the time, with no reliability 
impact, given sufficient advanced planning.\265\
---------------------------------------------------------------------------

    \264\ EDF Comments at 1.
    \265\ Id. at 5.
---------------------------------------------------------------------------

    129. On the other hand, MISO and PJM contend that additional 
reporting requirements are unnecessary,\266\ while MISO Transmission 
Owners contend that any further reporting requirements may be 
duplicative.\267\ Several commenters also bring up confidentiality 
concerns. PJM argues that posting additional information may risk 
releasing confidential market participant information because the 
status of a unit or station would be identified via this posting.\268\ 
MISO Transmission Owners similarly state that outage information may 
contain CEII or other confidential information that should not be 
identified publicly.\269\ MISO Transmission Owners contend that 
transmission outages are not fully explored in the NOPR and may be 
better left to a future rulemaking.\270\ Finally, ISO-NE notes that 
outages that only impact specific generation or other supply resources 
are considered market sensitive and excluded from reports. However, 
ISO-NE states that stakeholders have discussed whether to expand 
current reporting practices to include the market sensitive outages in 
reports.\271\
---------------------------------------------------------------------------

    \266\ MISO Comments at 19; PJM Comments at 12.
    \267\ MISO Transmission Owners Comments at 15.
    \268\ PJM Comments at 15.
    \269\ MISO Transmission Owners Comments at 15; PJM Comments at 
15.
    \270\ MISO Transmission Owners Comments at 14-15.
    \271\ ISO-NE Comments at 45.
---------------------------------------------------------------------------

b. Determination
    130. We appreciate the input from multiple commenters on the 
reporting of transmission outages. In the NOPR, the Commission sought 
comment on this topic but did not make a specific proposal. 
Accordingly, based on the record in this proceeding, we will not 
require additional reporting for transmission outages at this time.
2. Availability of Market Models
    131. In the NOPR, the Commission requested comment on whether 
certain classes of market participants are prohibited from obtaining 
the network models in certain RTOs/ISOs and the justification for any 
such restrictions. The Commission defined ``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).'' \272\
---------------------------------------------------------------------------

    \272\ NOPR, FERC Stats. & Regs. ] 32,721 at P 101.
---------------------------------------------------------------------------

a. Comments
    132. Financial Marketers Coalition and XO Energy explain that there 
are several different types of market models and discuss the varying 
availability of different market models between market participant 
classes across RTOs/ISOs. XO Energy asserts that MISO and SPP provide a 
fair amount of detail and that PJM, NYISO, and CAISO provide the least 
amount of model detail.\273\
---------------------------------------------------------------------------

    \273\ Financial Marketers Coalition Comments at 40-44; XO Energy 
Replacement Comments at 45-47.
---------------------------------------------------------------------------

    133. ISO-NE and MISO state they provide network models to all 
market participants.\274\ However, NYISO and PJM state that market 
models are only available to a subset of market participants.\275\ 
NYISO explains that its network model is only available to participants 
in the Transmission Congestion Market, upon request. NYISO states it is 
not available to others because it includes certain modifications to 
account for system assumptions utilized in that market.\276\ PJM states 
that certain entities are prohibited from accessing network models. PJM 
explains that in some instances it may share some of these models with 
certain entities, such as Transmission Owners, but only to coordinate 
the reliability of the transmission system with PJM, not for the sake 
of market transparency.\277\
---------------------------------------------------------------------------

    \274\ ISO-NE Comments at 45-46; MISO Comments at 20.
    \275\ NYISO Comments at 12-13; PJM Comments at 11-12.
    \276\ NYISO Comments at 12-13.
    \277\ PJM Comments at 11-12.
---------------------------------------------------------------------------

    134. Some commenters argue against the wider dissemination of 
market models, noting confidentiality concerns.\278\ The PJM Market 
Monitor argues that there is no efficiency gain and potential market 
power issues could arise from the wider dissemination of market 
models.\279\ Other commenters argue that market models should be 
available to all market participants,\280\ or that releasing market 
models subject to CEII protection or non-disclosure agreements is 
appropriate.\281\ XO Energy, for example, asserts that access to market 
models would allow market participants to place transactions that 
increase market efficiency and reliability.\282\
---------------------------------------------------------------------------

    \278\ MISO Transmission Owners Comments at 14-15; PJM Comments 
at 11-12.
    \279\ PJM Market Monitor Comments at 11-12.
    \280\ AWEA Comments at 10-14; Designated Marketers Comments at 
7; TAPS Comments at 10; XO Energy Replacement Comments at 45-47.
    \281\ Appian Way Comments at 8; Designated Marketers Comments at 
7; ISO-NE Comments at 45-46; XO Energy Replacement Comments at 45-
47.
    \282\ XO Energy Reply Comments at 8.
---------------------------------------------------------------------------

b. Determination
    135. We appreciate the input from multiple commenters on the 
availability of market models. In the NOPR, the Commission sought 
comment on this topic but did not make a specific proposal. 
Accordingly, based on the record in this proceeding, we will not 
require changes to the accessibility of market models at this time.

V. Compliance and Implementation Timelines

    136. In the NOPR, the Commission proposed to require that each RTO/
ISO submit a compliance filing within 90 days of the effective date of 
the Final

[[Page 18154]]

Rule. The Commission also requested comment on whether 90 days provided 
sufficient time for RTOs/ISOs to develop new tariff language in 
response to the Final Rule. The Commission also proposed that tariff 
changes implementing the Final Rule must become effective no more than 
six months after compliance filings are due.\283\
---------------------------------------------------------------------------

    \283\ NOPR, FERC Stats. & Regs. ] 32,721 at P 102.
---------------------------------------------------------------------------

A. Comments

    137. The Commission did not propose separate compliance and 
implementation deadlines for the uplift cost allocation and 
transparency reforms. Accordingly, most of the comments received on 
this subject understandably address compliance and implementation 
assuming that the Final Rule would address both proposed reforms. We do 
not discuss comments that solely addressed compliance and 
implementation of the proposed uplift cost allocation reform.
    138. MISO requests that the Commission consider a compliance 
timeline of 120 days, citing a need to review existing protocols, 
refine current processes to reflect any changes stemming from the NOPR 
proposal, and discuss changes with stakeholders. MISO requests that the 
Commission consider an implementation timeline of 365 days, as MISO 
estimates that the coding and testing of new software will likely take 
a minimum of 60 to 90 days.\284\
---------------------------------------------------------------------------

    \284\ MISO Comments at 20-21.
---------------------------------------------------------------------------

    139. ISO-NE states that the 90-day compliance deadline is too short 
as it leaves insufficient time to consult with stakeholders, consider 
alternative compliance approaches and develop and file tariff changes. 
ISO-NE also asserts that the six-month deadline appears arbitrary. ISO-
NE concludes that the Commission should allow RTOs/ISOs to submit a 
compliance proposal and schedule that reflects each region's unique 
circumstances, which may vary significantly.\285\ However, ISO-NE's 
support for its position focuses on the proposed uplift cost allocation 
reforms, which are not a part of this Final Rule. PJM supports the 90-
day compliance deadline. PJM states specifically that it could 
implement the proposed transparency changes within nine months after 
issuance of a final rule.\286\ NYISO is silent on the compliance 
deadline, but states that it would require at least nine months for 
implementation.\287\ CAISO and SPP do not comment on compliance or 
implementation timelines.
---------------------------------------------------------------------------

    \285\ ISO-NE Comments at 46-47.
    \286\ PJM Comments at 17.
    \287\ NYISO Comments at 13.
---------------------------------------------------------------------------

    140. Direct Energy states that the shorter the period for 
implementing the changes to transparency requirements the better, as 
the changes will only enhance RTO/ISO markets.\288\ APPA and NRECA 
recommend that the Commission seek input from RTOs/ISOs regarding the 
feasibility and timing of their ability to comply with the transparency 
provisions.\289\
---------------------------------------------------------------------------

    \288\ Direct Energy Comments at 11.
    \289\ APPA and NRECA Comments at 2, 13.
---------------------------------------------------------------------------

B. Determination

    141. In the NOPR, the Commission did not propose separate 
compliance and implementation deadlines for the uplift cost allocation 
and transparency reforms. Most of the comments received on this subject 
address compliance and implementation assuming a Final Rule would 
address both initiatives, and in several cases, focused only on 
compliance and implementation related to the uplift cost allocation 
initiative. As this Final Rule only addresses the transparency 
initiative, we reason that some of the proposed compliance and 
implementation deadline concerns may be alleviated. We agree with 
Direct Energy that it is preferable that the transparency benefits of 
these reforms be realized as quickly as possible. Therefore, we require 
that each RTO/ISO submit a compliance filing within 60 days of the 
effective date of this Final Rule that establishes in its tariff the 
three reporting requirements and one requirement related to 
transmission constraint penalty factors as described herein. Further, 
we require tariff changes to become effective no more than 120 days 
after compliance filings are due.

VI. Information Collection Statement

    142. The Paperwork Reduction Act (PRA) \290\ 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,\291\ in turn, require approval of certain information 
collection requirements imposed by agency rules. Upon approval of a 
collection(s) of information, OMB will assign an OMB control number and 
an expiration date. Respondents subject to the filing requirements of a 
rule will not be penalized for failing to respond to these 
collection(s) of information unless the collection(s) of information 
display a valid OMB control number.
---------------------------------------------------------------------------

    \290\ 44 U.S.C. 3501-3520.
    \291\ 5 CFR 1320 (2017).
---------------------------------------------------------------------------

    143. In this Final Rule, we are amending the Commission's 
regulations to improve the operation of organized wholesale electric 
power markets operated by RTOs/ISOs. We require that each RTO/ISO: (1) 
Report, on a monthly basis, uplift payments for each transmission zone, 
broken out by day and uplift category (Zonal Uplift Report); (2) 
report, on a monthly basis, total uplift payments for each resource 
(Resource-Specific Uplift Report); (3) report, on a monthly basis, for 
each operator-initiated commitment, the size of the commitment, 
transmission zone, commitment reason, and commitment start time 
(Operator-Initiated Commitment Report); 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 (LMP), and any process by which they can be changed 
(Transmission Constraint Penalty Factor Requirements).
    144. The reforms required in this Final Rule include a one-time 
tariff filing with the Commission due 60 days after the effective date 
of this Final Rule. The reforms will also require each RTO/ISO to 
maintain and post the three reports on an ongoing basis. We estimate 
this will require about 36 hours each year (three hours each month) for 
each RTO/ISO. We anticipate the reforms proposed in this Final Rule, 
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.\292\
---------------------------------------------------------------------------

    \292\ 44 U.S.C. 3507(d).
---------------------------------------------------------------------------

    145. In the NOPR, the Commission requested 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. The comments and the 
Commission's determinations related to these issues are discussed 
above.

[[Page 18155]]

    Burden Estimate and Information Collection Costs: The Commission 
believes that the burden estimates below are representative of the 
average burden on respondents, including necessary communications with 
stakeholders. The estimated burden and cost \293\ for the requirements 
contained in this Final Rule follow.\294\
---------------------------------------------------------------------------

    \293\ The estimated hourly cost (salary plus benefits) provided 
in this section are based on the salary figures for May 2016 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 benefits effective September 2017 (issued 12/15/2017, available 
at http://www.bls.gov/news.release/ecec.nr0.htm). The hourly 
estimates for salary plus benefits are: (a) Legal (code 23-0000), 
$143.68; (b) Computer and Mathematical (code 15-0000), $60.70; (c) 
Information Security Analyst (code 15-1122), $66.34; (d) Accountant 
and Auditor (code 13-2011), $53.00; (e) Information and Record Clerk 
(code 43-4199), $39.14; (e) Electrical Engineer (code 17-2071), 
$68.12; (f) Economist (code 19-3011), $77.96; (g) Computer and 
Information Systems Manager (code 11-3021), $100.68; (h) Management 
(code 11-0000), $81.52. The average hourly cost (salary plus 
benefits), weighting all of these skill sets equally, is $76.79. For 
these calculations, we round that figure to $77 per hour.
    \294\ The RTOs/ISOs (CAISO, SPP, MISO, PJM, NYISO, and ISO-NE) 
are required to comply with the reforms in this Final Rule.

                                            FERC-516G, as Implemented by the Final Rule in Docket RM17-2-000
--------------------------------------------------------------------------------------------------------------------------------------------------------
                                           Number of      Annual  number                                              Total annual burden      Cost per
                                          respondents      of  responses    Total number    Average  burden hours   hours and total  annual   respondent
                                             \295\        per  respondent   of responses    and cost per  response            cost               ($)
                                                    (1)               (2)     (1) x (2) =  (4)....................  (3) x (4) = (5)........    (5) / (1)
                                                                                      (3)
--------------------------------------------------------------------------------------------------------------------------------------------------------
One-Time Effort (in Year 1) to (a)                    6                 1               6  500 hrs.; $38,500......  3,000 hrs.; $231,000...      $38,500
 establish process for reporting on
 company website,\296\ & (b) submit
 tariff filing.
Ongoing Preparing and Posting of 3                    6                12              72  3 hrs.; $231...........  216 hrs.; $16,632......        2,772
 reports on company website each
 month (starting in Year 1), as
 mentioned above.
--------------------------------------------------------------------------------------------------------------------------------------------------------

    Cost to Comply: The Commission has projected the total cost of 
compliance to industry to be: One-time in Year 1, $231,000; and 
ongoing, starting in Year 1, $16,632.
---------------------------------------------------------------------------

    \295\ Respondent entities are either RTOs or ISOs.
    \296\ This includes monthly reporting/posting on the company 
website for: (1) The Zonal Uplift Report (posting within 20 days of 
end of month), (2) the Resource-Specific Uplift Report (posting 
within 90 days of end of month), and (3) the Operator-Initiated 
Commitments Report (posting within 30 days of the end of month).
---------------------------------------------------------------------------

    Title: FERC-516G, Electric Rate Schedules and Tariff Filings in 
Docket RM17-2-000.
    Action: New information collection.
    OMB Control No.: 1902-0295.
    Respondents for this Rulemaking: RTOs/ISOs.
    Frequency of Information: One-time, and ongoing posting to company 
website.
    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.
    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. 1902-0295.

VII. Environmental Analysis

    146. 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.\297\ The 
Commission concludes that neither an Environmental Assessment nor an 
Environmental Impact Statement is required for this Final Rule under 
section 380.4(a)(15) of the Commission's regulations, which provides a 
categorical exemption for approval of actions under sections 205 and 
206 of the Federal Power Act relating to the filing of schedules 
containing all rates and charges for the transmission or sale of 
electric energy subject to the Commission's jurisdiction, plus the 
classification, practices, contracts and regulations that affect rates, 
charges, classifications, and services.\298\
---------------------------------------------------------------------------

    \297\ Regulations Implementing the National Environmental Policy 
Act, Order No. 486, 52 FR 47897 (Dec. 17, 1987), FERC Stats. & Regs. 
] 30,783 (1987).
    \298\ 18 CFR 380.4(a)(15) (2017).
---------------------------------------------------------------------------

VIII. Regulatory Flexibility Act

    147. The Regulatory Flexibility Act of 1980 (RFA) \299\ generally 
requires a description and analysis of final 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.
---------------------------------------------------------------------------

    \299\ 5 U.S.C. 601-612.
---------------------------------------------------------------------------

    148. This rule would apply to six RTOs/ISOs (all of which are 
transmission organizations). The average estimated annual PRA-related 
cost to each of the RTOs/ISOs is $41,272 (one-time and ongoing costs) 
in Year 1, and $2,772 (ongoing cost) in Year 2 and beyond. This cost of 
implementing these changes is not significant. Additionally, the RTOs/
ISOs are not small entities, as defined by the RFA.\300\ 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.

[[Page 18156]]

Furthermore, because of their pivotal roles in wholesale electric power 
markets in their regions, none of the RTOs/ISOs meet the last criterion 
of the two-part RFA definition a small entity: ``not dominant in its 
field of operation.'' As a result, we certify that this Final Rule 
would not have a significant economic impact on a substantial number of 
small entities.
---------------------------------------------------------------------------

    \300\ 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.
---------------------------------------------------------------------------

IX. Document Availability

    149. 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 FERC's Home Page (http://www.ferc.gov) and in FERC'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.
    150. 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.
    151. User assistance is available for eLibrary and the FERC's 
website during normal business hours from FERC 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].

X. Effective Date and Congressional Notification

    152. These regulations are effective July 9, 2018. The Commission 
has determined, with the concurrence of the Administrator of the Office 
of Information and Regulatory Affairs of OMB, that this rule is not a 
``major rule'' as defined in section 251 of the Small Business 
Regulatory Enforcement Fairness Act of 1996. The Final Rule will be 
provided to both Houses of Congress, the Government Accountability 
Office, and the Small Business Administration.

List of Subjects in 18 CFR Part 35

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

    By the Commission.

    Issued: April 19, 2018.
Nathaniel J. Davis, Sr.,
Deputy Secretary.

Regulatory Text

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

PART 35--FILING OF RATE SCHEDULES AND TARIFFS

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

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

0
2. Amend Sec.  35.28 by adding paragraph (g)(10) to read as follows:


Sec.  35.28   Non-discriminatory open access transmission tariff.

* * * * *
    (g) * * *
    (10) Transparency--(i) 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 website. 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 one or more 
neighboring transmission zones, until each aggregated zone contains at 
least four resources, and reported collectively. This report shall be 
posted within 20 calendar days of the end of each month. 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. This 
report shall be posted within 90 calendar days of the end of each 
month.
    (ii) Reporting Operator-Initiated Commitments. Each Commission-
approved independent system operator or regional transmission 
organization must post a report of each operator-initiated commitment 
listing the size of the commitment, transmission zone, commitment 
reason, and commitment start time on a publicly accessible portion of 
its website within 30 calendar days of the end of each month. 
Transmission zone shall be defined as a geographic area that is used 
for the local allocation of charges. Commitment reasons shall include, 
but are not limited to, system-wide capacity, constraint management, 
and voltage support.
    (iii) Transmission constraint penalty factors. Each Commission-
approved 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 appear in the Code of 
Federal Regulations.

Appendix--List of Short Names/Acronyms of Commenters

------------------------------------------------------------------------
          Short name/acronym                       Commenter
------------------------------------------------------------------------
APPA/NRECA...........................  American Public Power Association
                                        and National Rural Electric
                                        Cooperative Association.
Appian Way...........................  Appian Way Energy Partners, LLC.
AWEA.................................  American Wind Energy Association.
Brookfield...........................  Brookfield Energy Marketing LP.
CAISO................................  California Independent System
                                        Operator Corporation.
CAISO Market Monitor.................  Department of Market Monitoring
                                        for the California Independent
                                        System Operator Corporation.
California SWP.......................  California Department of Water
                                        Resources State Water Project.
Calpine..............................  Calpine Energy Solutions, LLC.
Competitive Suppliers................  Electric Power Supply
                                        Association; PJM Power
                                        Providers; and Western Power
                                        Trading Forum.
Direct Energy........................  Direct Energy Business, LLC, on
                                        behalf of itself and its
                                        affiliate, Direct Energy
                                        Business Marketing, LLC.
Diversified Trading/eXion Energy.....  Diversified Trading Company, LLC
                                        and eXion Energy, Inc.
EDF..................................  EDF Renewable Energy, Inc.

[[Page 18157]]

 
EEI..................................  Edison Electric Institute.
ELCON................................  Electricity Consumers Resource
                                        Council.
Exelon...............................  Exelon Corporation.
Financial Marketers Coalition........  Financial Marketers Coalition.
Golden Spread........................  Golden Spread Electric
                                        Cooperative, Inc.
ISO-NE...............................  ISO New England, Inc.
IRC..................................  ISO/RTO Council.
Joint Marketers......................  DC Energy, LLC; Mercuria Energy
                                        Trading, Inc.; and Perdisco
                                        Trading, LLC.
MISO.................................  Midcontinent Independent System
                                        Operator, Inc.
MISO Transmission Owners.............  Ameren Services Company, as agent
                                        for Union Electric Company d/b/a
                                        Ameren Missouri, Ameren Illinois
                                        Company d/b/a Ameren Illinois
                                        and Ameren Transmission Company
                                        of Illinois; Big Rivers Electric
                                        Corporation; Central Minnesota
                                        Municipal Power Agency; City
                                        Water, Light & Power
                                        (Springfield, IL); Cleco Power
                                        LLC; Cooperative Energy;
                                        Dairyland Power Cooperative;
                                        Duke Energy Business Services,
                                        LLC for Duke Energy Indiana,
                                        LLC; East Texas Electric
                                        Cooperative; Entergy Arkansas,
                                        Inc.; Entergy Louisiana, LLC;
                                        Entergy Mississippi, Inc.;
                                        Entergy New Orleans, Inc.;
                                        Entergy Texas, Inc.; Great River
                                        Energy; Hoosier Energy Rural
                                        Electric Cooperative, Inc.;
                                        Indiana Municipal Power Agency;
                                        Indianapolis Power & Light
                                        Company; MidAmerican Energy
                                        Company; Minnesota Power (and
                                        its subsidiary Superior Water,
                                        L&P); Missouri River Energy
                                        Services; Montana-Dakota
                                        Utilities Co.; Northern Indiana
                                        Public Service Company; Northern
                                        States Power Company, a
                                        Minnesota corporation, and
                                        Northern States Power Company, a
                                        Wisconsin corporation,
                                        subsidiaries of Xcel Energy
                                        Inc.; Northwestern Wisconsin
                                        Electric Company; Otter Tail
                                        Power Company; Prairie Power
                                        Inc.; Southern Illinois Power
                                        Cooperative; Southern Indiana
                                        Gas & Electric Company (d/b/a
                                        Vectren Energy Delivery of
                                        Indiana); Southern Minnesota
                                        Municipal Power Agency; Wabash
                                        Valley Power Association, Inc.;
                                        and Wolverine Power Supply
                                        Cooperative, Inc.
NCPA.................................  Northern California Power Agency.
NYISO................................  New York Independent System
                                        Operator, Inc.
PG&E.................................  Pacific Gas and Electric Company.
PJM..................................  PJM Interconnection, L.L.C.
PJM Market Monitor...................  Monitoring Analytics, LLC, acting
                                        in its capacity as the
                                        Independent Market Monitor for
                                        PJM.
Potomac Economics....................  Potomac Economics, Ltd.
R Street Institute...................  R Street Institute.
Six Cities...........................  Cities of Anaheim, Azusa,
                                        Banning, Colton, Pasadena, and
                                        Riverside, California.
SPP..................................  Southwest Power Pool, Inc.
SPP Market Monitor...................  Southwest Power Pool, Inc. Market
                                        Monitoring Unit.
TAPS.................................  Transmission Access Policy Study
                                        Group.
XO Energy............................  XO Energy, LLC.
------------------------------------------------------------------------


[FR Doc. 2018-08609 Filed 4-24-18; 8:45 am]
 BILLING CODE 6717-01-P



                                               18134                   Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               DEPARTMENT OF ENERGY                                                       payments for each transmission zone,                                        FOR FURTHER INFORMATION CONTACT:
                                                                                                                          broken out by day and uplift category;                                      Adam Cornelius (Technical
                                               Federal Energy Regulatory                                                  requirements to report, on a monthly                                          Information), Office of Energy Policy
                                               Commission                                                                 basis, total uplift payments for each                                         and Innovation, Federal Energy
                                                                                                                          resource; requirements to report, on a                                        Regulatory Commission, 888 First
                                               18 CFR Part 35                                                             monthly basis, for each operator-                                             Street NE, Washington, DC 20426,
                                               [Docket No. RM17–2–000; Order No. 844]                                     initiated commitment, the size of the                                         (202) 502–8314, adam.cornelius@
                                                                                                                          commitment, transmission zone,                                                ferc.gov.
                                               Uplift Cost Allocation and                                                 commitment reason, and commitment                                           Katherine Scott (Technical Information),
                                               Transparency in Markets Operated by                                        start time; and the transmission                                              Office of Energy Market Regulation,
                                               Regional Transmission Organizations                                        constraint penalty factors used in its                                        Federal Energy Regulatory
                                               and Independent System Operators                                           market software, as well as the                                               Commission, 888 First Street NE,
                                                                                                                          circumstances under which those                                               Washington, DC 20426, (202) 502–
                                               AGENCY:  Federal Energy Regulatory                                         factors can set locational marginal
                                               Commission.                                                                                                                                              6495, Katherine.Scott@ferc.gov.
                                                                                                                          prices, and any process by which they
                                               ACTION: Final rule.                                                                                                                                    Colin Beckman (Legal Information),
                                                                                                                          can be changed. The Commission is
                                                                                                                                                                                                        Office of the General Counsel, Federal
                                               SUMMARY:   The Federal Energy                                              withdrawing its proposal to require that
                                                                                                                                                                                                        Energy Regulatory Commission, 888
                                               Regulatory Commission is revising its                                      each RTO/ISO that currently allocates
                                                                                                                                                                                                        First Street NE, Washington, DC
                                               regulations to improve transparency                                        the costs of real-time uplift to deviations
                                                                                                                                                                                                        20426, (202) 502–8049,
                                               practices for regional transmission                                        allocate such real-time uplift costs only
                                                                                                                                                                                                        colin.beckman@ferc.gov
                                               organizations (RTO) and independent                                        to those market participants whose
                                                                                                                          transactions are reasonably expected to                                     SUPPLEMENTARY INFORMATION:
                                               system operators (ISO). The                                                                                                                            Before Commissioners: Kevin J. McIntyre,
                                               Commission requires that each RTO/ISO                                      have caused the real-time uplift costs.
                                                                                                                                                                                                        Chairman; Cheryl A. LaFleur, Neil
                                               establish in its tariff: Requirements to                                   DATES:       This rule is effective July 9,                                   Chatterjee, Robert F. Powelson, and
                                               report, on a monthly basis, total uplift                                   2018.                                                                         Richard Glick.

