Proposed Revision Request Detail Help
PRR Life Cycle*********Closed
PRR Details
PRR #
1217
Title Clarification of congestion revenue rights processes 2019
Date Submitted 11/22/2019 1:56 PM
PRR Category A
Priority Normal
Owner McClain, Jim (CAISO)
Status Closed
Status End Date 2/19/2020 11:59 PM
Related BPM Congestion Revenue Rights
BPM Section 1.3, 2.2, 8.2, 8.2.3, 9.3.2, 10.3.1, 11.3, 13.1, Attachment J, and Attachment K (new)
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Existing Language
 
See attached redline BPM
Proposed Language
 
See attached redline BPM
Reason For Revision
 
Updated sections to provide further clarification about the CRR process
Click here to view the Recommendation Details for this PRR
BPM PRR Submitter

McClain, Jim (CAISO)
Modified BPM language proposed by the PBM Chnage Management Coordinator

Approve the BPM PRR as submitted
Identification of the authorship of comments

No comments on changes submitted
Action

Approve the BPM PRR as submitted

N/A
Statement of apparent requirements of the BPM PRR

N/A
Priority and rank for any BPM PRR requiring a CAISO system change

N/A
Proposed effective date(s) of the BPM PRR

Effective upon completion of the PRR process
Other recommended actions

N/A
Click here to view the Final Decision for this PRR
Final Decision

Adopt the recommendation as originally issued
Stakeholder Comment

PG&E
DC Energy

Effective Date

1/31/2020
Action

Adopt the recommendation as originally issued

Announcements
No Announcements has been posted for this PRR.
Impact Analysis
Impact Analysis not available.
Initial Comments
See attached.
12/11/2019 8:19 AM
Logged By - Aditya Chauhan (SCE) (Southern California Edison)
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This topic has been discussed several times during the Market Performance and Planning forum meetings.  Please track this topic through this forum.
12/20/2019 10:38 AM
Responded By - McClain, Jim (CAISO)
Recommendation Comments
PG&E submits the following comments.
1/7/2020 3:30 PM
Logged By - Dan Sparks (Pacific Gas and Electric Company)
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On the first comment you are correct, the PRR number has been updated, along with the revision date.  The updated BPM will be posted. 

On the second comment related to the use of the term "Allocation Eligible Entity" it was originally used as a general term for an entity that might participate in the allocation.  A couple of years back we modified the term LSE to include other entities such that the need for a general term such as "Allocation Eligible Entity" might no longer be needed.  We will review the need for this term.
1/14/2020 6:02 PM
Responded By - McClain, Jim (CAISO)
1/7/2020 8:57 AM
Logged By - Seth (DC Energy)
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The CAISO understands the comment provided by DC Energy on the proposed BPM language around the CRR outage process and specifically the 24 hour criteria.  The CAISO recognizes that proper outage reporting is very important to helping to achieve CRR revenue adequacy.  The CAISO believes that our concern about the 24 hour rule is addressed in this BPM language.  The CAISO will continue to review outage data to determine whether the current language is sufficient to address this concern or whether additional steps are needed, such as an additional tariff amendment.
1/17/2020 11:53 AM
Responded By - McClain, Jim (CAISO)
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Attachments