                                                                                                                                           TABLE OF CONTENTS
                                                                                                                                                                                                                                                 Paragraph Nos.

                                               I. Introduction ...............................................................................................................................................................................                 1
                                               II. Background ...............................................................................................................................................................................                 10
                                                     A. Current RTO/ISO Practices ..............................................................................................................................................                              12
                                                         1. Reporting Uplift .........................................................................................................................................................                        13
                                                         2. Reporting Operator-Initiated Commitments .............................................................................................................                                            17
                                                         3. Transmission Constraint Penalty Factors .................................................................................................................                                         20
                                               III. Need for Reform ......................................................................................................................................................................                    21
                                                     A. Comments .........................................................................................................................................................................                    23
                                                     B. Determination ...................................................................................................................................................................                     27
                                               IV. Transparency Reforms ............................................................................................................................................................                          30
                                                     A. Zonal Uplift Report ..........................................................................................................................................................                        36
                                                         1. NOPR Proposal ...........................................................................................................................................................                         36
                                                         2. Comments ...................................................................................................................................................................                      39
                                                         3. Determination .............................................................................................................................................................                       50
                                                     B. Resource-Specific Uplift Report .......................................................................................................................................                               63
                                                         1. NOPR Proposal ...........................................................................................................................................................                         63
                                                         2. Comments ...................................................................................................................................................................                      66
                                                         3. Determination .............................................................................................................................................................                       74
                                                     C. Operator-Initiated Commitments .....................................................................................................................................                                  83
                                                         1. NOPR Proposal ...........................................................................................................................................................                         83
                                                         2. Comments ...................................................................................................................................................................                      87
                                                         3. Determination .............................................................................................................................................................                       99
                                                     D. Transmission Constraint Penalty Factors ........................................................................................................................                                     109
                                                         1. NOPR Proposal ...........................................................................................................................................................                        109
                                                         2. Comments ...................................................................................................................................................................                     111
                                                         3. Determination .............................................................................................................................................................                      121
                                                     E. Other Comments Requested .............................................................................................................................................                               123
                                                         1. Reporting of Transmission Outages ..........................................................................................................................                                     123
                                                         2. Availability of Market Models ..................................................................................................................................                                 131
                                               V. Compliance and Implementation Timelines ..........................................................................................................................                                         136
                                                     A. Comments .........................................................................................................................................................................                   137
                                                     B. Determination ...................................................................................................................................................................                    141
                                               VI. Information Collection Statement ..........................................................................................................................................                               142
                                               VII. Environmental Analysis ........................................................................................................................................................                          146
                                               VIII. Regulatory Flexibility Act ...................................................................................................................................................                          147
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                                               IX. Document Availability ...........................................................................................................................................................                         149
                                               X. Effective Date and Congressional Notification .......................................................................................................................                                      152
                                               Appendix: List of Short Names/Acronyms of Commenters.




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                                                                 Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                              18135

                                               I. Introduction                                            3. Because out-of-market actions and               signals. Finally, increased transparency
                                                  1. In this Final Rule, the Federal                   the resulting uplift costs are not                    into uplift payments, operator-initiated
                                               Energy Regulatory Commission                            reflected in market prices, these costs               commitments, and transmission
                                               (Commission) finds that current regional                and the reasons for incurring such costs              constraint penalty factors will allow
                                               transmission organization (RTO) and                     are inherently less transparent. Out-of-              market participants to assess and
                                               independent system operator (ISO)                       market actions can at times mask system               advocate for improvements to RTO/ISO
                                               practices with respect to reporting uplift              conditions, which limits the ability of               practices in these areas. Therefore, we
                                               payments and operator-initiated                         competitive electric markets to send                  set forth transparency requirements for
                                               commitments,1 and RTO/ISO tariff                        appropriate price signals to compensate               each RTO/ISO in this Final Rule.
                                               provisions regarding transmission                       and financially encourage investment in                  5. We are adopting the transparency
                                               constraint penalty factors 2 are                        resource attributes that respond to                   proposal in the Notice of Proposed
                                               insufficiently transparent, resulting in                system needs. Lack of transparency                    Rulemaking (NOPR) 4 with the following
                                               rates that are not just and reasonable for              concerning both uplift costs and                      modifications: (1) Change the
                                               the reasons discussed below. To remedy                  operator-initiated actions can also limit             permissible level of zonal aggregation
                                               these unjust and unreasonable rates, we                 valuable input from stakeholders, for                 for the Zonal Uplift Report; (2) change
                                               require, pursuant to section 206 of the                 example, during RTO/ISO transmission                  the timing of the release of the
                                               Federal Power Act,3 that each RTO/ISO                   planning processes, or in committees                  Resource-Specific Uplift Report from
                                               establish in its tariff: (1) Requirements               that review RTO/ISO resource                          within twenty calendar days of the end
                                               to report, on a monthly basis, total uplift             adequacy. Ensuring system needs are                   of each month to within ninety calendar
                                               payments for each transmission zone,                    transparent to market participants is a               days from the end of each month; (3)
                                               broken out by day and uplift category                   critical step in finding cost-effective               change the timing of the release of the
                                               (Zonal Uplift Report); (2) requirements                 solutions to the operational challenges               Operator-Initiated Commitment Report
                                               to report, on a monthly basis, total uplift             RTOs/ISOs face to support reliable                    from four hours after the time of the
                                               payments for each resource (Resource-                   operations and resilience. Reporting                  commitment to within thirty calendar
                                               Specific Uplift Report); (3) requirements               information about uplift and operator                 days of the end of each month; and (4)
                                               to report, on a monthly basis, for each                 initiated commitments helps ensure                    change the details to be reported about
                                                                                                       these system needs are transparent to                 each operator-initiated commitment.
                                               operator-initiated commitment, the size
                                                                                                       the marketplace.                                      These changes will help address
                                               of the commitment, transmission zone,
                                                                                                                                                             concerns expressed by commenters
                                               commitment reason, and commitment                          4. Although all RTOs/ISOs provide                  related to the potential disclosure of
                                               start time (Operator-Initiated                          some information regarding the                        commercially-sensitive information, the
                                               Commitment Report); and (4) the                         locations and causes of uplift and                    burden on RTOs/ISOs of meeting the
                                               transmission constraint penalty factors                 operator-initiated commitments, the                   requirements of this Final Rule, and the
                                               used in its market software, as well as                 information is often highly aggregated or             transparency value of consistent
                                               the circumstances under which those                     lacks detail, and is not consistently                 reporting.
                                               factors can set locational marginal                     reported across markets. Current                         6. The goals of the price formation
                                               prices (LMP), and any process by which                  reporting practices regarding uplift and              proceeding are to: (1) Maximize market
                                               they can be changed (Transmission                       the reasons for making operator-                      surplus for consumers and suppliers; (2)
                                               Constraint Penalty Factor                               initiated commitments do not provide                  provide correct incentives for market
                                               Requirements).                                          adequate transparency for stakeholders                participants to follow commitment and
                                                  2. We reach this conclusion for                      to understand the needs of the system                 dispatch instructions, make efficient
                                               several reasons. RTO/ISO markets can                    and recognize the resource attributes                 investments in facilities and equipment,
                                               be affected by a number of operational                  that are required to meet these needs.                and maintain reliability; (3) provide
                                               challenges such as unplanned                            This lack of transparency hinders the                 transparency so that market participants
                                               transmission and generation outages                     ability of market participants to plan for            understand how prices reflect the actual
                                               and the need to maintain adequate                       and efficiently respond to system needs               marginal cost of serving load and the
                                               voltage throughout the system.                          in a cost-effective manner, resulting in              operational constraints of reliably
                                               Limitations in the ability of the market                rates that are unjust and unreasonable.               operating the system; and (4) ensure that
                                               software to incorporate all reliability                 Improving the availability of                         all suppliers have an opportunity to
                                               considerations can at times result in                   information about the location and                    recover their costs.5
                                               prices that fail to reflect some of these               causes of uplift and operator-initiated                  7. The reforms in this Final Rule
                                               challenges. In such situations, certain                 commitments would enhance market                      primarily address the third price
                                               resources needed to reliably serve load                 participants’ ability to evaluate the need            formation goal listed above. Uplift
                                               may not economically clear the market                   for, and the value of investment in,                  payments reflect the portion of the cost
                                               and RTOs/ISOs must take out-of-market                   transmission and generation. Increased                of reliably serving load that is not
                                               actions (i.e., operator-initiated                       transparency could also facilitate more
                                               commitments) to ensure system needs                     informed stakeholder discussions that                    4 Uplift Cost Allocation and Transparency in

                                               are met. These actions give rise to uplift              support capacity or transmission                      Markets Operated by Regional Transmission
                                               costs.                                                                                                        Organizations and Independent System Operators,
                                                                                                       planning to address future reliability                82 FR 9539 (Feb. 7, 2017), FERC Stats. & Regs.
                                                                                                       and resilience issues. Additionally,                  ¶ 32,721, at P 82 (2017) (NOPR).
                                                 1 As described below, for the purpose of this rule,
                                                                                                       RTO/ISO practices with respect to                        5 See, e.g., Price Formation in Energy and
                                               the Commission defines an operator-initiated                                                                  Ancillary Services Markets Operated by Regional
                                                                                                       transmission constraint penalty factors
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                                               commitment as a commitment after the day-ahead                                                                Transmission Organizations and Independent
                                               market for a reason other than minimizing the total     can significantly affect clearing prices.             System Operators, Order Directing Reports, 153
                                               production costs of serving load.                       Improving transparency into such                      FERC ¶ 61,221, at P 2 (2015) (Order Directing
                                                 2 Transmission constraint penalty factors are the
                                                                                                       practices would enhance market                        Reports); Price Formation in Energy and Ancillary
                                               values at which an RTO’s/ISO’s market software          participants’ understanding of how                    Services Markets Operated by Regional
                                               will relax the limit on a transmission constraint                                                             Transmission Organizations and Independent
                                               rather than continue to re-dispatch resources to        energy prices are formed and thus                     System Operators, Notice Inviting Post-Technical
                                               relieve congestion associated with that constraint.     would enhance their ability to hedge                  Workshop Comments, Docket No. AD14–14–000, at
                                                 3 16 U.S.C. 824e.                                     transactions and respond to market                    1 (Jan. 16, 2015).



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                                               18136            Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               included in market prices. Operator-                    uplift allocation; and transparency.6 The             number of monthly reports to market
                                               initiated commitments are made to                       order directed each RTO/ISO to file a                 participants on categories of uplift costs;
                                               preserve reliability and can affect both                report providing an update on its                     the reports aggregate the uplift data by
                                               market prices and uplift. RTO/ISO                       current practices and any efforts to                  category and month, and provide
                                               practices associated with transmission                  address issues in the five topic areas,               historical monthly data for
                                               constraint penalty factors, which                       and responding to specific questions                  comparison.12 MISO also posts a
                                               establish the price level and cost of re-               contained in the order. In the reports                Revenue Sufficiency Guarantee 13
                                               dispatch the RTO/ISO is willing to incur                filed and subsequent comments, RTOs/                  Report eight days after the operating
                                               to relieve congestion on transmission                   ISOs and commenters addressed the                     day, which includes uplift payments by
                                               constraints, can affect commitments and                 topic of transparency, which is the                   hour, category, and relevant
                                               market prices. Improved transparency                    subject of this Final Rule.                           transmission constraint.14 CAISO
                                               into these areas will enable market                        11. In the instant proceeding, on                  aggregates uplift data to its 10 existing
                                               participants to better understand drivers               January 19, 2017, the Commission                      local capacity requirement areas and
                                               of market prices and the extent to which                issued a NOPR proposing reforms to                    reports daily total uplift costs for each
                                               prices reflect the true marginal cost of                improve uplift cost allocation and to                 month by the market in which the uplift
                                               reliably serving load. As noted above,                  enhance transparency. As noted above,                 is incurred (e.g., day-ahead or real-time),
                                               the uplift and operator-initiated                       we withdraw the proposed uplift cost                  and by the type of costs incurred (e.g.,
                                               commitment reports will also help                       allocation reforms. With respect to                   start-up costs, minimum load costs or
                                               market participants align their                         transparency, the NOPR proposed to                    energy bid costs).15 PJM has recently
                                               investments in facilities and equipment                 require that each RTO/ISO: (1) Report                 adopted new rules to allow the
                                               with the needs of the system, thus also                 total uplift payments for each                        reporting of daily uplift information by
                                               addressing the second price formation                   transmission zone on a monthly basis,                 transmission zone within seven
                                               goal. Finally, such investments, as well                broken out by day and uplift category;                business days after the end of each
                                               as market participants’ enhanced ability                (2) report total uplift payments for each             month.16 SPP reports uplift information
                                               to understand and suggest changes to                    resource on a monthly basis; (3) report               by category with daily granularity.17
                                               RTO/ISO uplift and commitment                           the megawatts (MW) of operator-                          14. RTO/ISO reporting practices are
                                               practices, may ultimately shift some of                 initiated commitments in or near real-                driven, in part, by the time needed to
                                               the cost of serving load out of uplift and              time and after the close of the day-ahead             complete the settlement process. For
                                               into market prices. Prices that more                    market, broken out by zone and                        example, ISO–NE and PJM report some
                                               accurately reflect the cost of serving                  commitment reason; and (4) list in its                uplift information within three to five
                                               load have the potential to result in                    tariff the transmission constraint                    business days based on their initial
                                               improved market efficiency and                          penalty factors, the circumstances under              settlement periods, while CAISO
                                               increased market surplus for consumers                  which they can set LMPs, and the                      provides uplift cost information based
                                                                                                       procedure by which they can be                        on its 12-business-day recalculation
                                               and suppliers, thus also addressing the
                                                                                                       changed temporarily.7 The Commission                  statement.18
                                               first price formation goal. These benefits
                                                                                                                                                                Because of this lag, RTOs/ISOs
                                               will help to ensure just and reasonable                 also requested comments on specific
                                                                                                                                                             typically report uplift on a monthly
                                               rates.                                                  aspects of each requirement.8
                                                                                                                                                             basis, aggregated to a zonal or settlement
                                                  8. As discussed below, we require                    A. Current RTO/ISO Practices                          area level.
                                               each RTO/ISO to submit a filing with                                                                             15. Most RTOs/ISOs cite
                                                                                                         12. In the NOPR, the Commission
                                               the tariff changes needed to implement                                                                        confidentiality issues as an additional
                                                                                                       reviewed the current transparency
                                               this Final Rule within 60 days of the                                                                         reason for their current reporting
                                                                                                       practices of each of the RTOs/ISOs,9
                                               Final Rule’s effective date, and we                                                                           practices, particularly in zones with few
                                                                                                       based largely on the reports made by the
                                               require that tariff changes filed in                                                                          market participants.19 Uplift
                                                                                                       RTOs/ISOs in response to the
                                               response to this Final Rule become
                                                                                                       Commission’s Order Directing
                                               effective no more than 120 days after                                                                         NYISO, Report on Price Formation Issues, Docket
                                                                                                       Reports.10 We do so again briefly in this             No. AD14–14, at 56–57, 59 (NYISO Report).
                                               compliance filings are due.
                                                                                                       Final Rule.                                             12 MISO, Report on Price Formation Issues,

                                                  9. Finally, in the NOPR the                                                                                Docket No. AD14–14, at 59–60 (MISO Report).
                                               Commission also proposed to require                     1. Reporting Uplift                                     13 Revenue Sufficiency Guarantee is a type of

                                               that each RTO/ISO that currently                                                                              uplift in MISO that ensures the recovery of the
                                                                                                         13. All RTOs/ISOs report information                production and operating reserve costs of a resource
                                               allocates the costs of real-time uplift to              about uplift payments. However, the                   that has been committed and scheduled by MISO
                                               deviations allocate such real-time uplift               extent of the information reported varies             in its day-ahead or real-time energy and operating
                                               costs only to those market participants                 widely. For example, ISO–NE and                       reserve markets. See MISO, FERC Electric Tariff,
                                               whose transactions are reasonably                                                                             1.D, Definitions—D (45.0.0); 1.R, Definitions—R
                                                                                                       NYISO provide monthly uplift reports                  (48.0.0).
                                               expected to have caused the real-time                   that are generally aggregated across                    14 MISO Comments at 11–12.
                                               uplift costs. As discussed below, we                    zones and over the month as well as                     15 See CAISO, Monthly Market Performance

                                               withdraw the uplift cost allocation                     daily uplift reports aggregated across                Report, http://www.caiso.com/Pages/documents
                                               proposal and do not make any                            their entire systems.11 MISO provides a               bygroup.aspx?GroupID=A9180EE4-8972-4F3B-
                                                                                                                                                             9CB8-21D0809B645E. See also CAISO, Report on
                                               requirements related to uplift cost                                                                           Price Formation Issues, Docket No. AD14–14, at 56
                                               allocation in this Final Rule.                            6 Order  Directing Reports, 153 FERC ¶ 61,221.      (CAISO Report).
                                                                                                         7 NOPR,   FERC Stats. & Regs. ¶ 32,721 at P 82.       16 PJM, Business Practice Manual 33; PJM
                                               II. Background
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                                                                                                         8 A list of commenters and the abbreviated names
                                                                                                                                                             Comments at 11–12.
                                                                                                       used for them in this Final Rule appears in the         17 SPP, Report on Price Formation Issues, Docket
                                                 10. In November 2015, the                             Appendix.                                             No. AD14–14, at 40 (SPP Report).
                                               Commission issued an order that                           9 NOPR, FERC Stats. & Regs. ¶ 32,721 at PP 59–        18 CAISO Report at 58; ISO–NE Report at 64–65;

                                               directed each RTO/ISO to report on five                 66.                                                   PJM, Report on Price Formation Issues, Docket No.
                                                                                                         10 Order Directing Reports, 153 FERC ¶ 61,221.      AD14–14, at 51 (PJM Report).
                                               price formation topics: Fast-start                        11 ISO–NE Comments at 42; ISO–NE, Report on           19 ISO–NE Report at 61, 67; NYISO Report at 60–
                                               pricing; managing multiple                              Price Formation Issues, Docket No. AD14–14, at 46–    61; PJM Comments at 11; PJM Report at 48; SPP
                                               contingencies; look-ahead modeling;                     47 (ISO–NE Report); NYISO Comments at 5–6;            Report at 44.



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                                                                Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                                 18137

                                               information is typically aggregated to                  commitment, with a reference to the                   price that the system will pay before
                                               avoid publishing information on                         relevant reliability rule, if applicable.25           allowing flows to exceed a given
                                               individual resources. All RTOs/ISOs                        18. In addition, all RTOs/ISOs                     transmission element’s limit.32 The
                                               assert that they are prohibited from                    provide summary reports of operator-                  penalty factors are typically set at levels
                                               publicly revealing resource-specific                    initiated commitments over longer time                that are high enough to avoid relaxing
                                               data, as specified in their confidentiality             periods. CAISO’s monthly performance                  constraints too frequently, but low
                                               rules.20 Some RTOs/ISOs note that they                  report provides metrics on exceptional                enough to avoid extremely expensive re-
                                               cannot provide information on a more                    dispatch and other operator actions                   dispatch solutions that are more
                                               granular basis without changes to their                 organized by market (i.e., day-ahead or               expensive than the expected cost of
                                               confidentiality rules or information                    real-time), trade date, reason, or local              exceeding a given transmission
                                               policies.21                                             area.26 CAISO also files a monthly                    element’s limit. Although these penalty
                                                  16. Some uplift information is                       report on the frequency and volume of                 factors can have significant impacts on
                                               publicly available. For example, all                    exceptional dispatch, pursuant to                     prices, some RTOs/ISOs do not file the
                                               public utilities and certain non-public                 directives in previous Commission                     penalty factors with the Commission or
                                               utilities are required to report uplift                 orders.27 ISO–NE publishes weekly,                    make public any temporary changes to
                                               payments in the Commission’s Electric                   monthly, and quarterly reports that                   them. Specifically, PJM and ISO–NE do
                                               Quarterly Report (EQR) within 30 days                   describe notable operational events, but              not include transmission constraint
                                               following the end of a quarter. Most                    it does not provide any information                   penalty factors in their respective tariffs,
                                               EQR filers report uplift payments with                  regarding the location or capacity of                 but the other RTOs/ISOs do.33 Further,
                                               at least daily granularity. Depending on                committed units.28 ISO–NE also reports                MISO is the only RTO/ISO that details
                                               the granularity provided by the filer,                  the number of units committed after the               in its tariff how transmission constraint
                                               and whether the filer reports its EQR as                close of the day-ahead market (but not                penalty factors are changed
                                               a single resource, EQR uplift                           including real-time commitments) each                 temporarily.34
                                               information can also sometimes identify                 day.29 SPP reports monthly the MWs of
                                               a specific unit and its location. EQR                                                                         III. Need for Reform
                                                                                                       operator-initiated commitments.30
                                               contains a single ‘‘uplift’’ category                      19. PJM states that, although its                     21. In the NOPR, the Commission
                                               which does not differentiate between                    confidentiality provisions prevent it                 preliminarily found that some existing
                                               different types of uplift (e.g., day-ahead,             from reporting individual operator-                   RTO/ISO practices of reporting uplift
                                               voltage and local reliability). EQR                     initiated commitments in real-time, it                and operator-initiated commitments are
                                               information is available to the public via              does provide regionally aggregated                    insufficiently transparent and may
                                               the Commission’s website.                               information on uneconomic                             result in unjust and unreasonable rates.
                                                                                                       commitments in the day-ahead market                   Specifically, the Commission stated
                                               2. Reporting Operator-Initiated                                                                               that, while all RTOs/ISOs provide some
                                               Commitments                                             at the end of the business day. In
                                                                                                       addition, PJM posts total capacity                    information regarding the locations and
                                                  17. RTOs/ISOs also vary in the                       committed during the Reliability                      causes of uplift and operator-initiated
                                               amount, granularity, and timing of                      Assessment and Commitment period to                   commitments, the information is often
                                               information that is reported on operator-               meet forecasted load and reserves, as                 highly aggregated or lacks detail. The
                                               initiated commitments. For example,                     well as resources committed for                       Commission posed, as an example,
                                               CAISO, MISO, and NYISO provide                                                                                reports that aggregate uplift payments
                                                                                                       transmission constraints, voltage/
                                               information regarding operator-initiated                                                                      over the month, which can obscure
                                                                                                       reactive constraints, or conservative
                                               commitments either shortly after the                                                                          daily trends that allow market
                                                                                                       operations.31 ISO–NE also states that its
                                               operating day or in near real-time. MISO                                                                      participants to evaluate the effectiveness
                                                                                                       confidentiality provisions prohibit
                                               reports the hourly aggregated economic                                                                        of current operating practices of RTOs/
                                                                                                       reporting of operator-initiated
                                               maximum MWs of committed resources                                                                            ISOs. The Commission stated that this
                                                                                                       commitments in real-time.
                                               by commitment reason and relevant                                                                             lack of transparency hinders the ability
                                               constraint in near real-time,22 while                   3. Transmission Constraint Penalty                    of market participants to plan and
                                               CAISO reports the daily aggregated                      Factors                                               efficiently respond to system needs. The
                                               megawatt-hours of exceptional                              20. Transmission constraint penalty                Commission reasoned that improving
                                               dispatches 23 (which include operator-                  factors are the values at which an                    the availability of information about the
                                               initiated commitments) by reason                        RTO’s/ISO’s market software will relax                location and causes of uplift and
                                               several days after the operating day.24                 the flow-based limit on a transmission                operator-initiated commitments could
                                               Throughout the operating day, NYISO                     element to relieve a constraint caused                allow market participants to evaluate
                                               posts operational announcements that                    by that limit rather than re-dispatch                 the need for and the value of investment
                                               provide information about individual                    resources to relieve the constraint. The              in transmission and generation, as well
                                               operator-initiated commitments,                         cost of re-dispatching resources can be               as assess operator-initiated commitment
                                               including the units involved, level of                  described as the re-dispatch price.                   practices and raise any issues of concern
                                               unit commitment, and the reason for the                 Transmission constraint penalty factors               through the stakeholder process. The
                                                                                                       represent the maximum re-dispatch                     Commission posed, as an example, the
                                                  20 CAISO Report at 59; NYISO Report at 58; PJM
                                                                                                                                                             scenario of releasing information about
                                               Report at 50–51; SPP Report at 42; ISO–NE Report
                                                                                                          25 NYISO Comments at 8 & n.29; NYISO Report
                                               at 63–64; MISO Report at 58–59.                                                                                 32 Transmission constraint penalty factors create
                                                  21 PJM Report at 48; ISO–NE Report at 61.            at 56–57 and n.32.
                                                                                                          26 CAISO Report at 56.                             a cap on the shadow price of a transmission
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                                                  22 MISO Comments at 16–17.
                                                                                                          27 Id. at 56. See also Cal. Indep. Sys. Operator
                                                                                                                                                             constraint. See Potomac Economics Comments,
                                                  23 CAISO states that its system operator issues                                                            Docket No. AD14–14–000, at 20–21 (Feb. 24, 2015).
                                               exceptional dispatches to resources to address          Corp., 131 FERC ¶ 61,100 (2010) (clarifying the         33 CAISO, MRTU Tariff 27.4.3.1–27.4.3.2; MISO,
                                               system issues that cannot be addressed by the           reporting timeline for reporting exceptional
                                                                                                                                                             FERC Electric Tariff, Schedule 28A; NYISO Tariffs,
                                               constraints modeled within the market. CAISO            dispatches).
                                                                                                          28 ISO–NE Report at 60.
                                                                                                                                                             NYISO Markets and Services Tariff 1.20; SPP,
                                               Report at 41.                                                                                                 OATT, Sixth Revised Volume No. 1, Attachment
                                                                                                          29 Id. at 61–62.
                                                  24 See CAISO, Daily Exceptional Dispatch Report,                                                           AE, 8.3.2, Addendum 1.
                                                                                                          30 SPP Report at 40.
                                               http://www.caiso.com/market/Pages/Daily                                                                         34 MISO, FERC Electric Tariff, Schedule 28A;

                                               ExceptionalDispatch/Default.aspx.                          31 PJM Report at 49–50.                            MISO Comments at 19.



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                                               18138              Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               uplift incurred to address a local                       and the actions that cause uplift is an               the proposed transparency
                                               reliability issue. This information, the                 important step to minimizing system                   requirements.49
                                               Commission reasoned, could potentially                   uplift costs, and that by allowing                       25. CAISO states that it supports
                                               incent market participants to advocate                   visibility into the causes, location, and             greater market transparency but argues
                                               for changes to the RTO’s/ISO’s                           frequency of uplift payments, market                  that its existing reporting practices on
                                               operational procedures or to undertake                   participants will have the information                uplift payments and exceptional
                                               investments that could resolve the local                 necessary to advocate effectively for                 dispatch provide sufficient
                                               reliability issue more efficiently. The                  improvements to the RTO/ISO                           transparency, and that additional
                                               Commission further reasoned that, by                     operational procedures and market rules               reporting would be overly burdensome
                                               helping to incent appropriate market                     and, more importantly, to discover and                and problematic for CAISO.50
                                               responses to system needs, increased                     invest in cost-saving opportunities.42                   26. The Commission also proposed in
                                               transparency could improve market                        Financial Marketers Coalition state that              the NOPR to require that each RTO/ISO
                                               efficiency, and could ultimately reduce                  transparency is critical to a well-                   that currently allocates the costs of real-
                                               the level of uplift, thereby resulting in                functioning organized market because it               time uplift to deviations allocate such
                                               rates that are just and reasonable.35                    is the key to proper price signals.43                 real-time uplift costs only to those
                                                  22. The Commission also                                                                                     market participants whose transactions
                                               preliminarily found that a lack of                          24. Several commenters express                     are reasonably expected to have caused
                                               transparency with respect to                             general support for the proposed                      the real-time uplift costs. Although
                                               transmission constraint penalty factors                  transparency reforms, but do not                      some commenters support the proposed
                                               may result in unjust and unreasonable                    comment in-depth on the need for                      uplift allocation reforms,51 others
                                               rates. Specifically, the Commission                      reform.44 Several other commenters                    broadly oppose the proposed reforms.52
                                               stated this lack of transparency may                     acknowledge a need for reform, but are                Still others, while not expressing
                                               make it difficult for market participants                reserved in expressing support. APPA                  outright opposition, raise significant
                                               to hedge transactions appropriately or to                and NRECA state that they have long                   concerns about whether a generic
                                               effectively assess RTO/ISO changes to                    supported additional transparency in                  approach to the issue is merited, or find
                                               transmission constraint penalty factors                  the RTO/ISO markets and do not oppose                 flaws in major elements of the uplift
                                               and raise concerns through the                           the proposed requirements, but they                   allocation proposal.53
                                               stakeholder process.36                                   caution the Commission not to overstate
                                                                                                                                                              B. Determination
                                                                                                        any potential outcomes, such as
                                               A. Comments                                              incenting market participants to                         27. Based on our analysis of the
                                                  23. Several commenters agree with                     advocate for changes to operational                   record in this proceeding, we adopt the
                                               the Commission’s preliminary finding                     procedures or incenting investments.                  preliminary findings related to
                                               in the NOPR that transparency reform is                  They add, however, that there is still                transparency in the NOPR and conclude
                                               needed. Appian Way states that greater                   value in making the information                       that the existing RTO/ISO practices of
                                               transparency will allow issues to be                     available.45 MISO Transmission Owners                 reporting uplift, operator-initiated
                                               resolved more quickly and efficiently in                 state that enabling market participants               commitments, and transmission
                                               the contexts of enforcement and                          to gain additional information regarding              constraint penalty factors are
                                               stakeholder advocacy.37 ELCON states                     the causes, frequency, and costs of out-              insufficiently transparent, resulting in
                                               that uplift payments and the reasons                     of-market actions and associated uplift               rates that are unjust and unreasonable.
                                               behind them are not currently                            costs will enhance market efficiency.46               We find that the current reporting on
                                               transparent, and that transparency is                    But they strongly oppose requiring                    uplift is insufficient because no RTO/
                                               essential no matter the size of the uplift               reporting of resource-specific                        ISO currently reports uplift on a
                                               or the cause.38 ELCON cites analysis                     information related to uplift payments,               resource-specific basis. Some RTOs/
                                               from an August 2014 Commission Staff                     stating that such reporting would have                ISOs do not report uplift by zone, and
                                               paper that outlined the potential                        an anti-competitive effect on the market,             some do not report in a machine-
                                               benefits of additional transparency.39                                                                         readable format. Additionally, reporting
                                                                                                        and would work counter to the
                                               Competitive Suppliers state that they                                                                          on operator-initiated commitments is
                                                                                                        Commission’s transparency goals
                                               strongly support the proposed                                                                                  insufficient because some RTOs/ISOs do
                                                                                                        articulated in the NOPR.47 Potomac
                                               transparency provisions, and assert that                                                                       not report the reasons for these
                                                                                                        Economics states that, in general, it
                                               increased transparency could lead to                                                                           commitments, the zones in which the
                                                                                                        supports transparency. However,
                                               reductions in uplift.40 R Street Institute               Potomac Economics asserts that                           49 EEI Comments at 6–10; ISO–NE Comments at
                                               states that price formation visibility in                immediate release of uplift information               42; PJM Market Monitor Comments at 9; SPP
                                               energy and ancillary services markets is                 is not important for transparency                     Comments at 4–5.
                                               very important for efficient market                      because uplift is a settlement process.48                50 CAISO Comments at 2–3.

                                               functionality and comments that each of                  Several commenters raise concerns                        51 See, e.g., Appian Way Comments at 3–7; Direct

                                                                                                                                                              Energy Comments at 1–10; Diversified Trading/
                                               the Commission’s proposed                                about other specific elements of the                  eXion Energy Comments at 4–5; EEI Comments at
                                               requirements is reasonable.41 Exelon                     proposal but do not generally oppose                  3–6; ELCON Comments at 5–9; Financial Marketers
                                               notes that transparency around uplift                                                                          Coalition Comments at 17–36; Golden Spread
                                                                                                          42 Exelon   Comments at 9.                          Comments at 6–10; MISO Transmission Owners
                                                 35 NOPR,   FERC Stats. & Regs. ¶ 32,721 at PP 77–        43 Financial
                                                                                                                                                              Comments at 5; Potomac Economics Comments at
                                                                                                                        Marketers Coalition Comments at 36–   3–10; XO Energy Comments at 3–53; R Street
                                               79.                                                      37.
                                                 36 Id.
                                                                                                                                                              Institute Comments at 2–4.
                                                        P 80.
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                                                                                                           44 Golden Spread Comments at 11–12; MISO
                                                                                                                                                                 52 See, e.g., CAISO Comments at 3–10; Calpine
                                                 37 Appian Way Comments at 1, 8.                        Comments at 2; NYISO Comments at 5, 12; PJM           Comments at 2–7; ISO–NE Comments at 4–41; PJM
                                                 38 ELCON Comments at 4.                                Comments at 11; PJM Market Monitor Comments at        Comments at 2–10; PJM Market Monitor Comments
                                                 39 Id. at 10 (citing FERC, Staff Analysis of Uplift    9; Potomac Economics Comments at 11, 13; SPP          at 1–9; SPP Comments at 2–3; SPP Market Monitor
                                               in RTO and ISO Markets, Docket No. AD14–14, at           Market Monitor Comments at 3.                         Comments at 2–3.
                                                                                                           45 APPA and NRECA Comments at 12–13.
                                               28 (2014), https://www.ferc.gov/legal/staff-reports/                                                              53 See, e.g., CAISO Market Monitor Comments at
                                               2014/08-13-14-uplift.pdf (Staff Analysis of Uplift)).       46 MISO Transmission Owners Comments at 5.
                                                                                                                                                              1–10; Exelon Comments at 4–7; IRC Comments at
                                                 40 Competitive Suppliers Comments at 8.                   47 Id. at 6–11.
                                                                                                                                                              2–6; PG&E Comments at 3–6; TAPS Comments at
                                                 41 R Street Institute Comments at 5–6.                    48 Potomac Economics Comments at 11.               2–8.



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                                                                Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                                 18139

                                               commitments are made, or information                    IV. Transparency Reforms                               values; the circumstances, if any, under
                                               about the size of the system needs for                     30. Having concluded that the                       which the transmission constraint
                                               which resources are committed. Finally,                 existing transparency practices result in              penalty factors can set LMPs; and the
                                               some RTOs/ISOs do not include                           rates that are not just and reasonable,                procedure, if any, for temporarily
                                               transmission constraint penalty factor                  section 206 of the Federal Power Act                   changing the transmission constraint
                                               values in their tariffs, and most do not                requires that the Commission determine                 penalty factor values. Any procedure for
                                               include practices related to the use of                 the practices that will result in rates that           temporarily changing transmission
                                               transmission constraint penalty factors                 are just and reasonable.54 We direct                   constraint penalty factor values must
                                               in their tariffs. This Final Rule will                  each RTO/ISO to establish in its tariff                provide for notice of the change to
                                               remedy these deficiencies and is                        the following three requirements related               market participants as soon as
                                               therefore necessary to achieve a level of               to uplift reporting and one requirement                practicable.
                                               transparency that will result in just and               related to transmission constraint                       35. The Zonal Uplift Report is
                                               reasonable rates.                                       penalty factors.                                       discussed in section IV.A. The
                                                  28. As described above, the                             31. Each RTO/ISO must post a                        Resource-Specific Uplift Report is
                                               transparency proposal received a broad                  monthly Zonal Uplift Report of all                     discussed in section IV.B. The Operator-
                                               level of support from commenters.                       uplift, paid in dollars, and categorized               Initiated Commitment Report is
                                                                                                       by transmission zone, day, and uplift                  discussed in section IV.C. The
                                               CAISO is the singular commenter to
                                                                                                       category. We define transmission zone                  Transmission Constraint Penalty Factor
                                               oppose the proposed transparency
                                                                                                       as a geographic area that is used for the              Requirements are discussed in section
                                               reforms outright. CAISO states that its
                                                                                                       local allocation of charges, such as a                 IV.D.
                                               reporting practices are sufficient and
                                                                                                       load zone that is used to settle charges
                                               that the burden of additional reporting                                                                        A. Zonal Uplift Report
                                                                                                       for energy. Transmission zones with
                                               would outweigh the benefits of the                      fewer than four resources may be                       1. NOPR Proposal
                                               proposed reforms. As explained below,                   aggregated with one or more
                                               we disagree that existing transparency                  neighboring transmission zones, until                     36. In the NOPR, the Commission
                                               practices are sufficient. We do, however,               each aggregated zone has at least four                 proposed to require each RTO/ISO to
                                               modify the proposed transparency                        resources, and reported collectively.                  post a report of the uplift paid in dollars
                                               requirements to reduce the potential                    This report must be posted in machine-                 and categorized by transmission zone,
                                               burden of the reforms and to address                    readable format on a publicly-accessible               day, and uplift category. The
                                               commenters’ other concerns including                    portion of the RTO’s/ISO’s website                     Commission proposed to define
                                               the potential disclosure of                             within 20 calendar days of the end of                  transmission zone as the geographic
                                               commercially-sensitive information and                  each month.                                            area that is used for the local allocation
                                               the transparency value of consistent                       32. Each RTO/ISO must post a                        of charges. The Commission proposed to
                                               reporting. These modifications are                      monthly Resource-Specific Uplift                       allow transmission zones with fewer
                                               discussed below in the subsections                      Report containing the resource name                    than four resources to be aggregated
                                               dealing with each requirement.                          and total amount of uplift paid in                     with a neighboring zone and reported
                                                                                                       dollars aggregated across the month to                 collectively. The Commission further
                                                  29. Based on our analysis of the
                                                                                                       each resource that received uplift                     proposed to allow RTOs/ISOs to omit a
                                               record in this proceeding, we decline to
                                                                                                       payments. This report must be posted in                transmission zone from reporting in a
                                               adopt the preliminary finding related to                                                                       given month if it is the only zone and
                                               uplift cost allocation in the NOPR. We                  machine-readable format on a publicly-
                                                                                                       accessible portion of the RTO’s/ISO’s                  contains fewer than four resources or if,
                                               continue to believe that uplift should                                                                         when combined with a neighboring
                                               ideally be allocated to those market                    website within 90 calendar days of the
                                                                                                       end of each month.                                     transmission zone, the combined zones
                                               participants whose transactions caused                                                                         still have fewer than four resources. The
                                               the uplift and that allocations of uplift                  33. Each RTO/ISO must post a
                                                                                                       monthly Operator-Initiated                             Commission proposed to require that
                                               costs should avoid penalizing behavior                                                                         each RTO/ISO post the report on a
                                                                                                       Commitment Report listing the
                                               that can improve price formation. That                                                                         publicly accessible portion of its
                                                                                                       commitment size, transmission zone,
                                               said, some commenters raised                                                                                   website within 20 calendar days of the
                                                                                                       commitment reason, and commitment
                                               substantial concerns about the uplift                                                                          end of each month.55
                                                                                                       start time of each operator-initiated
                                               cost allocation reforms proposed in the
                                                                                                       commitment. We define an operator-                        37. The Commission reasoned that
                                               NOPR. They expressed concern about                      initiated commitment as a commitment                   with more granular information on
                                               the application of the NOPR proposal to                 made after the day-ahead market for a                  locations, amounts, and types of uplift,
                                               certain RTOs/ISOs in light of the                       reason other than minimizing the total                 market participants would be able to
                                               reasons for uplift in these markets, and                production costs of serving load.                      better evaluate possible solutions to
                                               whether certain RTOs/ISOs would be                      Commitment reasons shall include, but                  reduce the incurrence of uplift.56 In
                                               able to implement the generic uplift cost               are not limited to, system-wide capacity,              proposing to allow RTOs/ISOs to
                                               allocation reforms proposed in the                      constraint management, and voltage                     aggregate and collectively report
                                               NOPR. We find those concerns                            support. This report must be posted in                 transmission zones with fewer than four
                                               sufficiently persuasive to decline to take              machine-readable format on a publicly                  resources and to exempt from reporting
                                               generic action at this time. Accordingly,               accessible portion of the RTO’s/ISO’s                  aggregated zones with fewer than four
                                               we withdraw the NOPR proposal to                        website within 30 calendar days of the                 resources, the Commission sought to
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                                               require that each RTO/ISO that                          end of each month.                                     balance the benefits of greater
                                               currently allocates the costs of real-time                 34. Each RTO/ISO must follow the                    transparency with concerns about the
                                               uplift to deviations allocate such real-                Transmission Constraint Penalty Factor                 potential disclosure of commercially-
                                               time uplift costs only to those market                  requirements to include, in its tariff, its
                                               participants whose transactions are                     transmission constraint penalty factor                   55 NOPR, FERC Stats. & Regs, ¶ 32,721 at
                                               reasonably expected to have caused the                                                                         Regulatory Text.
                                               real-time uplift costs.                                   54 16   U.S.C. 824e.                                   56 Id. P 84.




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                                               18140            Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               sensitive information.57 In proposing a                 transparency can be achieved without                      42. Other commenters generally differ
                                               20-day maximum reporting lag, the                       compromising confidentiality.66                        on the level of geographic granularity
                                               Commission sought to allow RTOs/ISOs                    Competitive Suppliers and Financial                    that should be reported. MISO
                                               sufficient time to prepare uplift data for              Marketers Coalition assert that the                    Transmission Owners state that the
                                               publication after completion of their                   proposed uplift report will ensure                     proposed definition of ‘‘transmission
                                               settlement windows, which vary among                    consistent disclosure of uplift                        zone’’ is unclear and could be
                                               RTOs/ISOs.58                                            information among RTOs/ISOs.67                         susceptible to multiple interpretations.
                                                 38. The Commission requested                             40. Other commenters either do not                  MISO Transmission Owners assert that
                                               comments regarding: (1) The proposed                    support the proposed zonal uplift report               the Commission should direct each
                                               definition of transmission zone,                        requirement 68 or state that they support              RTO/ISO to develop a definition of
                                               including the appropriate level of                      the goals of improved transparency into                transmission zone through its
                                               geographic granularity; 59 (2) the                      RTO/ISO uplift costs but raise concerns                stakeholder process that considers
                                               timeframe for releasing the report after                about specific elements of the proposed                regional needs and ensures that all
                                               the end of each month; 60 and (3) the                   report,69 as discussed below.                          zones are large enough to ensure that
                                               proposed requirement for a daily                                                                               resource-specific uplift payments
                                                                                                       a. Zonal Definition                                    cannot be calculated based on daily
                                               breakdown of uplift categories by charge
                                               code, including any difficulties related                   41. Responding to the Commission’s                  uplift payment reports.75 Several
                                               to such reporting and whether different                 request for comment on the proposed                    commenters argue for more granular
                                               categorizations would be more useful.61                 definition of ‘‘transmission zone’’ as a               reporting.76 R Street Institute states that
                                                                                                       geographic area that is used for the local             uplift reporting at the sub-zonal level
                                               2. Comments                                             allocation of charges,70 several RTOs/                 would be useful because causes can
                                                  39. Numerous commenters support                      ISOs provide descriptions of the                       vary within a zone, particularly with
                                               the proposed requirement for RTOs/                      geographic granularity of their current                respect to transmission congestion, but
                                               ISOs to report daily uplift payments by                 reporting. ISO–NE states that it reports               notes that more granular reporting may
                                               transmission zone and uplift category.62                uplift based on how costs are allocated:               lead to confidentiality concerns and
                                               ELCON asserts that uplift payments                      Uplift allocated at the system level is                opportunities for collusion.77 XO
                                               inherently lack transparency because                    reported on a system-wide basis; uplift                Energy argues that the uplift data should
                                               they are not included in market prices,                 allocated regionally is reported                       be as granular as possible and that
                                               and that increased information could                    regionally. ISO–NE states that it also                 aggregation into large regions is not as
                                               promote the identification of system                    reports uplift by Reliability Region,                  useful.78 Competitive Suppliers assert
                                               needs and facilitate investment.63                      which are equal to load zones used in                  that the Commission’s proposed
                                               Designated Marketers state that market                  energy settlement. ISO–NE believes it                  reporting by transmission zone should
                                               participants lack information necessary                 complies with the NOPR proposal, but                   allay any confidentiality concerns.79
                                               to invest in generation, transmission, or               requests that the Commission clarify                      43. Commenters also differ on the
                                               demand response that could prevent                      that RTOs/ISOs may propose to report                   proposal to allow RTOs/ISOs to
                                               uplift.64 Diversified Trading/eXion                     uplift costs for regions that differ from              aggregate and collectively report uplift
                                               Energy, Exelon, and Golden Spread all                   ‘‘transmission zone,’’ if appropriate.71               in transmission zones with fewer than
                                               argue that additional information on the                PJM states that it currently reports uplift            four resources.80 NYISO supports the
                                               causes of uplift will also allow market                 by transmission zone and supports the                  Commission’s proposal to allow RTOs/
                                               participants to evaluate RTO/ISO uplift                 proposed definition as long as it can use              ISOs to aggregate zones because the
                                               practices and raise concerns through                    its current zones.72 MISO states that it               reporting of daily uplift payments by
                                               stakeholder processes.65 While                          reports uplift differently depending on                zone could, under some circumstances,
                                               sympathetic to confidentiality concerns,                the uplift category. For uplift incurred               allow competitors to deduce a
                                               Competitive Suppliers assert that each                  to manage transmission constraints,                    resource’s operating costs and gain a
                                               RTO/ISO can provide more information                    MISO reports by constraint. MISO                       competitive advantage. However,
                                               on the causes of uplift, and point to                   reports voltage and local reliability                  NYISO seeks clarification on whether
                                               NYISO’s reporting practices as an                       uplift by transmission interface and                   the rule references the total number of
                                               example demonstrating that increased                    MISO region (i.e., North, South, and                   resources in the zone or the total
                                                                                                       Central). MISO argues that a lesser                    number of resources in the zone that
                                                                                                                                                              receive uplift payments in a given day.81
                                                 57 Id.  PP 87–89.                                     degree of geographic granularity is
                                                 58 Id.  P 88.                                                                                                MISO Transmission Owners and NYISO
                                                                                                       appropriate to mask ‘‘transmission
                                                  59 Id. P 85.                                                                                                argue that the aggregation should be
                                                                                                       zones’’ with few market participants.
                                                  60 Id. P 86.                                                                                                based on the number of resources
                                                                                                       MISO states that it supports the
                                                  61 Id. P 86.                                                                                                receiving uplift in order to protect
                                                                                                       proposed definition.73 NYISO notes that
                                                  62 Appian Way Comments at 8; AWEA Comments
                                                                                                                                                              confidentiality and avoid anti-
                                               at 10; Brookfield Comments at 2; Calpine Comments       it allocates uplift by Transmission
                                                                                                                                                              competitive behavior concerns.82 MISO
                                               at 8; Competitive Suppliers Comments at 9;              District subzones.74
                                               Designated Marketers Comments at 5; Direct Energy
                                               Comments at 10; Diversified Trading/eXion Energy                                                               load zone, which can span more than one load
                                                                                                         66 Competitive   Suppliers Comments at 9.
                                               Comments at 5; ELCON Comments at 9–10; Exelon                                                                  zone.
                                                                                                         67 Id. at 9; Financial Marketers Coalition             75 MISO Transmission Owners Comments at 11–
                                               Comments at 9; Financial Marketers Coalition
                                                                                                       Comments at 38.                                        12.
                                               Comments at 38; Golden Spread Comments at 11–              68 CAISO Comments at 12–13.                           76 Financial Marketers Coalition Comments at 39;
                                               12; PJM Comments at 11; PJM Market Monitor
                                                                                                          69 EEI Comments at 6; MISO Transmission
                                                                                                                                                              R Street Institute Comments at 5; XO Energy
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                                               Comments at 9; R Street Institute Comments at 5;
                                               SPP Market Monitor Comments at 3; TAPS                  Owners Comments at 5–6; NYISO Comments at 5.           Replacement Comments at 34.
                                                                                                          70 NOPR, FERC Stats. & Regs. ¶ 32,721 at P 85.        77 R Street Institute Comments at 5.
                                               Comments at 8; XO Energy Replacement Comments
                                               at 1, 34.                                                  71 ISO–NE Comments at 42–43.                          78 XO Energy Replacement Comments at 34.
                                                  63 ELCON Comments at 9.                                 72 PJM Comments at 11.                                79 Competitive Suppliers Comments at 9.

                                                  64 Designated Marketers Comments at 5.                  73 MISO Comments at 11–12.                            80 NOPR, FERC Stats. & Regs. ¶ 32,721 at P 89.

                                                  65 Diversified Trading/eXion Energy Comments at         74 NYISO Comments at 6. NYISO explains that           81 NYISO Comments at 6–7.

                                               5; Exelon Comments at 9; Golden Spread Comments         ‘‘subzones’’ are identified by investor-owned            82 MISO Transmission Owners Comments at 12;

                                               at 12.                                                  transmission owner service territories within each     NYISO Comments at 7.



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                                                                Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                              18141

                                               Transmission Owners also note that the                  would help identify market reforms to                   46. XO Energy responds to several of
                                               Commission did not explain why four is                  reduce the need for uplift payments.91                CAISO’s arguments. It notes that
                                               the appropriate number of resources on                  XO Energy asserts that aggregating data               CAISO’s current uplift reports contain
                                               which to base the aggregation.83 PJM                    into large categories reduces its                     only charts, with no mechanism to
                                               and the PJM Market Monitor oppose the                   usefulness.92                                         extract the raw data.98 XO Energy
                                               proposal to aggregate zones with fewer                                                                        generally asserts that uplift should be
                                               than four resources because the number                  c. Timing and Burden                                  reported at the same time it is settled
                                               of resources in a zone that receive uplift                 45. Several RTOs/ISOs discuss their                and specifically points out that CAISO
                                               could change from month to month,                       existing uplift reporting practices and               settles uplift three days after the
                                               resulting in inconsistent reporting,                    timing, as well as the level of additional            operating day, and therefore should be
                                               increased complexity, and decreased                                                                           able to post the uplift data within 20
                                                                                                       burden that would be required to meet
                                               transparency.84 PJM asserts that its                                                                          days of the end of the month.99 XO
                                                                                                       the proposed requirements. ISO–NE
                                               current practice of reporting by zone,                                                                        Energy suggests that if the proposed
                                                                                                       states that its existing reports appear to
                                               even if only one resource in a zone                                                                           detailed reports are too time-consuming
                                                                                                       satisfy most of the proposed
                                               receives uplift, provides sufficient                                                                          to produce quickly, RTOs/ISOs should
                                               transparency while protecting market                    requirements and that implementation                  post a simple spreadsheet on their
                                               sensitive information.85 EEI seeks                      of any new requirements should be                     website while their systems are being
                                               clarification as to whether, for                        relatively simple. ISO–NE believes that               updated.100
                                               aggregation purposes, a resource is                     20 days is sufficient time for monthly
                                                                                                       uplift reporting.93 NYISO states that                 d. Other Issues
                                               defined as an individual unit within a
                                               plant or the entire plant, noting that the              while it already reports uplift costs by                 47. Direct Energy requests that the
                                               former definition may not provide                       category on a monthly basis, it would                 Commission clarify that the
                                               sufficient confidentiality under certain                need to revise its processes for                      transparency provisions apply to all
                                               circumstances.86                                        developing and posting its report,                    uplift costs, not just those resulting in
                                                                                                       including posting in a machine-readable               allocations to deviations from day-ahead
                                               b. Categories                                           format.94 MISO states that its daily                  schedules.101
                                                  44. As noted above, numerous                         uplift report that is posted eight days                  48. EEI and MISO Transmission
                                               commenters provide general support for                  after the operating day and broken out                Owners assert that the proposed report
                                               the proposed zonal uplift report,                       by hour, category, and transmission                   would primarily benefit market
                                               including the proposed requirement to                   constraint provides sufficient                        participants, so in order to protect
                                               report by uplift category. Three RTOs/                  information on areas that need                        market participants’ confidentiality, the
                                               ISOs state that they already report uplift              transmission upgrades and supply                      information should be posted on a
                                               by category. NYISO states that it reports               resources.95 PJM states that its current              password-protected portion of an
                                               uplift cost on a monthly basis by uplift                uplift reports provide more details, such             RTO’s/ISO’s website, rather than made
                                               cost category in its Operations                         as totals by type of uplift credit, than              publicly available.102 Designated
                                               Performance Metrics Monthly Reports.87                  those proposed by the Commission and                  Marketers, on the other hand, support
                                               MISO states that its Revenue Sufficiency                are posted within seven business days                 the proposed requirement that RTOs/
                                               Guarantee Report already breaks out                     of the end of each month. PJM                         ISOs post the uplift information in a
                                               uplift payment by category, which                       consequently requests, and Calpine                    machine-readable format on an
                                               includes certain charge types as long as                concurs, that it may continue to post the             accessible portion of the RTO/ISO
                                               any market participant specific data is                 additional details and that the proposed              website. Designated Marketers argue
                                               not apparent. MISO requests that the                    timeline be a minimum standard.96                     that information that is not machine-
                                               Commission consider the risks of                        CAISO states that it already provides                 readable can reduce transparency by
                                               unmasking aggregate data when                           significant transparency on uplift                    inhibiting data processing and may
                                               contemplating a final rule requiring a                  payments on a monthly basis. CAISO                    disadvantage those that do not have
                                               daily breakdown of uplift categories by                 argues that the proposed requirements                 access to electronic versions of the data
                                               charge code.88 ISO–NE states that its                   would be costly to implement and could                through other channels.103
                                               existing reports break out costs for its                interfere with other initiatives. CAISO                  49. Exelon suggests that, in addition
                                               established uplift categories and                       further asserts that the proposed                     to the proposed reporting requirements,
                                               therefore believes that it would comply                 requirement to post uplift payment data               the Commission also require RTOs/ISOs
                                               with this provision.89 PJM seeks                        within 20 days of the end of the month                to submit a one-time report covering the
                                               clarification on the definition of charge               is unreasonable, given CAISO’s existing               years 2012 through 2016 that identifies
                                               code. PJM states that it currently                      reporting requirements and the                        uplift categories and provide the
                                               indicates market participants’ uplift                   verification necessary to ensure accurate             aggregate uplift cost associated with
                                               charges by billing line item, and that if               reporting. CAISO requests that, if the                each category.104
                                               this is what the Commission means by                    Commission were to impose these
                                               ‘‘charge code,’’ it does not object to                                                                        3. Determination
                                                                                                       reporting requirements, it be allowed to
                                               continuing this practice.90 Brookfield                  include the requested information in the                 50. We adopt the proposal that each
                                               states that uplift categories based on the              monthly reports it already produces and               RTO/ISO report, in the Zonal Uplift
                                               cause for committing units out-of-merit                                                                       Report, the total daily uplift payments
                                                                                                       posts at the end of the month following
                                                 83 MISO
                                                                                                       the month of reported data.97
                                                          Transmission Owners Comments at 12.                                                                  98 XO  Energy Reply Comments at A–2.
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                                                 84 PJM Comments at 12; PJM Market Monitor                                                                     99 XO  Energy Replacement Comments at 34; XO
                                                                                                         91 BrookfieldComments at 2.
                                               Comments at 9–10.                                                                                             Energy Reply Comments at A–3.
                                                 85 PJM Comments at 12.                                  92 XO Energy Replacement Comments at 34.              100 XO Energy Replacement Comments at 34.
                                                 86 EEI Comments at 8.                                   93 ISO–NE Comments at 43.                             101 Direct Energy Comments at 10.
                                                 87 NYISO Comments at 6.                                 94 NYISO Comments at 5–6.                             102 EEI Comments at 7; MISO Transmission
                                                 88 MISO Comments at 11.                                 95 MISO Comments at 11.                             Owners Comments at 13.
                                                 89 ISO–NE Comments at 42.                               96 Calpine Comments at 8; PJM Comments at 13.         103 Designated Marketers Comments at 8.
                                                 90 PJM Comments at 12.                                  97 CAISO Comments at 12–13.                           104 Exelon Comments at 9–10.




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                                               18142              Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               in dollars in each category paid to the                  information in a consistent format on an               the information could be used to harm
                                               resources in each transmission zone,                     ongoing basis.                                         competition or individual market
                                               subject to modifications and                                51. We address commenters’ concerns                 participants. We also point out that
                                               clarifications discussed below. We find                  regarding the Zonal Uplift Report below.               additional transparency may deter
                                               that current RTO/ISO practices do not                       52. We adopt the definition proposed                collusion and gaming and provide a
                                               provide sufficient transparency                          in the NOPR of ‘‘transmission zone’’ as                means for anti-competitive behavior to
                                               regarding uplift payments. Because                       a geographic area that is used for the                 be identified and addressed more
                                               uplift payments are not included in                      local allocation of charges, such as a                 quickly. As commenters suggest, market
                                               publicly available market prices, they                   load zone that is used to settle charges               participants may use the information
                                               inherently lack transparency and must                    for energy. We find that this level of                 provided by the reports to call attention
                                               be reported separately to show the cost                  geographic reporting will improve                      to potential market issues.
                                               of serving load and maintaining a                        transparency by providing more specific                   55. In the NOPR, we recognized that
                                               reliable electric system. As stated in the               information about the location of system               RTOs/ISOs may have very small
                                               NOPR, access to information on uplift                    needs. For instance, understanding that                transmission zones, and sought to
                                               payments may allow market                                a particular category of uplift is                     balance the benefits of greater
                                               participants to evaluate possible                        concentrated in a limited area could                   transparency with concerns about
                                               solutions to reduce the incurrence of                    provide information about the nature of                revealing daily resource-specific uplift
                                               uplift.105 We find that the basis for this               the reliability need or could inform                   information by (1) allowing RTOs/ISOs
                                               requirement, as outlined in the NOPR,                    discussions about uplift cost allocation.              to aggregate any transmission zone
                                               remains compelling. The Zonal Uplift                                                                            containing fewer than four resources
                                                                                                           53. Some commenters argue that
                                               Report will provide granular                                                                                    with a neighboring zone and report
                                                                                                        RTOs/ISOs should be permitted to
                                               information about the location, timing,                                                                         them collectively, and (2) exempting
                                                                                                        define transmission zones more broadly
                                               and causes of uplift. Such information                                                                          from reporting any combined
                                                                                                        because daily uplift payments in
                                               will facilitate more informed                                                                                   transmission zone with fewer than four
                                                                                                        combination with other public
                                               stakeholder discussions that support                                                                            resources.
                                                                                                        information could be used to derive a
                                               planning processes, improve the ability                                                                            56. In response to comments, we
                                               of market participants to raise concerns                 resource’s energy offer or cost
                                                                                                                                                               clarify that any aggregation should be
                                               with RTO/ISO uplift payments, and                        information, which some characterize as
                                                                                                                                                               based on the number of resources
                                               support cost-effective solutions to                      confidential because it is commercially
                                                                                                                                                               located in the zone rather than the
                                               system needs by allowing market                          sensitive. Commenters assert that the
                                                                                                                                                               number of resources in the zone that
                                               participants to make more informed                       revelation of cost or offer data could
                                                                                                                                                               receive uplift payments in a given
                                               investment decisions. Over the long                      lead to collusion or gaming. We
                                                                                                                                                               reporting period. As noted by PJM and
                                               term, improved RTO/ISO practices and                     recognize that it may be possible, under
                                                                                                                                                               the PJM Market Monitor, aggregating
                                               additional investment may lead to                        specific circumstances, to deduce an
                                                                                                                                                               based on the number of resources that
                                               reduced uplift payments and increased                    individual resource’s daily uplift
                                                                                                                                                               receive uplift payments could lead to
                                               market efficiency. PJM’s recent report                   payments by using the information
                                                                                                                                                               different zonal aggregations from month
                                               summarizing market outcomes during                       provided in the Zonal Uplift Report and
                                                                                                                                                               to month and inconsistent zonal
                                               the December 28, 2017–January 7, 2018                    Resource-Specific Uplift Report. For
                                                                                                                                                               reporting, which would add complexity
                                               cold snap provides an example of timely                  instance, if the Resource-Specific Uplift
                                                                                                                                                               and reduce transparency.109 Aggregation
                                               reporting of uplift cost information.                    Report makes clear that only one
                                                                                                                                                               based on the number of resources
                                               PJM’s report identifies uplift cost by                   resource within a zone has received
                                                                                                                                                               located in a zone will ensure a
                                               category, by day, and by resource type,                  uplift during a given month, and if that
                                                                                                                                                               consistent zonal definition from month-
                                               identifying the days when specific uplift                resource has only one generating unit,
                                                                                                                                                               to-month, which we would only expect
                                               categories were greatest.106 PJM uses                    then the Zonal Uplift Report would
                                                                                                                                                               to change with the addition or
                                               these data to suggest potential areas for                reveal the resource’s daily uplift
                                                                                                                                                               retirement of resources. We find that
                                               improvement. We note that the report                     payments. This information could be
                                                                                                                                                               aggregating transmission zones to
                                               was issued February 26, 2018, less than                  used with knowledge of the resource’s
                                                                                                                                                               achieve a minimum of four resources
                                               two months after the end of the cold                     output and publicly-available data on
                                                                                                                                                               addresses concerns that individual
                                               weather events. The uplift data                          LMPs to estimate the resource’s energy
                                                                                                                                                               resource uplift payments could be
                                               provided in the report, which is                         offer or cost.107 We understand
                                                                                                                                                               deduced from the report. We reason that
                                               consistent with the data required in this                commenters’ concern to be that if a
                                                                                                                                                               if a zone has at least four resources,
                                               Final Rule, illustrates the type of                      resource’s offer or costs are revealed,
                                                                                                                                                               there will be enough possibilities of
                                               information that market participants                     another resource owner could increase
                                                                                                                                                               which resource or resources received
                                               and interested stakeholders could use to                 its own offer above its costs in a manner
                                                                                                                                                               uplift that it will be unlikely that the
                                               understand how RTO/ISO markets                           that would be inconsistent with a
                                                                                                                                                               Zonal Uplift Report alone will reveal
                                               operate during stressful system                          competitive market.
                                                                                                                                                               individual resources’ uplift payments.
                                               conditions and provide a basis for a                        54. Out of an abundance of caution                     57. We also clarify that, for the
                                               stakeholder discussion about potential                   and as discussed below, we delay the                   purpose of zonal aggregation, the term
                                               market reforms. The requirements of                      timing of Resource-Specific Uplift                     ‘‘resource’’ refers to an entire generating
                                               this Final Rule will ensure that market                  report to allow a 90-day time lag in                   facility and not each individual unit
                                               participants have access to uplift                       releasing the Resource-Specific Uplift                 within a plant. We agree with EEI that
                                                                                                        Report 108 to reduce the likelihood that
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                                                                                                                                                               if a transmission zone contained, for
                                                 105 NOPR,   FERC Stats. & Regs. ¶ 32,721 at PP 78,                                                            example, a single power plant with four
                                               84.                                                        107 We note that such estimates may be imprecise,
                                                 106 PJM, PJM Cold Snap Performance, Dec. 28,           as they would likely rely on additional assumptions    units, aggregation with a neighboring
                                               2017 to Jan. 7, 2018, 27–30 (Feb. 26, 2018), http://     such as the relative values of the start-up, no-load
                                               www.pjm.com/-/media/library/reports-notices/             or minimum load, and incremental energy                modify the lag to 90 days for the Resource-Specific
                                               weather-related/20180226-january-2018-cold-              components of the resource’s offer.                    Uplift Report.
                                               weather-event-report.ashx (PJM Cold Snap                   108 In the NOPR, we proposed to require a 20-day       109 PJM Comments at 12; PJM Market Monitor

                                               Performance Report).                                     lag for both uplift reports. As discussed below, we    Comments at 10.



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                                                                Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                               18143

                                               zone would be necessary to avoid the                    therefore be better equipped to raise                 B. Resource-Specific Uplift Report
                                               possibility that the zonal uplift report                concerns about RTO/ISO uplift
                                                                                                                                                             1. NOPR Proposal
                                               alone could reveal the plant’s daily                    payments and direct appropriate
                                               uplift payments.                                        infrastructure investment to reduce the                 63. In the NOPR, the Commission
                                                  58. We also modify the permissible                   need for a given type of uplift payment.              proposed to require each RTO/ISO to
                                               level of aggregation. The proposal in the               No commenters opposed including                       post a monthly report containing the
                                               NOPR to allow a transmission zone with                  categories in the Zonal Uplift Report. As             resource name and total amount of
                                               fewer than four resources to be                         mentioned in the NOPR, we expect the                  uplift paid in dollars aggregated across
                                               aggregated with a single neighboring                    categories to be based on the RTO/ISO                 the month to each resource that received
                                               zone and to exempt from the reporting                   uplift charge codes.110 For RTOs/ISOs                 uplift payments. The Commission
                                               requirement any aggregated zone that                    that do not use the term ‘‘charge codes,’’            proposed to require that the report be
                                               still contains fewer than four resources                we clarify that ‘‘charge codes’’ refers to            posted on a publicly-accessible portion
                                               could result in a zone that is                          individual charges for settlement                     of each RTO’s/ISO’s website within 20
                                               permanently exempted from reporting,                    purposes. We expect that basing uplift                calendar days of the end of each
                                               in light of the clarification above.                    categories on existing charge codes will              month.111
                                               Instead, we will allow RTOs/ISOs to                     ease the potential reporting burden on
                                               aggregate transmission zones containing                                                                         64. The Commission reasoned that
                                                                                                       RTOs/ISOs.
                                               fewer than four resources with one or                                                                         with more granular information on the
                                                                                                          61. With respect to timeliness of                  location and amounts of uplift, market
                                               more neighboring zones in such a                        reporting, we adopt the NOPR proposal
                                               manner that all aggregated zones have at                                                                      participants may be able to better
                                                                                                       to require that each RTO/ISO post this                evaluate possible solutions to reduce the
                                               least four resources. Allowing such                     Zonal Uplift Report within 20 calendar
                                               aggregation obviates the need for any                                                                         incurrence of uplift.112 The Commission
                                                                                                       days of the end of the month. However,                sought to mask daily uplift payments by
                                               aggregated zone to be exempted from                     in response to CAISO’s concern on this
                                               the reporting requirement. This                                                                               requiring that resource-specific uplift
                                                                                                       issue, on compliance we will consider                 payment data be aggregated across the
                                               modification preserves the intended                     proposals with longer timelines if an
                                               protections of the aggregation proposed                                                                       month.113
                                                                                                       RTO/ISO demonstrates that the 20-day
                                               in the NOPR while closing a potential                   deadline does not provide an RTO/ISO                    65. The Commission requested
                                               reporting gap.                                          with sufficient time to compile the                   comments on: (1) Whether these
                                                  59. On balance, our definition of                                                                          resource-specific reports should also be
                                                                                                       report given its existing uplift
                                               transmission zone and the associated                                                                          broken out by uplift category, be
                                                                                                       settlement and reporting timelines.
                                               aggregation protections provide the                                                                           reported using a different time duration,
                                                                                                          62. Regarding other issues raised by
                                               transparency benefits of geographically                                                                       or contain other additional details; 114
                                               granular uplift information while                       commenters with respect to this report,
                                                                                                       in response to Direct Energy we confirm               and (2) whether 20 calendar days after
                                               minimizing the risk of harm to the                                                                            the end of the month was a reasonable
                                               market from the potential disclosure of                 that RTOs/ISOs must report all uplift
                                                                                                       payments to resources and not just those              timeframe for releasing the
                                               commercially-sensitive information.                                                                           information.115
                                               However, we acknowledge that RTOs/                      resulting from deviations from day-
                                               ISOs may have multiple existing types                   ahead schedules in both the Zonal                     2. Comments
                                               of zones that could meet our definition.                Uplift Report and the Resource-Specific
                                                                                                       Uplift Report. We also confirm that                      66. Many commenters generally
                                               On compliance, we require each RTO/                                                                           support 116 or state that they are not
                                               ISO to include in its tariff the type of                RTOs/ISOs may choose to report more
                                                                                                       information and/or to report more                     opposed 117 to the NOPR proposal for a
                                               zone that it proposes to use in its Zonal
                                                                                                       promptly. We adopt the NOPR proposal                  resource-specific monthly report.
                                               Uplift Report and explain how the
                                                                                                       to require each RTO/ISO to publish the                Appian Way notes that some RTOs/ISOs
                                               chosen type of zone meets the definition
                                                                                                       two uplift reports, the Zonal Uplift                  have indicated that most uplift costs are
                                               of transmission zone adopted in this
                                                                                                       Report and the Resource-Specific Uplift               attributed to a few units, and that the
                                               Final Rule, as well as explain any
                                                                                                       Report, in a machine-readable format on               Commission’s Office of Enforcement has
                                               proposal to aggregate transmission
                                                                                                       a publicly accessible, rather than                    brought cases alleging inflated uplift
                                               zones that fits the characteristics
                                                                                                       password-protected, portion of its                    costs for certain units. Appian Way
                                               described above. While our definition of
                                                                                                       website. As discussed above, we are not               believes that improved transparency
                                               transmission zone provides RTOs/ISOs
                                                                                                       persuaded that the potential revelation               into which units receive uplift would
                                               a level of flexibility, we note that
                                                                                                       of a resource’s uplift payments, subject              allow market participants to advocate
                                               transmission zones are defined as areas
                                               that are used for the local allocation of               to the discussed protections, would                   for solutions and call attention to these
                                               charges; therefore, we expect each RTO/                 result in harm to competition or to
                                               ISO to propose transmission zones that                  market participants. Moreover, while we                 111 Id. at Regulatory Text.
                                                                                                                                                               112 Id. P 84.
                                               provide an appropriate level of                         have discussed the benefits in the
                                                                                                                                                               113 Id. P 89.
                                               geographic granularity.                                 context of existing market participants,                114 Id. P 83.
                                                  60. We adopt the NOPR proposal to                    we find that other stakeholders such as                 115 Id. P 86.
                                               require the reporting of zonal uplift by                third-party researchers, potential future               116 Appian Way Comments at 8; AWEA
                                               category. As noted above, numerous                      market participants, and ratepayers may               Comments at 10; Brookfield Comments at 2; Calpine
                                               commenters express support for this                     also benefit from public availability of              Comments at 8; Designated Marketers Comments at
                                               proposal, and several RTOs/ISOs                         this data. Finally, while we recognize                5–6; Direct Energy Comments at 10; Diversified
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                                                                                                                                                             Trading/eXion Energy Comments at 5; Exelon
                                               already report such information.                        the potential transparency benefits of                Comments at 9; Financial Marketers Coalition
                                               Reporting the causes of uplift in each                  the historical uplift report requested by             Comments at 39; Golden Spread Comments at 11–
                                               transmission zone on each day will help                 Exelon, we find that it goes beyond the               12; NYISO Comments at 5; PJM Market Monitor
                                               market participants understand the                      scope of this rulemaking and decline to               Comments at 10; R Street Institute Comments at 5;
                                                                                                                                                             TAPS Comments at 8; XO Energy Replacement
                                               relationship between system conditions,                 require it here.                                      Comments at 34.
                                               location, and reasons that uplift is                                                                            117 ISO–NE Comments at 43; PJM Comments at

                                               incurred. Market participants will                        110 NOPR,   FERC Stats. & Regs. ¶ 32,721 at P 86.   11.



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                                               18144            Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               issues more quickly and efficiently.118                 lead to some form of collusion among                      reported on a MW basis rather than a
                                               Golden Spread similarly argues that the                 suppliers.127 MISO Transmission                           unit-specific basis.138 EEI suggests that
                                               more information that is available to all               Owners argue there may be instances                       the Commission allow RTOs/ISOs to
                                               market participants, and not just market                when market participants and                              determine the level of transparency
                                               operators, the faster market                            competitors could derive sensitive                        needed to protect commercially
                                               imperfections can be removed.119                        resource cost information by combining                    sensitive information.139
                                               Brookfield and Exelon state that more                   resource-specific uplift with settlement                     70. MISO Transmission Owners, EEI,
                                               granular and comprehensive data would                   LMPs and backing out costs.128 MISO                       and Potomac Economics all comment
                                               help market participants identify and                   Transmission Owners and EEI argue                         that if a resource-specific report is
                                               address root causes of uplift.120                       that monthly aggregation may not                          adopted, a final rule should increase the
                                               Financial Marketers Coalition agree that                sufficiently mask daily uplift payments                   lag time for releasing the report or
                                               if details on uplift payments are not                   if a unit is infrequently paid uplift or                  should aggregate the data over a longer
                                               presented, it is unlikely uplift drivers                committed out-of-market within a                          time period. Potomac Economics asserts
                                               will be identified and displaced through                month.129 MISO echoes this concern,                       that an immediate release of uplift
                                               competition.121 Similarly, XO Energy                    arguing that the Commission should                        information does not improve
                                               agrees that the usefulness of data will be              consider the effect of resource energy                    transparency because uplift is a
                                               reduced if it is aggregated.122                         offers, which may be used for anti-                       settlement process and market
                                                  67. On the other hand, MISO and                      competitive purposes such as                              participants cannot take economic
                                               MISO Transmission Owners assert that                    gaming.130 Potomac Economics argues                       actions to reduce uplift costs. Potomac
                                               the benefits of the resource-specific                   that releasing uplift payment                             Economics also believes the proposed
                                               report are unclear. MISO Transmission                   information with only a minimal lag                       20-day lag is too short to ensure
                                               Owners state the Commission does not                    could allow for tacit or explicit                         competition will not be adversely
                                               explain why resource-level information                  collusion among suppliers.131 MISO and                    affected and recommends at least a
                                               is necessary and why the other                          SPP state that resources’ uplift                          three-month lag, which it asserts will
                                               transparency reforms are insufficient to                information is considered confidential                    not diminish the transparency value of
                                               meet the Commission’s goals. Moreover,                  in their regions.132 PJM does not oppose                  the report.140 MISO Transmission
                                               they contend market participants do not                 the NOPR proposal, but notes                              Owners agree that three months is the
                                               need to know resource-level information                 stakeholder concerns that resource-                       appropriate lag for reporting any
                                               to understand RTO/ISO actions and                       specific uplift reporting could reveal                    resource-specific report on uplift
                                               react properly to them.123 MISO                         market-sensitive information such as                      payments, noting that this reporting
                                               Transmission Owners point out that                      bidding strategies.133 The SPP Market                     timing has been in effect for some time
                                               market monitors can use confidential                    Monitor contends that identifiable                        for EQR.141 EEI suggests that uplift
                                               data to propose fixes for market design                 information for resources should not be                   information be aggregated over the
                                               flaws.124 MISO similarly asserts that it                released.134                                              quarter and reported quarterly, in order
                                               is unnecessary to disclose resource-                       69. Several commenters provide                         to lessen the ability of market
                                               specific uplift information beyond its                  suggestions for protecting resources’                     participants to deduce resources’ offers
                                               current processes. MISO and MISO                        confidential information. EEI and MISO                    while providing an appropriate level of
                                               Transmission Owners assert that the                     Transmission Owners argue that                            transparency.142
                                                                                                       because the Commission has only                              71. Multiple commenters argue that
                                               value of publicly disclosed information
                                                                                                       identified benefits for market                            the proposed monthly aggregation for
                                               may be outweighed by its risk of harm
                                                                                                       participants, the resource-specific uplift                reporting is sufficient to reduce data and
                                               to the markets.125 MISO Transmission
                                                                                                       information should be available only to                   resource confidentiality concerns. R
                                               Owners argue that continuing to require                                                                           Street Institute finds that monthly
                                                                                                       market participants.135 Moreover, they
                                               public utilities to report uplift payments                                                                        aggregation is reasonable and provides
                                                                                                       argue the data should be posted to a
                                               in EQR while also implementing this                                                                               sufficient masking of daily offer
                                                                                                       password-protected portion of the
                                               proposal would provide no additional                                                                              behavior.143 TAPS agrees that the
                                                                                                       RTO’s/ISO’s website.136 MISO
                                               benefit and would be duplicative.126                                                                              proposal strikes the appropriate balance
                                                                                                       Transmission Owners further state that
                                               a. Confidentiality                                      the data should only be accessible to                     of increasing transparency against
                                                                                                       those market participants that have                       confidentiality and competition
                                                 68. Some commenters highlight
                                                                                                       shown a need to access the information                    concerns.144 In response to
                                               concerns around confidentiality and the
                                                                                                       and have signed a confidentiality                         confidentiality concerns, XO Energy
                                               release of data in a resource-specific                                                                            notes that resource-specific uplift
                                                                                                       agreement.137 Competitive Suppliers
                                               monthly report. MISO Transmission                                                                                 information is already publicly reported
                                                                                                       state that uplift information should be
                                               Owners and Potomac Economics raise                                                                                in EQR.145 Financial Marketers
                                               the concern that a resource-specific                         127 Id.                                              Coalition states that RTOs/ISOs should
                                                                                                                      at 6–7; Potomac Economics Comments at
                                               report could allow the discovery of a                   11.                                                       be able to mask, rather than withhold
                                               resource’s sensitive cost information or                     128 MISO    Transmission Owners Comments at 6–       from the market, particularly sensitive
                                                                                                       7.
                                                 118 Appian
                                                                                                                                                                 information such as bid data, but asserts
                                                               Way Comments at 8.                         129 EEI Comments at 8; MISO Transmission
                                                 119 Golden    Spread Comments at 12.                  Owners Comments at 7.                                     that uplift payments are not a
                                                  120 Brookfield Comments at 2; Exelon Comments           130 MISO Comments at 13; PJM Comments at 11.           competitive aspect of the market and
                                               at 9.                                                      131 Potomac Economics Comments at 11.
                                                  121 Financial Marketers Coalition Comments at           132 MISO Comments at 13; SPP Comments at 3               138 Competitive   Suppliers Comments at 9.
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                                               38.                                                     (citing Attachment AE, Section 11).                         139 EEI Comments at 8–9.
                                                  122 XO Energy Replacement Comments at 34.               133 PJM Comments at 11.                                  140 Potomac Economics Comments at 11.

                                                  123 MISO Transmission Owners Comments at 7–             134 SPP Market Monitor Comments at 3.                    141 MISO Transmission Owners Comments at 10–

                                               8.                                                         135 EEI Comments at 7; MISO Transmission               11.
                                                  124 Id. at 9–10.                                                                                                 142 EEI Comments at 8.
                                                                                                       Owners at 13.
                                                  125 MISO Comments at 12–13; MISO                        136 EEI Comments at 7; MISO Transmission                 143 R Street Institute Comments at 5.

                                               Transmission Owners Comments at 8–9.                    Owners Comments at 13.                                      144 TAPS Comments at 8.
                                                  126 MISO Transmission Owners Comments at 11.            137 MISO Transmission Owners Comments at 13.             145 XO Energy Reply Comments at A–6, A–9.




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                                                                   Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                                   18145

                                               should be made clear to market                            Zonal Uplift Report and existing uplift                 public utilities report uplift payments in
                                               participants.146 ELCON and EEI                            reporting requirements. Below, we                       EQR. EQR serves as a reporting
                                               recommend allowing RTOs/ISOs                              discuss the benefits particular to this                 mechanism for public utilities to fulfill
                                               flexibility to determine the appropriate                  report and also address commenters’                     their responsibility under section 205(c)
                                               balance between transparency and                          other concerns.                                         of the Federal Power Act to have their
                                               protecting sensitive information.147                         75. We find that the Resource-Specific               rates and charges on file in a convenient
                                                                                                         Uplift Report will improve transparency                 form and place.156 While EQR facilitates
                                               b. Categories and Additional                              into the causes of uplift. The Resource-
                                               Information                                                                                                       price transparency, the Commission has
                                                                                                         Specific Uplift Report will complement                  not required uplift to be reported at the
                                                  72. Several commenters responded to                    the Zonal Uplift Report by providing                    level of granularity necessary to meet
                                               the Commission’s request for comment                      more granular technology-type and                       the price formation objectives of this
                                               on whether the resource-specific reports                  geographic information, allowing                        proceeding. Depending on the
                                               should be broken out by uplift category                   market participants to identify potential               granularity of the information reported
                                               or contain other additional details.148                   system needs at specific locations that                 by the filer, and whether the filer
                                               The PJM Market Monitor supports                           may not otherwise be revealed through                   reports its EQR as a single resource,
                                               specifying the category of uplift but                     price signals. The locational granularity               resource level uplift information is
                                               does not agree that disclosing additional                 of the required uplift report also mirrors              sometimes reported in EQR. The
                                               information beyond categories is                          the locational granularity of energy                    Resource-Specific Uplift Report would
                                               necessary.149 Direct Energy encourages                    prices. We find that the two uplift                     include information about specific
                                               requiring RTOs/ISOs to report                             reports in combination can improve                      resources, which is not currently
                                               additional information for each instance                  market efficiency by providing                          required by EQR. For instance, the Staff
                                               when uplift costs are incurred: the name                  information to market participants                      Analysis of Uplift shows that EQR data
                                               of the unit receiving uplift; uplift                      considering, for example, where to site                 contain lower total uplift payments and
                                               category; timeframe of the binding                        new resources, transmission facilities,                 fewer locations reported than do non-
                                               constraint driving the uplift payment;                    or demand response. In addition, as                     public RTO/ISO uplift data.157
                                               timeframe of uplift earned; operating                     Appian Way notes, several RTOs/ISOs                     Therefore, we find that the Resource-
                                               parameter creating the need for uplift;                   have previously indicated that uplift                   Specific Uplift Report is not duplicative
                                               and total payment to the unit.150 ISO–                    payments are concentrated and                           and provides additional transparency
                                               NE asserts that, for security reasons,                    persistent among a few units, an                        benefits that could not be fully achieved
                                               public reporting of voltage-related uplift                observation corroborated by the Staff                   under existing EQR filing requirements.
                                               payments on a resource-specific basis                     Analysis of Uplift.154 As noted above,                     77. Several commenters continue to
                                               should not be required.151                                PJM’s recent Cold Snap Performance                      express concern that the Resource-
                                               c. Other Comments                                         Report illustrates the value of resource-               Specific Uplift Report could, in
                                                                                                         specific uplift information. For instance,              conjunction with other information,
                                                  73. As discussed in more detail with                   knowing that uplift was concentrated in
                                               respect to the zonal uplift report, CAISO                                                                         unintentionally reveal a resource’s daily
                                                                                                         combustion turbines rather than steam                   uplift payments, energy offer, or cost
                                               argues that it already posts significant                  units 155 can provide insight regarding
                                               information on uplift payments monthly                                                                            information, which some characterize as
                                                                                                         the nature of the system need that is                   confidential because it is commercially
                                               and contends the proposed reports and                     being addressed through actions that
                                               20-day deadline would impose                                                                                      sensitive. As noted above, it may be
                                                                                                         lead to uplift. While MISO
                                               significant costs on CAISO. CAISO                                                                                 possible, under specific circumstances,
                                                                                                         Transmission Owners argue that market
                                               requests that the Commission allow                                                                                for a market participant to estimate a
                                                                                                         monitors have access to resource-
                                               CAISO to include any required                                                                                     resource’s energy offer using the
                                                                                                         specific uplift data and are therefore
                                               additional uplift information in the                                                                              Resource-Specific Uplift Report in
                                                                                                         already able to raise any issues, other
                                               monthly reports it already produces.152                                                                           conjunction with the Zonal Uplift
                                                                                                         commenters assert that disseminating
                                               Conversely, ISO–NE states that                                                                                    Report, and other information and
                                                                                                         resource-specific uplift information
                                               reporting uplift payments on a resource-                                                                          assumptions. Commenters assert that
                                                                                                         publicly would also allow market
                                               specific level should be simple to                                                                                the revelation of cost or offer data could
                                                                                                         participants to call attention to such
                                               implement.153                                                                                                     lead to collusion or gaming.
                                                                                                         issues. We agree with the latter
                                                                                                         argument, as market participants,                          78. Out of an abundance of caution,
                                               3. Determination                                                                                                  we address these concerns regarding
                                                                                                         particularly those that may be allocated
                                                  74. We adopt the NOPR proposal and                     uplift costs, may be financially                        revealing commercially-sensitive
                                               require each RTO/ISO to report the                        incentivized to advocate for solutions                  information by modifying the NOPR
                                               resource name and the total amount of                     that reduce uplift costs. Market                        proposal to extend the deadline for the
                                               uplift paid in dollars to each resource                   participants can also use this                          release of the Resource-Specific Uplift
                                               that received uplift payments within the                  information to make investment                          Report from 20 to 90 calendar days
                                               calendar month. We find that this                         decisions; this is something market                     following the end of the reporting
                                               Resource-Specific Uplift Report                           monitors cannot do. Public release of                   month, as several commenters
                                               provides additional transparency                          this information may therefore result in                recommend. An RTO/ISO can propose
                                               benefits beyond those provided by the                     faster or more efficient resolution to                  more timely reporting on compliance to
                                                                                                         circumstances responsible for uplift                    the extent it believes that reporting more
                                                 146 Financial   Marketers Coalition Comments at         which will help achieve just and                        timely does not present the kinds of
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                                               38.
                                                                                                         reasonable rates.                                       risks discussed above, for instance,
                                                 147 ELCON    Comments at 10; EEI Comments at 9.
                                                                                                            76. MISO Transmission Owners argue                   because there are consistently enough
                                                 148 NOPR,   FERC Stats. & Regs. ¶ 32,721 at P 83.
                                                 149 PJM Market Monitor Comments at 10.                  that the Resource-Specific Uplift Report                  156 16 U.S.C. 824d(c).
                                                 150 Direct Energy Comments at 10–11.                    is duplicative with the requirement that                  157 Some  entities, including certain cooperatives
                                                 151 ISO–NE Comments at 43.
                                                                                                                                                                 and municipalities, were not required to file EQRs
                                                 152 CAISO Comments at 12.                                 154 Staff   Analysis of Uplift at 7–10.               during the majority of the time analyzed within the
                                                 153 ISO–NE Comments at 43.                                155 PJM     Cold Snap Performance Report at 30.       report. See Staff Analysis of Uplift at 22.



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                                               18146            Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               resources awarded uplift in each zone                   commenters suggest, there may be                      the impact of such commitments on
                                               that the uplift reports taken together                  additional value in reporting uplift                  rates.
                                               cannot be used to infer a resource’s                    categories on a resource-specific basis,                 86. The Commission requested
                                               costs.                                                  we do not require RTOs/ISOs to report                 comments on: (1) The types of unit
                                                  79. We also find that any inferred                   resource-specific uplift by category. We              commitments that should be reported as
                                               information regarding a resource’s offers               find that the requirement for RTOs/ISOs               operator-initiated commitments; 160 (2)
                                               or costs becomes less likely to be used                 to report uplift categories in the Zonal              what it means for a commitment to clear
                                               to harm competition or individual                       Uplift Report provides sufficient                     the market on the basis of economics; 161
                                               market participants with the passage of                 transparency about the locations where                (3) the proposed definition of
                                               time, because fuel prices and other                     specific types of uplift are incurred to              ‘‘transmission zone,’’ including the
                                               market conditions change. After 90                      address system needs. However, RTOs/                  appropriate level of geographic
                                               calendar days following the end of the                  ISOs may choose to include uplift                     granularity; 162 (4) the proposed
                                               reporting month, the report will be                     categories or other information in the                reporting timeframe, including potential
                                               released in a different season from the                 Resource-Specific Uplift Report, and                  implementation challenges particularly
                                               incurrence of uplift, increasing the                    must indicate on compliance whether                   with regard to real-time reporting and
                                               likelihood that transient issues will be                they plan to do so.                                   whether a different reporting timeframe
                                               resolved, and thus decreasing the                                                                             would provide sufficient
                                               likelihood that any deduced resource-                   C. Operator-Initiated Commitments                     transparency; 163 (5) whether the
                                               specific cost or offer data can be used to              1. NOPR Proposal                                      Commission should define a common
                                               harm to competition or individual                                                                             set of operator-initiated commitment
                                               market participants. Furthermore, as                       83. In the NOPR, the Commission
                                                                                                                                                             reasons for use across all RTOs/ISOs
                                               Appian Way suggests, transparency into                  proposed to require each RTO/ISO to
                                                                                                                                                             and, if so, what reasons should be
                                               resource-specific uplift payments can                   post operator-initiated commitments in
                                                                                                                                                             included, or whether it is more
                                               highlight potential instances of gaming                 MWs, categorized by transmission zone
                                                                                                                                                             appropriate to allow each RTO/ISO to
                                               and collusion for other market                          and commitment reason, to a publicly
                                                                                                                                                             establish a set of appropriate operator-
                                               participants, and allow them to                         accessible portion of its website within
                                                                                                                                                             initiated commitment reasons on
                                               advocate for solutions and call attention               four hours of the commitment. The
                                                                                                                                                             compliance; and (6) whether the
                                               to such issues more quickly and                         Commission proposed to define
                                                                                                                                                             proposal provides sufficient
                                               efficiently. Finally, some information                  transmission zone as a geographic area
                                                                                                                                                             transparency, or whether more
                                               about resource-specific uplift payments                 that is used for the local allocation of
                                                                                                                                                             information is needed (e.g., specific
                                               is already available or can be derived                  charges.158
                                                                                                                                                             constraint name), as well as any
                                               from EQR.                                                  84. The Commission reasoned that                   potential concerns with requiring
                                                  80. We find that monthly aggregation                 transparency into operator-initiated                  additional information.164
                                               of uplift payments to each resource,                    commitments is necessary as such
                                               combined with a reporting delay of 90                   commitments can affect energy and                     2. Comments
                                               calendar days, strikes an appropriate                   ancillary service prices and can result in               87. Several commenters support the
                                               balance between the goal of providing                   uplift. In addition, the Commission                   proposed requirement that each RTO/
                                               public information that is detailed                     preliminarily found that greater                      ISO report operator-initiated
                                               enough to identify system needs and                     transparency would allow stakeholders                 commitments in or near real-time and
                                               issues with RTO/ISO uplift payment                      to better assess the RTO’s/ISO’s                      after the close of the day-ahead market,
                                               practices while also preserving a                       operator-initiated commitment practices               with the report including the upper
                                               reasonable level of protection of                       and raise any issues of concern through               economic operating limit of the
                                               potentially commercially-sensitive                      the stakeholder process.159                           committed resource in MWs, the
                                               information. We expect that the later                      85. In the NOPR, the Commission                    transmission zone in which the resource
                                               deadline should also alleviate CAISO’s                  defined an operator-initiated                         is located, and the reason for the
                                               concern with respect to the burden of                   commitment as a commitment that is                    commitment.165 Diversified Trading/
                                               releasing this report on time.                          not associated with a resource clearing               eXion Energy note that greater
                                                  81. As with the Zonal Uplift Report,                 the day-ahead or real-time market on the              transparency with respect to operator-
                                               the Commission does not agree with                      basis of economics and that is not self-              initiated commitments will provide
                                               commenters that argue that access to the                scheduled. The Commission added that                  incentives for RTOs/ISOs to reduce the
                                               Resource-Specific Uplift Report should                  this definition would include both                    need for those commitments and ensure
                                               be limited to certain market participants               manual and automated commitments                      that the cost of meeting system needs
                                               on a password-protected portion of the                  made after the execution of the day-                  are reflected in market prices.166
                                               RTO/ISO website. Providing data only                    ahead market and outside of the real-                 Financial Marketers Coalition asserts
                                               to certain market participants does not                 time market. The Commission noted
                                               achieve the goals of this Final Rule. As                that the definition includes                            160 Id.  P 93.
                                               stated earlier, we find that reporting                  commitments made through residual                       161 Id.  P 90.
                                               resource-specific uplift cost information               unit commitment and look-ahead                           162 Id. P 91.

                                               more broadly may benefit a range of                     commitment processes, and manual                         163 Id. P 94.

                                               stakeholders, and we require each RTO/                  commitments made in real-time. The                       164 Id. P 95.
                                                                                                                                                                165 AWEA Comments at 10; Brookfield Comments
                                               ISO to publish the Resource-Specific                    Commission proposed that both manual
                                                                                                                                                             at 2; Competitive Suppliers Comments at 12;
                                               Uplift Report in a machine-readable                     and automated operator-initiated
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                                                                                                                                                             Designated Marketers Comments at 6; Diversified
                                               format on a publicly accessible portion                 commitments be posted in order to help                Trading/eXion Energy Comments at 5; Financial
                                               of its website.                                         market participants better understand                 Marketers Coalition Comments at 36; Golden
                                                  82. In the NOPR, the Commission                      the drivers of uplift in each zone and                Spread Comments at 11–12; NYISO Comments at 8;
                                               requested comment regarding whether                                                                           PJM Market Monitor Comments at 10; R Street
                                                                                                                                                             Institute Comments at 5–6; SPP Market Monitor
                                               the Resource-Specific Uplift Report                       158 NOPR, FERC Stats. & Regs. ¶ 32,721 at           Comments at 3–4.
                                               should include uplift categories or other               Regulatory Text.                                         166 Diversified Trading/eXion Energy Comments

                                               additional details. While, as some                        159 Id. P 92.                                       at 5.



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                                                                   Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                                18147

                                               that transparency with respect to the                     making these commitments. Similarly,                  support posting commitment
                                               location and reasons for out-of-market                    NYISO requests confirmation that                      information by resource, and argues that
                                               and out-of-merit operator actions allows                  commitments made through its real-                    if the Commission does require
                                               financial market participants to                          time commitment and dispatch                          reporting of locational information that
                                               understand that a problem is being                        processes are not intended to be                      it should allow RTOs/ISOs to aggregate
                                               resolved outside of normal market                         included simply because they consider                 transmission zones when posting
                                               operations and that the day-ahead and                     multiple time horizons and thus include               commitment data, as there could be
                                               real-time markets are unlikely to                         look-ahead functionality. NYISO also                  transmission zones that have a single
                                               converge through market actions.                          states that its real-time dispatch                    asset owner. MISO adds that the use of
                                               Financial Marketers Coalition adds that                   software can economically evaluate                    existing transmission zone aggregations
                                               this level of transparency allows any                     commitments of certain offline                        should be allowed in each RTO/ISO
                                               market participant transacting in an area                 resources that can respond to dispatch                instead of creating new transmission
                                               where an out-of-market or out-of-merit                    instructions within 10 minutes, but that              zone aggregations.176 ISO–NE and
                                               operator action is being taken to know                    subsequent action by the operator is                  NYISO both state that they could report
                                               that it will be subjected to uplift                       needed to actually dispatch the                       additional information to comply with
                                               allocation exposure.167 Furthermore,                      resource. NYISO states that it does not               this requirement.177 NYISO notes,
                                               Financial Marketers Coalition asserts                     believe the Commission intended these                 however, that it may be necessary to
                                               that robust transparency practices allow                  commitments to be considered operator-                modify existing mitigation rules or
                                               the marketplace to develop solutions to                   initiated commitments for the purposes                potentially create new rules to address
                                               problems.168 R Street Institute states                    of this NOPR.170 MISO suggests that as                market power or anti-competitive
                                               that transparency of operator-initiated                   an alternative, the Commission could                  behavior concerns that may arise from
                                               commitments is important because such                     define operator-initiated commitments                 the requirements of any final rule.178
                                               commitments often occur when the                          as those made outside of the day-ahead                Similarly, ISO–NE contends that, in any
                                               system is stressed, have a sizable effect                 market, whether manual or automated,                  final rule, the Commission should allow
                                               on market outcomes, and may become                        without consideration of total                        each RTO/ISO to propose rules or
                                               more frequent given the penetration of                    production costs.171                                  procedures that may be necessary to
                                               meteorologically-sensitive resources. R                     89. PJM states that it does not have                address market power issues.179 SPP
                                               Street Institute contends that reporting                  any automated commitments in either                   contends that the operational
                                               operator-initiated commitments by zone                    the real-time or day-ahead market;                    characteristics of resources, including
                                               and commitment reason is reasonable. R                    instead PJM has a variety of applications             their economic maximums, are
                                               Street Institute further contends that                    that provide commitment suggestions to                competitive information and should not
                                               reporting on a sub-zonal basis would                      PJM operators, who perform additional                 be posted.180
                                               provide value in areas with                               analyses prior to committing any unit.
                                                                                                                                                                  91. Responding to SPP, XO Energy
                                               transmission constraints.169 Other                        PJM interprets the proposal to require it
                                                                                                                                                               states that the proposed report would
                                               commenters raise concerns or request                      to post all commitments made after the
                                                                                                                                                               not require SPP to identify the unit that
                                               clarification about elements of the                       close of the day-ahead market. PJM
                                                                                                                                                               was committed.181 XO Energy states
                                               proposed requirements as discussed                        states that it is able to accomplish this
                                                                                                                                                               that, for confidentiality reasons, specific
                                               further below.                                            goal, but requests confirmation that this
                                                                                                                                                               names of resources should not be
                                                                                                         was the intent of the proposal.172
                                               a. Definition of Operator-Initiated                                                                             posted, but that the information posted
                                               Commitments                                               b. Confidentiality, Market Power, and                 should be as granularly specific as
                                                                                                         CEII                                                  possible.182 XO Energy points to MISO’s
                                                  88. Three RTOs/ISOs, MISO, NYISO,
                                                                                                            90. Several RTOs/ISOs state that the               operator-initiated commitment reports
                                               and PJM, found elements of the
                                                                                                         proposed operator-initiated                           as an example of the granularity that
                                               proposed definition of operator-initiated
                                                                                                         commitment reports could reveal                       should be provided in a report.183 EEI
                                               commitments to be unclear and
                                                                                                         resource-identifiable or competitive                  suggests that RTOs/ISOs protect
                                               requested clarification as to whether or
                                                                                                         information, or lead to market power                  confidentiality by making the
                                               not certain types of commitments
                                                                                                         concerns.173 MISO claims that the                     information available only to market
                                               should be reported. MISO argues that
                                                                                                         proposed report may not protect the                   participants.184
                                               the proposed definition of operator-
                                               initiated commitments as                                  data of individual market participants                   92. ISO–NE and PJM raise concerns
                                               ‘‘commitments not associated with                         and may reveal identifiable competitive               that the proposed operator-initiated
                                               clearing the day-ahead or real-time                       information.174 MISO states that it does              commitment reports could reveal
                                               market on the basis of economics’’ may                    not post commitment data by resource                  Critical Energy/Electric Infrastructure
                                               contradict the statement in the NOPR                      or provide the name or transmission                   Information (CEII).185 ISO–NE states
                                               that commitments made through                             zone of the committed resources to
                                               residual unit commitment and look-                        avoid disclosure of confidential                        176 Id.   at 18.
                                               ahead commitment processes should be                      information that may harm market                        177 ISO–NE      Comments at 44; NYISO Comments at
                                                                                                         participants and create risks in MISO’s               8–9.
                                               reported. MISO requests clarification on                                                                          178 NYISO    Comments at n. 28.
                                                                                                         competitive markets. Instead, MISO
                                               whether to report residual unit                                                                                   179 ISO–NE    Comments at 44.
                                                                                                         aggregates posted commitment data by
                                               commitments and look-ahead                                                                                        180 SPP Comments at 3–4.
                                                                                                         commitment reason.175 MISO does not
                                               commitments because the NOPR                                                                                      181 XO Energy Reply Comments at A–9.
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                                                                                                                                                                 182 XO Energy Replacement Comments at 34–35.
                                               specifically states that these                              170 NYISO    Comments at 8–11.                        183 Id. at 35.
                                               commitments should be reported even                         171 MISO    Comments at 14–15 (citing NOPR, FERC      184 EEI Comments at 9.
                                               though MISO considers costs when                          Stats. & Regs. ¶ 32,721 at P 90).                       185 18 CFR 388.113 (2017). See also Regulations
                                                                                                           172 PJM Comments at 13–14.
                                                                                                                                                               Implementing FAST Act Section 61003—Critical
                                                 167 Financial   Marketers Coalition Comments at           173 ISO–NE Comments at 44; MISO Comments at
                                                                                                                                                               Electric Infrastructure Security and Amending
                                               37.                                                       18; SPP Comments at 3–4.                              Critical Energy Infrastructure Information, Order
                                                 168 Id.                                                   174 MISO Comments at 18.
                                                                                                                                                               No. 833, 81 FR 93732 (Dec. 21, 2016), FERC Stats.
                                                 169 R   Street Institute Comments at 5–6.                 175 Id. at 17.                                      & Regs. ¶ 31,389 (2016).



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                                               18148              Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               that detailed reporting in real-time on                   what level of detail the Commission is                deadline.201 CAISO further contends
                                               operator-initiated actions could raise                    contemplating for these categories and                that there is no reason the requested
                                               system security issues and argues that,                   argues that a final rule should clarify the           information should be required within
                                               in any final rule, the Commission                         level of detail envisioned.195                        four hours as it is not clear what actions
                                               should permit each RTO/ISO to propose                                                                           market participants can take to address
                                                                                                         d. Reporting Timeline
                                               rules or procedures to protect CEII.186                                                                         these issues under the proposed
                                               PJM explains that the identification of                      95. Several RTOs/ISOs discussed their              timeline. CAISO argues that market
                                               specific resources committed to control                   current reporting practices and whether               participants can better evaluate issues
                                               specific transmission constraints is CEII                 it is feasible to meet the proposed
                                                                                                                                                               raised due to exceptional dispatches by
                                               and should not be published.187 In                        requirement to report real-time operator-
                                                                                                                                                               analyzing monthly trends. CAISO states
                                               response to PJM, XO Energy argues that                    initiated commitments within four
                                                                                                         hours.196 MISO states that it currently               that it already provides much of this
                                               many market participants have                                                                                   information on a monthly basis, and
                                               clearance from the Commission to                          posts economic and constraint
                                                                                                         management commitments, excluding                     argues that the Commission should
                                               access CEII data and these participants
                                                                                                         those made in the day-ahead market, to                modify its proposal to allow RTOs/ISOs
                                               should be able to access any and all CEII
                                                                                                         its public website on a real-time and                 to post information as part of existing
                                               data.188
                                                                                                         historical basis. In addition, MISO notes             monthly reports that they already
                                               c. Commitment Reasons                                     that historical information is included               provide.202
                                                  93. Several commenters responded to                    in the Real-Time Revenue Sufficiency                    97. In response to CAISO’s concerns,
                                               the request for comment on whether the                    Guarantee Commitments report, which                   XO Energy states that it disagrees with
                                               Commission should define a common                         is updated daily with a one-day lag.                  CAISO’s assertion that expediting
                                               set of commitment reason categories                       MISO states that the posted                           reporting of operator-initiated
                                               and, if so, which categories should be                    commitment information includes an                    commitments is not feasible because
                                               included, or whether it is more                           aggregation of the hourly economic                    these systems are already in place in
                                               appropriate to allow each RTO/ISO to                      maximum limit of committed resources                  other RTOs/ISOs. XO Energy asserts that
                                               establish a set of commitment reasons                     by commitment reason, and the total                   the commitment of units must be
                                               on compliance.189 MISO contends that                      number of resources committed by                      recorded into a database because this
                                               regional flexibility should be allowed                    commitment reason (either capacity or                 information is used for settlement
                                               for each RTO/ISO to establish an                          constraint name).197 MISO requests                    purposes and dispatch instructions are
                                               appropriate set of commitment reason                      guidance as to whether the four-hour                  sent electronically to resources and
                                               categories. MISO further argues that                      timeframe will be counted from the time
                                                                                                                                                               incorporated into the next SCED
                                               prescribing a set of categories may lead                  the commitment notification is issued,
                                                                                                                                                               calculation. XO Energy states that these
                                               to confusion and disruption of                            the beginning of the commitment
                                                                                                                                                               commitments can and should be posted
                                               established processes that may provide                    period, or the start of the current market
                                               the desired transparency, but in a                        interval.198 ISO–NE and PJM state that                in real-time as they occur.203 XO Energy
                                               manner that does not fit the prescribed                   they would likely be able to comply                   asserts that knowledge that a unit was
                                               categories.190 TAPS similarly urges the                   with the proposed reporting of operator-              committed by operator action may
                                               Commission to leave it to individual                      initiated commitments. PJM requests                   indicate an inefficiency in the system
                                               RTOs/ISOs to determine how best to                        that any final rule provide flexibility in            that is not currently reflected in
                                               comply with reporting requirements.191                    the reporting timeframe so that, in the               published prices, presenting an
                                                  94. Conversely, PJM and EEI support                    event of unforeseen technical issues,                 opportunity to solve that issue through
                                               the Commission defining a minimum                         PJM is not exposed to a compliance                    normal market activity. XO Energy
                                               set of categories to be used by RTOs/                     violation.199 NYISO states that it already            argues that if this information is delayed
                                               ISOs that identify the reasons for the                    posts information regarding many                      by even four hours, the opportunity to
                                               commitment.192 PJM requests that the                      operator-initiated commitments in real-               place bids to address that inefficiency
                                               Commission allow each RTO/ISO to                          time and generally supports the                       may pass.204 XO Energy contends that
                                               develop its own additional categories                     proposed reforms but, as noted above,                 market participants that own the units
                                               because RTOs/ISOs have different                          would need to report on additional                    being dispatched have access to
                                               market designs and operational                            commitments and add both the location                 operator-initiated commitment
                                               practices. Similarly, EEI argues that                     and upper operating limit of each                     information; market participants
                                               RTOs/ISOs should have the flexibility to                  resource included in its report.200                   without physical assets are
                                               provide more granular, detailed, or                          96. On the other hand, CAISO states                disadvantaged because they do not
                                               relevant information, as needed.193                       that it produces operator-initiated                   currently have access to this data and
                                               MISO also suggests that the Commission                    commitment reports manually because                   are underrepresented in the stakeholder
                                               could alternatively require that the                      they require collecting operator log                  process.205 Competitive Suppliers argue
                                               categories that each RTO/ISO                              information and presenting it in a                    that real-time commitments need to be
                                               establishes should, at a minimum,                         reporting format. Therefore, CAISO                    posted as soon as practical after they
                                               reflect the uplift categories the NOPR                    states that it cannot provide the required            occur, not later than four hours after the
                                               proposes.194 PJM states that it is unclear                operator-initiated commitment                         commitment, to help market
                                                                                                         information within the four-hour                      participants understand uplift.206 R
                                                    186 ISO–NE Comments at 44.
                                                    187 PJM
                                                                                                                                                               Street Institute contends that the
                                                            Comments at 14.                                195 PJM  Comments at 14.
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                                                    188 XO Energy Reply Comments at A–7.                   196 NOPR,
                                                                                                                                                               proposed temporal requirements are
                                                                                                                       FERC Stats. & Regs. ¶ 32,721 at P 94.
                                                    189 NOPR, FERC Stats. & Regs. ¶ 32,721 at P 95.        197 MISO Comments at 17 (MISO states that the
                                                    190 MISO Comments at 15–16; TAPS Comments at                                                                 201 CAISO    Comments at 14.
                                                                                                         data is described as pertaining to ‘‘3 or less
                                               9.                                                        resources’’ when the number of committed                202 Id. at 14–15.
                                                    191 TAPS  Comment at 9.                              resources is less than or equal to three).              203 XO Energy Reply Comments at A–3.
                                                    192 EEI Comments at 9; PJM Comments at 14.             198 Id. at 16.                                        204 Id. at A–3.
                                                    193 EEI Comments at 9.                                 199 PJM Comments at 14.                               205 Id. at A–1.
                                                    194 MISO Comments at 15–16.                            200 NYISO Comments at 8–9.                            206 Competitive Suppliers Comments at 12.




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                                                                Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                            18149

                                               reasonable and already met by NYISO,                    stakeholder process.212 We find that the                 result in uplift costs. Thus, unlike the
                                               MISO, and CAISO.207                                     basis for this requirement as outlined in                NOPR proposal, the definition adopted
                                                                                                       the NOPR remains compelling. The                         here does not include commitments
                                               e. Other Issues                                         Operator-Initiated Commitment Report                     made through look-ahead commitment
                                                  98. Some commenters suggest that                     will provide granular information about                  processes that minimize total
                                               RTOs/ISOs should be required to post                    the location, timing, causes and size of                 production costs. Consistent with the
                                               other types of commitments or                           operator-initiated commitments. Such                     NOPR proposal, this definition excludes
                                               additional information. XO Energy                       information will allow stakeholders to                   self-schedules. We expect that by not
                                               asserts that there is a substantial amount              better understand the connections                        explicitly requiring the inclusion of
                                               of operator discretion in the day-ahead                 between system needs and operator                        look-ahead commitments, this modified
                                               market and that all resources that                      actions and to make investments in                       definition will likely reduce the number
                                               contribute to day-ahead or real-time                    facilities and equipment where most                      of commitments that RTOs/ISOs are
                                               uplift should be reported.208                           needed by the system, thus potentially                   required to report compared to the
                                               Competitive Suppliers state that the                    improving market efficiency. We                          definition proposed in the NOPR, but
                                               definition should also include other                    address commenters’ concerns below.                      the modified definition will focus RTO/
                                                                                                         100. Based on the comments, we                         ISO reporting on commitments of those
                                               operator-initiated actions that impact
                                                                                                       adopt a modified definition of an                        resources whose offers are least likely to
                                               uplift, such as load biasing.
                                                                                                       operator-initiated commitment for the                    be reflected in day-ahead and real-time
                                               Furthermore, Competitive Suppliers
                                                                                                       purpose of this Final Rule. We agree                     prices and are therefore most likely to
                                               argue that self-scheduled units should
                                                                                                       with MISO and NYISO that the                             result in uplift costs.
                                               be reported when they are called on to
                                                                                                       proposed definition of operator-initiated                   101. PJM requests clarification that we
                                               alleviate an issue that would have
                                                                                                       commitments as ‘‘commitments not                         intend to require PJM to report all
                                               resulted in some uplift payment had the
                                                                                                       associated with clearing the day-ahead                   commitments made by operators
                                               unit not been self-scheduled.209 Golden                                                                          occurring after the close of the day-
                                                                                                       or real-time market on the basis of
                                               Spread requests that the Commission                     economics’’ may contradict the                           ahead market because it has no
                                               include the reporting of certain                        clarification in the NOPR that the                       ‘‘automated’’ commitments. We clarify
                                               transactions in the day-ahead market                    proposed definition includes                             that when an automated process makes
                                               that can impact LMPs and cause uplift,                  commitments made through look-ahead                      a recommendation to an operator who
                                               such as excess rampable capacity in SPP                 processes,213 particularly if an RTO/ISO                 makes the final decision, the
                                               that has been moved into the day-ahead                  process commits units on the basis of                    commitment must be reported if the
                                               market.210 EEI argues that in addition to               economics and includes look-ahead                        underlying process did not minimize
                                               generator information, RTOs/ISOs                        functionality. Further, as we noted in                   total production costs. However, we are
                                               should publish criteria used to make                    the NOPR, whether a commitment                           aware that RTOs/ISOs have a variety of
                                               decisions with regard to reserve levels,                cleared the market on the basis of                       processes through which units can be
                                               conservative operations, import levels,                 economics may be a point of confusion.                   committed. On compliance, we
                                               and other operational constraints. EEI                  In order to be more precise, we therefore                therefore require each RTO/ISO to
                                               contends that identifying the types of                  modify the definition of an operator-                    indicate, for each commitment process
                                               costs or transactions included in uplift                initiated commitment to be a                             (whether automated or manual) that
                                               payments, and which of those should be                  commitment after the day-ahead market,                   executes after the day-ahead market,
                                               included in LMPs will help inform                       whether manual or automated, for a                       whether it believes our modified
                                               potential changes to market rules                       reason other than minimizing the total                   definition implicates some or all
                                               around out-of-market actions.211                        production costs of serving load. RTO/                   commitments from the process and
                                               3. Determination                                        ISO market software generally                            justify any commitments that it does not
                                                                                                       minimizes total production costs subject                 plan to report.
                                                  99. We adopt the NOPR proposal and                   to certain reliability constraints. Such                    102. After considering commenters’
                                               require each RTO/ISO to post all                        software may make commitments to                         responses to the questions the
                                               operator-initiated commitments on its                   meet needs for additional supply due to                  Commission asked about the reporting
                                               website, subject to the modifications                   changing market conditions or                            timeframe, potential implementation
                                               and clarifications discussed below.                     variations from forecast after the day                   challenges of reporting in real-time, and
                                               Operator-initiated commitments are                      ahead market. These commitments                          whether a different reporting timeframe
                                               made to address system needs, but                       reflect the next marginal supply to meet                 would provide sufficient
                                               because they are made outside of the                    load and minimize total production                       transparency,214 we find that requiring
                                               market are inherently less transparent.                 costs and are thus exempt from this                      operator-initiated commitments to be
                                               As stated in the NOPR, transparency                     reporting requirement. In contrast,                      posted no later than four hours after the
                                               into operator-initiated commitments is                  because some constraints cannot be                       commitment may place an unnecessary
                                               important because such commitments                      included in market software, RTOs/ISOs                   burden on some RTOs/ISOs. Therefore,
                                               can affect energy and ancillary service                 may need to make some commitments                        we require that each RTO/ISO post this
                                               prices and can result in uplift. Greater                to address reliability considerations that               information on its website in machine-
                                               transparency will allow stakeholders to                 are not modeled in the market software.                  readable format as soon as practicable
                                               better understand the drivers of uplift                 Because these considerations are not                     but no later than 30 days after the end
                                               costs, assess an RTO’s/ISO’s operator-                  included in the software, they may not                   of the month. However, we note that the
                                               initiated commitment practices, and                                                                              timing of operator-initiated
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                                                                                                       minimize total production costs and
                                               raise any issues of concern through the                 thus should be reported. Such                            commitments is important to
                                                                                                       commitments are not likely to be                         understanding system conditions
                                                 207 R Street Institute Comments at 5–6.               reflected in market prices and may                       surrounding those commitments, and
                                                 208 XO  Energy Replacement Comments at 35.                                                                     was implicit in the proposed four-hour
                                                 209 Competitive Suppliers Comments at 10–11.            212 NOPR,     FERC Stats. & Regs. ¶ 32,721 at PP 92–   deadline. Because we no longer require
                                                 210 Golden Spread Comments at 12–13.                  93.
                                                 211 EEI Comments at 9–10.                               213 Id.   P 90.                                         214 Id.   P 94.



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                                               18150               Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               near-real-time reporting of operator-                      of transmission zone adopted in this                   RTOs/ISOs may propose any further
                                               initiated commitments, we instead will                     Final Rule, and provide justification for              changes they deem appropriate in a
                                               require each RTO/ISO to include in its                     any differences between the sets of                    separate filing pursuant to section 205
                                               report the start time of each                              zones used for the two reports.                        of the Federal Power Act.217
                                               commitment in order to enable                                 105. We adopt the NOPR proposal                        108. We also confirm that RTOs/ISOs
                                               stakeholders to understand system                          and require that the Operator-Initiated                may choose to report more information
                                               conditions surrounding the                                 Commitment Reports include the reason                  about operator-initiated commitments or
                                               commitment. While we are providing                         for each commitment. In the NOPR, the                  other operator actions. However, we
                                               each RTO/ISO significant flexibility in                    Commission requested comment as to                     find that requests by several
                                               when it must report operator-initiated                     whether the Commission should define                   commenters to require reporting of other
                                               commitments, we encourage each RTO/                        a common set of categories of                          types of commitments or other operator
                                               ISO to design its processes so that this                   commitment reasons for use across all                  actions that may affect uplift are beyond
                                               information is provided to market                          RTOs/ISOs and, if so, what reasons                     the scope of this proceeding, as this
                                               participants as soon as possible.                          should be included, or whether to allow                requirement only addresses operator-
                                                  103. We adopt the NOPR proposal to                      each RTO/ISO to establish a set of                     initiated commitments.
                                               require RTOs/ISOs to report the size of                    appropriate operator-initiated
                                                                                                                                                                 D. Transmission Constraint Penalty
                                               each commitment. In the NOPR, we                           commitment reasons on compliance. As
                                                                                                                                                                 Factors
                                               described this value as the upper                          EEI suggests, requiring a common set of
                                               economic operating limit of the                            commitment reasons will help ensure                    1. NOPR Proposal
                                               committed resource in MW (i.e., its                        that RTOs/ISOs provide similar                            109. In the NOPR, the Commission
                                               economic maximum).215 We continue to                       information to market participants. This               proposed to require each RTO/ISO to
                                               believe this requirement will provide                      consideration is balanced against the                  include, in its tariff: Its transmission
                                               transparency into the size of the system                   desire for a minimum set of                            constraint penalty factor values; the
                                               need associated with the operator-                         commitment reasons that are not so                     circumstances, if any, under which the
                                               initiated commitment. However, RTOs/                       broad as to provide limited inference                  transmission constraint penalty factors
                                               ISOs may propose, on compliance, an                        about the nature of the reliability                    can set LMPs; and the procedure, if any,
                                               alternative metric and must demonstrate                    consideration addressed through the                    for temporarily changing the
                                               that it provides transparency into the                     commitment. While no specific                          transmission constraint penalty factor
                                               size of the system need associated with                    commitment reasons were suggested by                   values. The Commission further
                                               the operator-initiated commitment that                     commenters, the potential commitment                   proposed that any procedure for
                                               is consistent with or superior to that                     reasons listed in the NOPR 216 appear to               temporarily changing transmission
                                               provided by the economic maximum of                        be consistent with the broad reasons for               constraint penalty factor values must
                                               each committed resource. This should                       which RTOs/ISOs make operator-                         provide for notice of the change to
                                               address SPP’s assertion that this                          initiated commitments. Therefore, we                   market participants.218
                                               resource parameter should not be posted                    require that RTOs/ISOs, include, at a                     110. The Commission reasoned that
                                               because it is considered competitive                       minimum, the following three                           transparency into transmission
                                               information.                                               commitment reasons: system-wide                        constraint penalty factors and associated
                                                  104. As with the Zonal Uplift Report                    capacity, constraint management, and                   practices is important because the
                                               discussed above, we adopt the NOPR                         voltage support. However, we                           penalty factors and practices can affect
                                               proposal and define ‘‘transmission                         acknowledge that RTOs/ISOs may use                     prices. Without an understanding of the
                                               zone’’ as a geographic area that is used                   different terminology or have other                    level of transmission constraint penalty
                                               for the local allocation of charges and                    reasons for making operator-initiated                  factors or under what circumstances
                                               find that this definition balances the                     commitments that do not minimize total                 they can set LMPs or be temporarily
                                               benefits of greater transparency with the                  production costs. Therefore, if RTOs/                  changed, market participants may not be
                                               desire to preserve a reasonable level of                   ISOs would like to include additional or
                                                                                                                                                                 able to hedge transactions appropriately
                                               protection of potentially commercially-                    more detailed commitment reasons in
                                                                                                                                                                 or raise concerns into RTO/ISO
                                               sensitive information. As discussed                        their Operator-Initiated Commitment
                                               above, RTOs/ISOs may have multiple                                                                                practices through the stakeholder
                                                                                                          Reports, they may do so.
                                               existing types of zones that could meet                       106. We clarify that we are not                     process.219
                                               our definition. We believe that there are                  requiring that RTOs/ISOs identify                      2. Comments
                                               transparency benefits to using the same                    resource names or specific constraints                    111. Many commenters support the
                                               set of zones for the Zonal Uplift Report                   in the Operator-Initiated Commitment                   proposed requirement that all RTOs/
                                               and the Operator-Initiated Commitment                      Report. We also clarify, in response to                ISOs include provisions related to
                                               Report. However, we acknowledge that                       concerns from PJM and ISO–NE that                      transmission constraint penalty factors
                                               an RTO/ISO may have a legitimate                           each RTO/ISO is permitted to propose,                  in their tariffs.220 Potomac Economics
                                               reason for using a more or less granular                   upon compliance, modifications to the
                                               set of zones for one or the other of the                   report to avoid disclosing information                   217 16   U.S.C. 824d.
                                               two reports and the decision to provide                    that could be used to harm system                        218 NOPR,    FERC Stats. & Regs. ¶ 32,721 at
                                               less granularity on one report does not                    security.                                              Regulatory Text.
                                               necessitate less granularity for both                         107. In response to NYISO’s and ISO–                   219 Id. P 80.

                                               reports simply to maintain consistency                     NE’s comments that it may be necessary                    220 APPA/NRECA Comments at 12–13; AWEA

                                               between reports. On compliance, we                         to create new rules or procedures to                   Comments at 10; Competitive Suppliers Comments
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                                                                                                                                                                 at 10; Designated Marketers Comments at 6; Direct
                                               require each RTO/ISO to include in its                     address market power or anti-                          Energy Comments at 10; EEI Comments at 10;
                                               tariff the type of zone that it proposes                   competitive behavior that may arise as                 Financial Marketers Coalition Comments at 45;
                                               to use in its Operator-Initiated                           a result of this report we note that any               Golden Spread Comments at 5; MISO Comments at
                                               Commitment Report, explain how the                         such rules or procedures would be                      19; NYISO Comments at 1; PJM Comments at 15;
                                                                                                                                                                 PJM Market Monitor Comments at 10; Potomac
                                               chosen type of zone meets the definition                   outside the scope of this proceeding.                  Economics Comments at 12–13; R Street Institute
                                                                                                                                                                 Comments at 6; TAPS Comments at 10; XO Energy
                                                 215 Id.   P 91.                                            216 Id.   P 95 and n.109.                            Replacement Comments at 37, 39.



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                                                                   Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                                  18151

                                               explains that transmission constraint                   in its tariff.228 The PJM Market Monitor              not allow penalty factors to set price
                                               penalty factors represent the maximum                   explains that it has recommended that                 should explain and justify the
                                               re-dispatch cost that a RTO/ISO will                    PJM include transmission constraint                   conditions for relaxing a constraint.236
                                               incur to resolve congestion on a                        penalty factor values in its tariff, and              Financial Marketers Coalition states that
                                               constraint, and are generally used to set               explicitly state its policy on the use of             arbitrary standards on when
                                               the congestion components of LMPs                       these penalty factors in setting LMP, the             transmission constraint penalty factors
                                               when a constraint is violated. Because                  appropriate triggers of these penalty                 can set LMPs can afford considerable
                                               penalty factors can set prices and affect               factors, and when they should be used                 discretion to dispatchers and can lead to
                                               dispatch, Potomac Economics supports                    to set the shadow prices of transmission              confusion among market participants.237
                                               requiring RTOs/ISOs to file                             constraints.229 ISO–NE allows that it                    115. Potomac Economics suggests that
                                               transmission constraint penalty factors,                could specify more information on                     the Commission not only require RTOs/
                                               and any provisions to adjust them, in                   transmission constraint penalty factors               ISOs to explain how penalty factors
                                               their tariffs to be reviewed and                        in its tariff.230                                     contribute to setting LMP, but require
                                               approved by the Commission.221                             113. Several commenters explicitly                 that penalty factors set shadow prices
                                               Competitive Suppliers state that                        support the proposal requiring RTOs/                  for violated constraints.238 The PJM
                                               transmission constraint penalty factors                 ISOs to explain in their tariffs when                 Market Monitor agrees that penalty
                                               affect prices and uplift, so transparency               transmission constraint penalty factors               factors should affect LMPs in the same
                                               around their use is important for market                can set LMPs, if ever.231 Potomac                     manner that generator offer prices affect
                                               participants to understand their                        Economics, XO Energy, and R Street                    LMPs, so if the flow on a transmission
                                               impact.222 MISO asserts that                            Institute explain that when a constraint              constraint exceeds the line limit, the
                                               transparency around transmission                        is violated, some RTOs/ISOs relax the                 shadow price of the constraint should
                                               constraint penalty factors can increase                 constraint to reduce the shadow price to              equal the transmission constraint
                                               confidence that market outcomes are                     less than the penalty factor, which                   penalty factor.239
                                               rational and encourage dialogue to                      reduces congestion components of                         116. Multiple commenters explicitly
                                               improve market efficiency, while                        LMPs.232 Potomac Economics explains                   support the proposed requirement that
                                               Financial Marketers Coalition asserts                   that if, for example, an RTO/ISO has a                RTOs/ISOs include in their tariffs any
                                               that a lack of transparency around these                penalty factor of $1,000 and the unit                 procedures for changing penalty factors
                                               practices can lead to confusion and                     that is re-dispatched to manage the                   and provide notice of any such changes
                                               uncertainty in understanding and                        constraint has a marginal cost of $999,               to market participants.240 Potomac
                                               forecasting prices.223 No commenters                    the congestion will be determined by                  Economics states that it has observed
                                               express opposition to the requirements                  the $999 shadow price. However, if the                RTOs/ISOs increasing or decreasing the
                                               proposed in the NOPR.                                   RTO/ISO relaxes the constraint, thereby               transmission constraint penalty factors
                                                                                                       diminishing reliability, the ‘‘relaxed’’              in real-time operations for a variety of
                                                  112. Several RTOs/ISOs state that                    shadow price that determines the                      reasons.241 Potomac Economics states
                                               they currently comply, plan to comply,                  congestion cost may be well below the                 that RTOs/ISOs generally increase a
                                               or could comply with the proposed                       penalty factor.233                                    penalty factor when a violation raises
                                               requirements. MISO and MISO                                114. R Street Institute argues that                more serious reliability concerns than
                                               Transmission Owners assert that MISO’s                  relaxing transmission constraints to                  normal and decrease a factor in real-
                                               tariff is consistent with the proposal.224              prevent penalty factors from setting                  time to reduce the real-time congestion
                                               MISO also notes that it posts shadow                    prices distorts congestion price                      pricing for a violated constraint.
                                               prices, transmission constraint penalty                 formation, which undermines efficient                 Potomac Economics states that whether
                                               factors, and reasons for temporary                      commitment and dispatch in the short                  increasing or decreasing the factors,
                                               overrides of transmission constraint                    term and distorts market investments                  these actions can profoundly affect
                                               penalty factors in reports on its                       and retirements in the long term.234 XO               LMPs, unit commitments, dispatch
                                               website.225 CAISO states that its tariff                Energy asserts that penalty prices are in             levels, and reliability, and therefore
                                               already contains the penalty factors and                place to improve price formation when                 RTOs/ISOs should file any provisions to
                                               their impacts on market outcomes for                    all economic actions are exhausted, and               adjust them.242
                                               each of its markets and market                          that constraint relaxation masks the                     117. XO Energy states that MISO
                                               calculations.226 NYISO intends to file                  underlying violation.235 XO Energy                    currently posts any overridden
                                               tariff revisions with the Commission                    further argues that RTOs/ISOs that do                 transmission constraint demand curves
                                               independent of the NOPR, which will                                                                           through its real-time market and
                                               align with the proposed requirements of                   228 PJM   Comments at 15.                           provides reasons for such overrides in
                                               the NOPR.227 PJM supports including                       229 PJM   Market Monitor Comments at 10 (citing
                                                                                                                                                             its next-day market reports.243 In
                                               certain provisions related to                           PJM, 2015 Annual State of the Market Report, v. 2,
                                                                                                       Section 3: Energy Market (March 2016), http://        contrast, XO Energy notes that PJM does
                                               transmission constraint penalty factors
                                                                                                       www.monitoringanalytics.com/reports/PJM_State_        not provide any indication or rationale
                                                                                                       of_the_Market/2015/2015-som-pjm-volume2-              for changing transmission constraint
                                                 221 Potomac  Economics Comments at 12–13.             sec3.pdf).
                                                 222 Competitive
                                                                                                                                                             penalty factors, but generally performs a
                                                                   Suppliers Comments at 10.              230 ISO–NE Comments at 44–45.
                                                 223 Financial Marketers Coalition Comments at            231 Competitive Suppliers Comments at 10; EEI
                                                                                                                                                               236 Id.   at 37.
                                               45; MISO Comments at 18.                                Comments at 10; Financial Marketers Coalition
                                                                                                                                                               237 Financial      Marketers Coalition Comments at
                                                 224 MISO Comments at 18–19 (citing Schedule           Comments at 45; Golden Spread Comments at 5;
                                               28A of its Tariff); MISO Transmission Owners            PJM Market Monitor Comments at 10; Potomac            45.
                                                                                                                                                               238 Potomac   Economics Comments at 16.
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                                               Comments at 5 n.17.                                     Economics Comments at 16; R Street Institute
                                                 225 MISO Comments at 19.                              Comments at 6; XO Energy Replacement Comments           239 PJM  Market Monitor Comments at 11.
                                                 226 CAISO Comments at 11–12.                          at 37.                                                  240 EEI Comments at 10; Golden Spread
                                                                                                          232 Potomac Economics Comments at 14–15; R         Comments at 5; PJM Market Monitor Comments at
                                                 227 NYISO Comments at 12. Since its comments,

                                               NYISO has subsequently filed transmission               Street Institute Comments at 6; XO Energy             10; R Street Institute Comments at 5; XO Energy
                                               constraint pricing tariff revisions with the            Comments at 37–39.                                    Replacement Comments at 39.
                                                                                                          233 Potomac Economics Comments at 14–15.             241 Potomac Economics Comments at 12–13.
                                               Commission. N.Y. Indep. Sys. Operator, Inc.,
                                                                                                          234 R Street Institute Comments at 6.                242 Id. at 13–14.
                                               Docket No. ER17–1453–000 (June 14, 2017)
                                               (delegated letter order).                                  235 XO Energy Comments at 38.                        243 XO Energy Replacement Comments at 39–40.




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                                               18152               Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               price correction the following day that                   transmission constraint penalty factor                  constraint penalty factors and
                                               is only evident through increased or                      values used in its market software; 250                 specifications for how transmission
                                               decreased shadow prices.244 ISO–NE                        (2) the circumstances, if any, under                    constraint penalty factors can set LMPs.
                                               and TAPS state that tariff provisions on                  which the transmission constraint                       However, we find that such requests go
                                               transmission constraint penalty factors                   penalty factors can set LMPs; 251 and (3)               beyond the scope of this rule, which is
                                               should be flexible enough to permit                       the procedures, if any, for temporarily                 focused on transparency into current
                                               system operators to modify these factors                  changing transmission constraint                        RTO/ISO practices related to
                                               in real-time to maintain reliability of the               penalty factor values. We also require                  transmission constraint penalty factors.
                                               system and otherwise temporarily                          that any procedures for temporarily                     Accordingly, we will not address those
                                               change these values to account for                        changing transmission constraint                        requests here. Further, RTOs/ISOs may
                                               changes in system conditions.245 CAISO                    penalty factor values must provide for                  propose any changes they deem
                                               states that while it currently cannot                     notice of the change to market                          appropriate to their current practices
                                               temporarily change penalty prices, it                     participants as soon as practicable.252                 related to transmission constraint
                                               does not object to obtaining such                         We find that transmission constraint                    penalty factors in a separate filing
                                               flexibility in its tariff or to describing in             penalty factors have the potential to                   pursuant to section 205 of the Federal
                                               its tariff the relevant conditions for                    materially affect energy and ancillary                  Power Act.253
                                               utilizing such flexibility.246                            services prices so they should be
                                                  118. Potomac Economics makes two                       included in the tariff. Further, greater                E. Other Comments Requested
                                               recommendations to strengthen the                         transparency into transmission
                                               requirement to file transmission                                                                                  1. Reporting of Transmission Outages
                                                                                                         constraint penalty factors will allow
                                               constraint penalty factors. Potomac                       market participants to understand how                      123. In the NOPR, the Commission
                                               Economics states that the Commission                      an RTO’s/ISO’s actions and practices                    requested comment on whether
                                               should require or encourage RTOs/ISOs                     affect clearing prices. We agree with                   additional reporting of transmission
                                               to file multi-point demand curves, as in                  commenters that, without transparency                   outages should be required, noting that
                                               MISO and NYISO, rather than single                        into transmission constraint penalty                    transmission outages are an important
                                               penalty values because demand curves                      factors, market participants cannot                     facet of price formation because they
                                               demonstrate that the size of the                          understand the impact of these factors                  can affect RTO/ISO commitment and
                                               violation matters from a reliability                      on LMPs or effectively engage in                        dispatch decisions and resulting market
                                               perspective. XO Energy also supports                      dialogue or transactions to improve                     clearing prices.254
                                               the implementation of the demand                          market efficiencies. Accordingly, we
                                               curve approach used in MISO.247                           adopt the proposal in the NOPR. On                      a. Comments
                                                  119. Potomac Economics also suggests                   compliance, each RTO/ISO is required
                                               that the Commission clarify that penalty                  to include its current transmission                        124. Most RTOs/ISOs state that they
                                               values should correspond to the                           constraint penalty factors and associated               already provide information on
                                               reliability concerns that arise when                      current practices in its tariff. The three              transmission outages. MISO states that it
                                               constraints are violated. Potomac                         Transmission Constraint Penalty Factor                  posts all transmission outages on OASIS
                                               Economics states that, while estimating                   Requirements also apply to any                          on an hourly basis.255 ISO–NE states
                                               the reliability value of a transmission                   subsequent changes to an RTO’s/ISO’s                    that it currently posts both long- and
                                               constraint can be challenging,                            penalty factor values and practices.                    short-term reports on transmission
                                               reasonable values can be set that reflect                    122. We clarify that we are not                      outages, updated on a daily and 15-
                                               the relative reliability concern                          requiring RTOs/ISOs to have procedures                  minute basis, respectively.256 NYISO
                                               associated with violating different                       to temporarily change their transmission                states that it posts information regarding
                                               constraints.248                                           constraint penalty factor values. Rather,               scheduled and actual outages of 100 kV
                                                  120. XO Energy states that RTO/ISO                     if an RTO/ISO currently has the                         and higher transmission facilities on its
                                               actions to affect the percentages of                      flexibility to temporarily override                     website in machine-readable format.257
                                               thermal limits used for controlling                       transmission constraint penalty factor                  PJM states that it posts outages on its
                                               constraints also can mask violations of                   values, for example, to account for                     website.258
                                               thermal limits and affect how high                        reliability concerns, the circumstances                    125. Several commenters support
                                               shadow prices can bind. XO Energy                         under which the factors may be changed                  additional transparency into
                                               therefore suggests enhancing the                          and any procedures for doing so must be                 transmission outages.259 The PJM
                                               transparency of operator actions                          included in the RTO’s/ISO’s tariff. We                  Market Monitor asserts that more
                                               surrounding Limit Controls.249                            appreciate requests that the Commission                 consistent and timely outage reporting
                                               3. Determination                                          require RTOs/ISOs to adopt specific                     is important to transparency.260
                                                                                                         practices in developing transmission                    Potomac Economics and AWEA argue
                                                  121. We adopt the NOPR proposal
                                               and require that each RTO/ISO include                       250 As proposed in the NOPR, if the RTO/ISO
                                                                                                                                                                 that additional reporting of transmission
                                               in its tariff on an on-going basis: (1) The               includes different transmission constraint penalty      outages would improve market
                                                                                                         factors for different purposes (e.g., unit commitment
                                                 244 Id.                                                 and economic dispatch, day-ahead versus real-             253 16 U.S.C. 824d.
                                                           at 40.
                                                 245 ISO–NE
                                                                                                         time), we require that all sets of transmission           254 NOPR,  FERC Stats. & Regs. ¶ 32,721 at P 98.
                                                                 Comments at 44–45; TAPS Comments        constraint penalty factors be included in the tariff.     255 MISO Comments at 19.
                                               at 10.                                                    See NOPR, FERC Stats. & Regs. ¶ 32,721 at P 97.
                                                  246 CAISO Comments at 11–12.                                                                                     256 ISO–NE Comments at 45.
                                                                                                           251 As proposed in the NOPR, RTOs/ISOs should
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                                                  247 XO Energy Replacement Comments at 43.                                                                        257 NYISO Comments at 12.
                                                                                                         provide explanations in their tariffs if they have
                                                  248 Potomac Economics Comments at 14.                                                                            258 PJM Comments at 15.
                                                                                                         different processes for allowing transmission
                                                                                                                                                                   259 AWEA Comments at 10; Direct Energy
                                                  249 XO Energy Replacement Comments at 36, 39           constraint penalty factors to set LMPs in different
                                               (citing PJM, Transmission Constraint Control Logic        circumstances, as well as any specific restrictions     Comments at 10; Diversified Trading/eXion Energy
                                               in Market Clearing Engines (March 2017), http://          or conditions under which transmission constraint       Comments at 5–7; EDF Comments at 1–5; PJM
                                               www.pjm.com/∼/media/committees-groups/                    penalty factors are allowed to set LMPs. NOPR,          Market Monitor Comments at 11; Potomac
                                               committees/mic/20170308/20170308-                         FERC Stats. & Regs. ¶ 32,721 at P 98.                   Economics Comments at 11–12; XO Energy
                                               informational-only-transmission-constraint-control-         252 NOPR, FERC Stats. & Regs. ¶ 32,721 at PP 96–      Replacement Comments at 43–45.
                                               logic-in-mces.ashx).                                      99.                                                       260 PJM Market Monitor Comments at 11.




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                                                                Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                             18153

                                               efficiency and reduce uncertainty for                   identified via this posting.268 MISO                  PJM state that market models are only
                                               participants.261                                        Transmission Owners similarly state                   available to a subset of market
                                                  126. XO Energy contends that all                     that outage information may contain                   participants.275 NYISO explains that its
                                               RTOs/ISOs should be required to post                    CEII or other confidential information                network model is only available to
                                               all known transmission outages in real-                 that should not be identified                         participants in the Transmission
                                               time at the same frequency as real-time                 publicly.269 MISO Transmission Owners                 Congestion Market, upon request.
                                               dispatch, using EMS model detail. XO                    contend that transmission outages are                 NYISO states it is not available to others
                                               Energy also contends that planned and                   not fully explored in the NOPR and may                because it includes certain
                                               emergency outages known and included                    be better left to a future rulemaking.270             modifications to account for system
                                               in the day-ahead market solution should                 Finally, ISO–NE notes that outages that               assumptions utilized in that market.276
                                               be included as an additional report                     only impact specific generation or other              PJM states that certain entities are
                                               posted with each RTO/ISO day-ahead                      supply resources are considered market                prohibited from accessing network
                                               market solution.262                                     sensitive and excluded from reports.                  models. PJM explains that in some
                                                  127. Diversified Trading/eXion                       However, ISO–NE states that                           instances it may share some of these
                                               Energy and XO Energy contend that                       stakeholders have discussed whether to                models with certain entities, such as
                                               RTOs/ISOs should be required to post                    expand current reporting practices to                 Transmission Owners, but only to
                                               all outages that are modified or                        include the market sensitive outages in               coordinate the reliability of the
                                               cancelled after the close of the day-                   reports.271                                           transmission system with PJM, not for
                                               ahead market, as well as the impact of                                                                        the sake of market transparency.277
                                                                                                       b. Determination                                         134. Some commenters argue against
                                               cancelled outages on prices and uplift.
                                                                                                          130. We appreciate the input from                  the wider dissemination of market
                                               Diversified Trading/eXion Energy
                                                                                                       multiple commenters on the reporting of               models, noting confidentiality
                                               further contend that this posting should
                                                                                                       transmission outages. In the NOPR, the                concerns.278 The PJM Market Monitor
                                               also include the reason for the                         Commission sought comment on this
                                               cancellation or modification, the                                                                             argues that there is no efficiency gain
                                                                                                       topic but did not make a specific                     and potential market power issues could
                                               transmission owner, and the frequency                   proposal. Accordingly, based on the
                                               with which the transmission owner has                                                                         arise from the wider dissemination of
                                                                                                       record in this proceeding, we will not                market models.279 Other commenters
                                               cancelled or modified outages after the                 require additional reporting for
                                               cut-off.263                                                                                                   argue that market models should be
                                                                                                       transmission outages at this time.                    available to all market participants,280
                                                  128. EDF asserts that there is a need
                                                                                                       2. Availability of Market Models                      or that releasing market models subject
                                               for RTOs/ISOs to incorporate economic
                                                                                                                                                             to CEII protection or non-disclosure
                                               assessments into their transmission                        131. In the NOPR, the Commission                   agreements is appropriate.281 XO
                                               outage scheduling practices and moves                   requested comment on whether certain                  Energy, for example, asserts that access
                                               that the Commission establish a                         classes of market participants are                    to market models would allow market
                                               technical conference to address the                     prohibited from obtaining the network                 participants to place transactions that
                                               impact of transmission outages on RTO/                  models in certain RTOs/ISOs and the                   increase market efficiency and
                                               ISO commitment and dispatch decisions                   justification for any such restrictions.              reliability.282
                                               and resulting market clearing prices.264                The Commission defined ‘‘network
                                               EDF contends that RTOs/ISOs typically                   model’’ as ‘‘the RTO’s/ISO’s model used               b. Determination
                                               only assess the reliability impact of                   in its energy management system for the                  135. We appreciate the input from
                                               outages and do not consider economic                    real-time operation of the transmission               multiple commenters on the availability
                                               impacts. EDF contends that an                           system (e.g., state-estimation,                       of market models. In the NOPR, the
                                               economic assessment of transmission                     contingency analysis).’’ 272                          Commission sought comment on this
                                               outages should be possible, at relatively                                                                     topic but did not make a specific
                                                                                                       a. Comments
                                               low cost, most of the time, with no                                                                           proposal. Accordingly, based on the
                                               reliability impact, given sufficient                       132. Financial Marketers Coalition
                                                                                                                                                             record in this proceeding, we will not
                                               advanced planning.265                                   and XO Energy explain that there are
                                                                                                                                                             require changes to the accessibility of
                                                  129. On the other hand, MISO and                     several different types of market models
                                                                                                                                                             market models at this time.
                                               PJM contend that additional reporting                   and discuss the varying availability of
                                               requirements are unnecessary,266 while                  different market models between market                V. Compliance and Implementation
                                               MISO Transmission Owners contend                        participant classes across RTOs/ISOs.                 Timelines
                                               that any further reporting requirements                 XO Energy asserts that MISO and SPP                     136. In the NOPR, the Commission
                                               may be duplicative.267 Several                          provide a fair amount of detail and that              proposed to require that each RTO/ISO
                                               commenters also bring up                                PJM, NYISO, and CAISO provide the                     submit a compliance filing within 90
                                               confidentiality concerns. PJM argues                    least amount of model detail.273                      days of the effective date of the Final
                                               that posting additional information may                    133. ISO–NE and MISO state they
                                               risk releasing confidential market                      provide network models to all market                    275 NYISO Comments at 12–13; PJM Comments at

                                               participant information because the                     participants.274 However, NYISO and                   11–12.
                                                                                                                                                               276 NYISO Comments at 12–13.
                                               status of a unit or station would be                      268 PJM  Comments at 15.                              277 PJM Comments at 11–12.
                                                                                                         269 MISO   Transmission Owners Comments at 15;        278 MISO Transmission Owners Comments at 14–
                                                 261 AWEA       Comments at 10; Potomac Economics      PJM Comments at 15.                                   15; PJM Comments at 11–12.
                                               Comments at 11–12.
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                                                                                                          270 MISO Transmission Owners Comments at 14–         279 PJM Market Monitor Comments at 11–12.
                                                  262 XO Energy Replacement Comments at 43–44.
                                                                                                       15.                                                     280 AWEA Comments at 10–14; Designated
                                                  263 Diversified Trading/eXion Energy Comments           271 ISO–NE Comments at 45.
                                                                                                                                                             Marketers Comments at 7; TAPS Comments at 10;
                                               at 5–7; XO Energy Replacement Comments at 44–              272 NOPR, FERC Stats. & Regs. ¶ 32,721 at P 101.   XO Energy Replacement Comments at 45–47.
                                               45.                                                        273 Financial Marketers Coalition Comments at        281 Appian Way Comments at 8; Designated
                                                  264 EDF Comments at 1.
                                                                                                       40–44; XO Energy Replacement Comments at 45–          Marketers Comments at 7; ISO–NE Comments at
                                                  265 Id. at 5.
                                                                                                       47.                                                   45–46; XO Energy Replacement Comments at 45–
                                                  266 MISO Comments at 19; PJM Comments at 12.            274 ISO–NE Comments at 45–46; MISO Comments        47.
                                                  267 MISO Transmission Owners Comments at 15.         at 20.                                                  282 XO Energy Reply Comments at 8.




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                                               18154            Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               Rule. The Commission also requested                     implementation.287 CAISO and SPP do                   requirements of a rule will not be
                                               comment on whether 90 days provided                     not comment on compliance or                          penalized for failing to respond to these
                                               sufficient time for RTOs/ISOs to                        implementation timelines.                             collection(s) of information unless the
                                               develop new tariff language in response                    140. Direct Energy states that the                 collection(s) of information display a
                                               to the Final Rule. The Commission also                  shorter the period for implementing the               valid OMB control number.
                                               proposed that tariff changes                            changes to transparency requirements                     143. In this Final Rule, we are
                                               implementing the Final Rule must                        the better, as the changes will only                  amending the Commission’s regulations
                                               become effective no more than six                       enhance RTO/ISO markets.288 APPA                      to improve the operation of organized
                                               months after compliance filings are                     and NRECA recommend that the                          wholesale electric power markets
                                               due.283                                                 Commission seek input from RTOs/ISOs                  operated by RTOs/ISOs. We require that
                                                                                                       regarding the feasibility and timing of               each RTO/ISO: (1) Report, on a monthly
                                               A. Comments                                             their ability to comply with the                      basis, uplift payments for each
                                                  137. The Commission did not propose                  transparency provisions.289                           transmission zone, broken out by day
                                               separate compliance and                                 B. Determination                                      and uplift category (Zonal Uplift
                                               implementation deadlines for the uplift                                                                       Report); (2) report, on a monthly basis,
                                               cost allocation and transparency                           141. In the NOPR, the Commission
                                                                                                       did not propose separate compliance                   total uplift payments for each resource
                                               reforms. Accordingly, most of the                                                                             (Resource-Specific Uplift Report); (3)
                                               comments received on this subject                       and implementation deadlines for the
                                                                                                       uplift cost allocation and transparency               report, on a monthly basis, for each
                                               understandably address compliance and                                                                         operator-initiated commitment, the size
                                               implementation assuming that the Final                  reforms. Most of the comments received
                                                                                                       on this subject address compliance and                of the commitment, transmission zone,
                                               Rule would address both proposed                                                                              commitment reason, and commitment
                                               reforms. We do not discuss comments                     implementation assuming a Final Rule
                                                                                                       would address both initiatives, and in                start time (Operator-Initiated
                                               that solely addressed compliance and                                                                          Commitment Report); and (4) define in
                                               implementation of the proposed uplift                   several cases, focused only on
                                                                                                       compliance and implementation related                 its tariff the transmission constraint
                                               cost allocation reform.                                                                                       penalty factors, as well as the
                                                  138. MISO requests that the                          to the uplift cost allocation initiative. As
                                                                                                       this Final Rule only addresses the                    circumstances under which those
                                               Commission consider a compliance                                                                              factors can set locational marginal
                                               timeline of 120 days, citing a need to                  transparency initiative, we reason that
                                                                                                       some of the proposed compliance and                   prices (LMP), and any process by which
                                               review existing protocols, refine current                                                                     they can be changed (Transmission
                                               processes to reflect any changes                        implementation deadline concerns may
                                                                                                       be alleviated. We agree with Direct                   Constraint Penalty Factor
                                               stemming from the NOPR proposal, and                                                                          Requirements).
                                               discuss changes with stakeholders.                      Energy that it is preferable that the
                                                                                                       transparency benefits of these reforms                   144. The reforms required in this
                                               MISO requests that the Commission
                                                                                                       be realized as quickly as possible.                   Final Rule include a one-time tariff
                                               consider an implementation timeline of
                                                                                                       Therefore, we require that each RTO/                  filing with the Commission due 60 days
                                               365 days, as MISO estimates that the
                                                                                                       ISO submit a compliance filing within                 after the effective date of this Final Rule.
                                               coding and testing of new software will
                                                                                                       60 days of the effective date of this Final           The reforms will also require each RTO/
                                               likely take a minimum of 60 to 90
                                                                                                       Rule that establishes in its tariff the               ISO to maintain and post the three
                                               days.284
                                                                                                       three reporting requirements and one                  reports on an ongoing basis. We
                                                  139. ISO–NE states that the 90-day
                                                                                                       requirement related to transmission                   estimate this will require about 36 hours
                                               compliance deadline is too short as it
                                                                                                       constraint penalty factors as described               each year (three hours each month) for
                                               leaves insufficient time to consult with
                                                                                                       herein. Further, we require tariff                    each RTO/ISO. We anticipate the
                                               stakeholders, consider alternative                      changes to become effective no more                   reforms proposed in this Final Rule,
                                               compliance approaches and develop                       than 120 days after compliance filings                once implemented, would not
                                               and file tariff changes. ISO–NE also                    are due.                                              significantly change currently existing
                                               asserts that the six-month deadline
                                                                                                       VI. Information Collection Statement                  burdens on an ongoing basis. The
                                               appears arbitrary. ISO–NE concludes
                                                                                                                                                             Commission will submit the proposed
                                               that the Commission should allow                          142. The Paperwork Reduction Act                    reporting requirements to OMB for its
                                               RTOs/ISOs to submit a compliance                        (PRA) 290 requires each federal agency to             review and approval under section
                                               proposal and schedule that reflects each                seek and obtain Office of Management                  3507(d) of the Paperwork Reduction
                                               region’s unique circumstances, which                    and Budget (OMB) approval before                      Act.292
                                               may vary significantly.285 However,                     undertaking a collection of information
                                               ISO–NE’s support for its position                       directed to ten or more persons or                       145. In the NOPR, the Commission
                                               focuses on the proposed uplift cost                     contained in a rule of general                        requested comments on its need for this
                                               allocation reforms, which are not a part                applicability. OMB’s regulations,291 in               information, whether the information
                                               of this Final Rule. PJM supports the 90-                turn, require approval of certain                     will have practical utility, the accuracy
                                               day compliance deadline. PJM states                     information collection requirements                   of burden and cost estimates, ways to
                                               specifically that it could implement the                imposed by agency rules. Upon                         enhance the quality, utility, and clarity
                                               proposed transparency changes within                    approval of a collection(s) of                        of the information to be collected or
                                               nine months after issuance of a final                   information, OMB will assign an OMB                   retained, and any suggested methods for
                                               rule.286 NYISO is silent on the                         control number and an expiration date.                minimizing respondents’ burden,
                                               compliance deadline, but states that it                 Respondents subject to the filing                     including the use of automated
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                                               would require at least nine months for                                                                        information techniques. The comments
                                                                                                         287 NYISO  Comments at 13.                          and the Commission’s determinations
                                                 283 NOPR, FERC Stats. & Regs. ¶ 32,721 at P 102.        288 DirectEnergy Comments at 11.                    related to these issues are discussed
                                                 284 MISO Comments at 20–21.                             289 APPA and NRECA Comments at 2, 13.               above.
                                                 285 ISO–NE Comments at 46–47.                           290 44 U.S.C. 3501–3520.
                                                 286 PJM Comments at 17.                                 291 5 CFR 1320 (2017).                                292 44   U.S.C. 3507(d).




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                                                                  Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                                         18155

                                                 Burden Estimate and Information                         are representative of the average burden                  estimated burden and cost 293 for the
                                               Collection Costs: The Commission                          on respondents, including necessary                       requirements contained in this Final
                                               believes that the burden estimates below                  communications with stakeholders. The                     Rule follow.294
                                                                             FERC–516G, AS IMPLEMENTED BY THE FINAL RULE IN DOCKET RM17–2–000
                                                                                                                                      Annual                                Average           Total annual       Cost per
                                                                                                                Number of            number of        Total number       burden hours         burden hours      respondent
                                                                                                              respondents 295     responses per       of responses       and cost per           and total           ($)
                                                                                                                                    respondent                             response            annual cost

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

                                               One-Time Effort (in Year 1) to (a) establish process for                     6                     1                 6   500 hrs.;            3,000 hrs.;           $38,500
                                                reporting on company website,296 & (b) submit tariff fil-                                                                 $38,500.             $231,000.
                                                ing.
                                               Ongoing Preparing and Posting of 3 reports on company                        6                    12                72   3 hrs.; $231 .....   216 hrs.;                2,772
                                                website each month (starting in Year 1), as mentioned                                                                                          $16,632.
                                                above.



                                                  Cost to Comply: The Commission has                     Washington, DC 20426 [Attention: Ellen                    filing of schedules containing all rates
                                               projected the total cost of compliance to                 Brown, Office of the Executive Director],                 and charges for the transmission or sale
                                               industry to be: One-time in Year 1,                       email: DataClearance@ferc.gov, Phone:                     of electric energy subject to the
                                               $231,000; and ongoing, starting in Year                   (202) 502–8663, fax: (202) 273–0873.                      Commission’s jurisdiction, plus the
                                               1, $16,632.                                               Comments concerning the collection of                     classification, practices, contracts and
                                                  Title: FERC–516G, Electric Rate                        information and the associated burden                     regulations that affect rates, charges,
                                               Schedules and Tariff Filings in Docket                    estimate(s) may also be sent to the                       classifications, and services.298
                                               RM17–2–000.                                               Office of Information and Regulatory
                                                  Action: New information collection.                                                                              VIII. Regulatory Flexibility Act
                                                                                                         Affairs, Office of Management and
                                                  OMB Control No.: 1902–0295.                            Budget, 725 17th Street NW,                                  147. The Regulatory Flexibility Act of
                                                  Respondents for this Rulemaking:                       Washington, DC 20503 [Attention: Desk                     1980 (RFA) 299 generally requires a
                                               RTOs/ISOs.                                                Officer for the Federal Energy                            description and analysis of final rules
                                                  Frequency of Information: One-time,                    Regulatory Commission]. Due to                            that will have significant economic
                                               and ongoing posting to company                            security concerns, comments should be                     impact on a substantial number of small
                                               website.                                                  sent electronically to the following                      entities. The RFA does not mandate any
                                                  Necessity of Information: The Federal                  email address: oira_submission@                           particular outcome in a rulemaking. It
                                               Energy Regulatory Commission                              omb.eop.gov. Comments submitted to                        only requires consideration of
                                               implements this rule to improve                           OMB should refer to FERC–516G and                         alternatives that are less burdensome to
                                               competitive wholesale electric markets                    OMB Control No. 1902–0295.                                small entities and an agency
                                               in the RTO/ISO regions.                                                                                             explanation of why alternatives were
                                                  Internal Review: The Commission has                    VII. Environmental Analysis                               rejected.
                                               reviewed the changes and has                                146. The Commission is required to                         148. This rule would apply to six
                                               determined that such changes are                          prepare an Environmental Assessment                       RTOs/ISOs (all of which are
                                               necessary. These requirements conform                     or an Environmental Impact Statement                      transmission organizations). The
                                               to the Commission’s need for efficient                    for any action that may have a                            average estimated annual PRA-related
                                               information collection, communication,                    significant adverse effect on the human                   cost to each of the RTOs/ISOs is $41,272
                                               and management within the energy                          environment.297 The Commission                            (one-time and ongoing costs) in Year 1,
                                               industry. The Commission has specific,                    concludes that neither an                                 and $2,772 (ongoing cost) in Year 2 and
                                               objective support for the burden                          Environmental Assessment nor an                           beyond. This cost of implementing these
                                               estimates associated with the                             Environmental Impact Statement is                         changes is not significant. Additionally,
                                               information collection requirements.                      required for this Final Rule under                        the RTOs/ISOs are not small entities, as
                                                  Interested persons may obtain                          section 380.4(a)(15) of the Commission’s                  defined by the RFA.300 This is because
                                               information on the reporting                              regulations, which provides a                             the relevant threshold between small
                                               requirements by contacting the                            categorical exemption for approval of                     and large entities is 500 employees and
                                               following: Federal Energy Regulatory                      actions under sections 205 and 206 of                     the Commission understands that each
                                               Commission, 888 First Street NE,                          the Federal Power Act relating to the                     RTO/ISO has more than 500 employees.
                                                  293 The estimated hourly cost (salary plus             (code 11–3021), $100.68; (h) Management (code 11–           297 Regulations Implementing the National

                                               benefits) provided in this section are based on the       0000), $81.52. The average hourly cost (salary plus       Environmental Policy Act, Order No. 486, 52 FR
                                               salary figures for May 2016 posted by the Bureau          benefits), weighting all of these skill sets equally,     47897 (Dec. 17, 1987), FERC Stats. & Regs. ¶ 30,783
                                               of Labor Statistics for the Utilities sector (available   is $76.79. For these calculations, we round that          (1987).
                                               at http://www.bls.gov/oes/current/naics2_                 figure to $77 per hour.                                     298 18 CFR 380.4(a)(15) (2017).

                                               22.htm#00-0000) and benefits effective September             294 The RTOs/ISOs (CAISO, SPP, MISO, PJM,                299 5 U.S.C. 601–612.
                                               2017 (issued 12/15/2017, available at http://             NYISO, and ISO–NE) are required to comply with              300 The RFA definition of ‘‘small entity’’ refers to
                                               www.bls.gov/news.release/ecec.nr0.htm). The               the reforms in this Final Rule.                           the definition provided in the Small Business Act,
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                                               hourly estimates for salary plus benefits are: (a)           295 Respondent entities are either RTOs or ISOs.       which defines a ‘‘small business concern’’ as a
                                               Legal (code 23–0000), $143.68; (b) Computer and                                                                     business that is independently owned and operated
                                                                                                            296 This includes monthly reporting/posting on
                                               Mathematical (code 15–0000), $60.70; (c)                                                                            and that is not dominant in its field of operation.
                                               Information Security Analyst (code 15–1122),              the company website for: (1) The Zonal Uplift             The Small Business Administrations’ regulations at
                                               $66.34; (d) Accountant and Auditor (code 13–2011),        Report (posting within 20 days of end of month),          13 CFR 121.201 define the threshold for a small
                                               $53.00; (e) Information and Record Clerk (code 43–        (2) the Resource-Specific Uplift Report (posting          Electric Bulk Power Transmission and Control
                                               4199), $39.14; (e) Electrical Engineer (code 17–          within 90 days of end of month), and (3) the              entity (NAICS code 221121) to be 500 employees.
                                               2071), $68.12; (f) Economist (code 19–3011), $77.96;      Operator-Initiated Commitments Report (posting            See 5 U.S.C. 601(3), citing to Section 3 of the Small
                                               (g) Computer and Information Systems Manager              within 30 days of the end of month).                      Business Act, 15 U.S.C. 632.



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                                               18156                   Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations

                                               Furthermore, because of their pivotal                                 Business Regulatory Enforcement                       aggregated zone contains at least four
                                               roles in wholesale electric power                                     Fairness Act of 1996. The Final Rule                  resources, and reported collectively.
                                               markets in their regions, none of the                                 will be provided to both Houses of                    This report shall be posted within 20
                                               RTOs/ISOs meet the last criterion of the                              Congress, the Government                              calendar days of the end of each month.
                                               two-part RFA definition a small entity:                               Accountability Office, and the Small                  Second, each Commission-approved
                                               ‘‘not dominant in its field of operation.’’                           Business Administration.                              independent system operator or regional
                                               As a result, we certify that this Final                                                                                     transmission organization must post the
                                                                                                                     List of Subjects in 18 CFR Part 35
                                               Rule would not have a significant                                                                                           resource name and the total amount of
                                               economic impact on a substantial                                        Electric power rates, Electric utilities,           uplift paid in dollars aggregated across
                                               number of small entities.                                             Reporting and recordkeeping                           the month to each resource that received
                                                                                                                     requirements.                                         uplift payments within the calendar
                                               IX. Document Availability
                                                                                                                       By the Commission.                                  month. This report shall be posted
                                                  149. In addition to publishing the full                              Issued: April 19, 2018.                             within 90 calendar days of the end of
                                               text of this document in the Federal                                                                                        each month.
                                                                                                                     Nathaniel J. Davis, Sr.,
                                               Register, the Commission provides all                                                                                          (ii) Reporting Operator-Initiated
                                                                                                                     Deputy Secretary.
                                               interested persons an opportunity to                                                                                        Commitments. Each Commission-
                                               view and/or print the contents of this                                Regulatory Text                                       approved independent system operator
                                               document via the internet through                                        In consideration of the foregoing, the             or regional transmission organization
                                               FERC’s Home Page (http://                                             Commission amends part 35, chapter I,                 must post a report of each operator-
                                               www.ferc.gov) and in FERC’s Public                                    title 18, Code of Federal Regulations, as             initiated commitment listing the size of
                                               Reference Room during normal business                                 follows:                                              the commitment, transmission zone,
                                               hours (8:30 a.m. to 5:00 p.m. Eastern                                                                                       commitment reason, and commitment
                                               time) at 888 First Street NE, Room 2A,                                PART 35—FILING OF RATE                                start time on a publicly accessible
                                               Washington, DC 20426.                                                 SCHEDULES AND TARIFFS                                 portion of its website within 30 calendar
                                                  150. From the Commission’s Home                                                                                          days of the end of each month.
                                               Page on the internet, this information is                             ■ 1. The authority citation for part 35
                                                                                                                                                                           Transmission zone shall be defined as a
                                               available on eLibrary. The full text of                               continues to read as follows:
                                                                                                                                                                           geographic area that is used for the local
                                               this document is available on eLibrary                                  Authority: 16 U.S.C. 791a–825r, 2601–               allocation of charges. Commitment
                                               in PDF and Microsoft Word format for                                  2645; 31 U.S.C. 9701; 42 U.S.C. 7101–7352.            reasons shall include, but are not
                                               viewing, printing, and/or downloading.                                ■ 2. Amend § 35.28 by adding paragraph                limited to, system-wide capacity,
                                               To access this document in eLibrary,                                  (g)(10) to read as follows:                           constraint management, and voltage
                                               type the docket number excluding the                                                                                        support.
                                               last three digits of this document in the                             § 35.28 Non-discriminatory open access
                                               docket number field.                                                  transmission tariff.                                     (iii) Transmission constraint penalty
                                                  151. User assistance is available for                              *      *    *     *     *                             factors. Each Commission-approved
                                               eLibrary and the FERC’s website during                                   (g) * * *                                          independent system operator or regional
                                               normal business hours from FERC                                          (10) Transparency—(i) Uplift                       transmission organization must include,
                                               Online Support at (202) 502–6652 (toll                                reporting. Each Commission-approved                   in its tariff, its transmission constraint
                                               free at 1–866–208–3676) or email at                                   independent system operator or regional               penalty factor values; the circumstances,
                                               ferconlinesupport@ferc.gov, or the                                    transmission organization must post two               if any, under which the transmission
                                               Public Reference Room at (202) 502–                                   reports, at minimum, regarding uplift on              constraint penalty factors can set
                                               8371, TTY (202) 502–8659. Email the                                   a publicly accessible portion of its                  locational marginal prices; and the
                                               Public Reference Room at                                              website. First, each Commission-                      procedure, if any, for temporarily
                                               public.referenceroom@ferc.gov.                                        approved independent system operator                  changing the transmission constraint
                                                                                                                     or regional transmission organization                 penalty factor values. Any procedure for
                                               X. Effective Date and Congressional                                   must post uplift, paid in dollars, and                temporarily changing transmission
                                               Notification                                                          categorized by transmission zone, day,                constraint penalty factor values must
                                                 152. These regulations are effective                                and uplift category. Transmission zone                provide for notice of the change to
                                               July 9, 2018. The Commission has                                      shall be defined as the geographic area               market participants.
                                               determined, with the concurrence of the                               that is used for the local allocation of                Note: The following appendix will not
                                               Administrator of the Office of                                        charges. Transmission zones with fewer                appear in the Code of Federal Regulations.
                                               Information and Regulatory Affairs of                                 than four resources may be aggregated
                                               OMB, that this rule is not a ‘‘major rule’’                           with one or more neighboring                          Appendix—List of Short Names/
                                               as defined in section 251 of the Small                                transmission zones, until each                        Acronyms of Commenters

                                                              Short name/acronym                                                                                  Commenter

                                               APPA/NRECA ..........................................            American Public Power Association and National Rural Electric Cooperative Association.
                                               Appian Way .............................................         Appian Way Energy Partners, LLC.
                                               AWEA ......................................................      American Wind Energy Association.
                                               Brookfield .................................................     Brookfield Energy Marketing LP.
                                               CAISO ......................................................     California Independent System Operator Corporation.
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                                               CAISO Market Monitor ............................                Department of Market Monitoring for the California Independent System Operator Corporation.
                                               California SWP ........................................          California Department of Water Resources State Water Project.
                                               Calpine .....................................................    Calpine Energy Solutions, LLC.
                                               Competitive Suppliers ..............................             Electric Power Supply Association; PJM Power Providers; and Western Power Trading Forum.
                                               Direct Energy ...........................................        Direct Energy Business, LLC, on behalf of itself and its affiliate, Direct Energy Business Marketing,
                                                                                                                  LLC.
                                               Diversified Trading/eXion Energy ............                    Diversified Trading Company, LLC and eXion Energy, Inc.
                                               EDF ..........................................................   EDF Renewable Energy, Inc.



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                                                                       Federal Register / Vol. 83, No. 80 / Wednesday, April 25, 2018 / Rules and Regulations                                                  18157

                                                              Short name/acronym                                                                                   Commenter

                                               EEI ...........................................................   Edison Electric Institute.
                                               ELCON ....................................................        Electricity Consumers Resource Council.
                                               Exelon ......................................................     Exelon Corporation.
                                               Financial Marketers Coalition ..................                  Financial Marketers Coalition.
                                               Golden Spread ........................................            Golden Spread Electric Cooperative, Inc.
                                               ISO–NE ....................................................       ISO New England, Inc.
                                               IRC ...........................................................   ISO/RTO Council.
                                               Joint Marketers ........................................          DC Energy, LLC; Mercuria Energy Trading, Inc.; and Perdisco Trading, LLC.
                                               MISO ........................................................     Midcontinent Independent System Operator, Inc.
                                               MISO Transmission Owners ...................                      Ameren Services Company, as agent for Union Electric Company d/b/a Ameren Missouri, Ameren Illi-
                                                                                                                   nois Company d/b/a Ameren Illinois and Ameren Transmission Company of Illinois; Big Rivers
                                                                                                                   Electric Corporation; Central Minnesota Municipal Power Agency; City Water, Light & Power
                                                                                                                   (Springfield, IL); Cleco Power LLC; Cooperative Energy; Dairyland Power Cooperative; Duke En-
                                                                                                                   ergy Business Services, LLC for Duke Energy Indiana, LLC; East Texas Electric Cooperative;
                                                                                                                   Entergy Arkansas, Inc.; Entergy Louisiana, LLC; Entergy Mississippi, Inc.; Entergy New Orleans,
                                                                                                                   Inc.; Entergy Texas, Inc.; Great River Energy; Hoosier Energy Rural Electric Cooperative, Inc.; Indi-
                                                                                                                   ana Municipal Power Agency; Indianapolis Power & Light Company; MidAmerican Energy Com-
                                                                                                                   pany; Minnesota Power (and its subsidiary Superior Water, L&P); Missouri River Energy Services;
                                                                                                                   Montana-Dakota Utilities Co.; Northern Indiana Public Service Company; Northern States Power
                                                                                                                   Company, a Minnesota corporation, and Northern States Power Company, a Wisconsin corpora-
                                                                                                                   tion, subsidiaries of Xcel Energy Inc.; Northwestern Wisconsin Electric Company; Otter Tail Power
                                                                                                                   Company; Prairie Power Inc.; Southern Illinois Power Cooperative; Southern Indiana Gas & Electric
                                                                                                                   Company (d/b/a Vectren Energy Delivery of Indiana); Southern Minnesota Municipal Power Agen-
                                                                                                                   cy; Wabash Valley Power Association, Inc.; and Wolverine Power Supply Cooperative, Inc.
                                               NCPA .......................................................      Northern California Power Agency.
                                               NYISO ......................................................      New York Independent System Operator, Inc.
                                               PG&E .......................................................      Pacific Gas and Electric Company.
                                               PJM ..........................................................    PJM Interconnection, L.L.C.
                                               PJM Market Monitor ................................               Monitoring Analytics, LLC, acting in its capacity as the Independent Market Monitor for PJM.
                                               Potomac Economics ................................                Potomac Economics, Ltd.
                                               R Street Institute ......................................         R Street Institute.
                                               Six Cities ..................................................     Cities of Anaheim, Azusa, Banning, Colton, Pasadena, and Riverside, California.
                                               SPP ..........................................................    Southwest Power Pool, Inc.
                                               SPP Market Monitor ................................               Southwest Power Pool, Inc. Market Monitoring Unit.
                                               TAPS .......................................................      Transmission Access Policy Study Group.
                                               XO Energy ...............................................         XO Energy, LLC.



                                               [FR Doc. 2018–08609 Filed 4–24–18; 8:45 am]
                                               BILLING CODE 6717–01–P
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Document Created: 2018-11-02 08:17:26
Document Modified: 2018-11-02 08:17:26
CategoryRegulatory Information
CollectionFederal Register
sudoc ClassAE 2.7:
GS 4.107:
AE 2.106:
PublisherOffice of the Federal Register, National Archives and Records Administration
SectionRules and Regulations
ActionFinal rule.
DatesThis rule is effective July 9, 2018.
ContactAdam Cornelius (Technical Information), Office of Energy Policy and Innovation, Federal Energy Regulatory Commission, 888 First Street NE, Washington, DC 20426, (202) 502-8314, [email protected] Katherine Scott (Technical Information), Office of Energy Market Regulation, Federal Energy Regulatory Commission, 888 First Street NE, Washington, DC 20426, (202) 502-6495, [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]
FR Citation83 FR 18134 
CFR AssociatedElectric Power Rates; Electric Utilities and Reporting and Recordkeeping Requirements

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