Proposed Revision Request Detail Help
PRR Life Cycle*********Closed
PRR Details
PRR #
1353
Title Clarification of DOT breakdown for EIRs
Date Submitted 4/29/2021 4:13 PM
PRR Category A
Priority Emergency
Owner Gridwell Consulting for WPTF (Western Power Trading Forum)
Status Closed
Status End Date 8/17/2021 11:59 PM
Related BPM Market Instruments
BPM Section 11.3 ADS DOT Breakdown
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Existing Language
 
See attachment
Proposed Language
 
See attachment
Reason For Revision
 
Provide clarification that the negative SUPP component for EIRs is a result of market curtailment
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BPM PRR Submitter

Gridwell Consulting for WPTF (Western Power Trading Forum)
Modified BPM language proposed by the PBM Chnage Management Coordinator

proposed modification are planned.
Identification of the authorship of comments

Comments were submitted, and modified draft was prepared.
Action

Approve the BPM PRR as modified.

N/A
Statement of apparent requirements of the BPM PRR

Clarification of DOT breakdown for EIRs
Priority and rank for any BPM PRR requiring a CAISO system change

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

Upon completion of the BPM process.
Other recommended actions

No other recommended actions on this PRR.
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Final Decision

Approved as modified during the initial comment phase.
Stakeholder Comment

no recommendation comments recieved

Effective Date

Action

Adopt the recommendation as modified

Announcements
No Announcements has been posted for this PRR.
Impact Analysis
Impact Analysis not available.
Initial Comments
It is WPTF’s understanding that the SUPP value for EIRs is the difference between the DOT and Forecasted output. Thus, the SUPP is negative when the DOT of the resource is less than the forecasted output. WPTF is seeking clarification from the CAISO on how market participants can use the DOT, Neg Supp, and submitted market offers (including both economic offers and self-schedules) to determine when an EIR is curtailed by the market optimization based on the submitted bids versus other operator or out-of-market actions. The proposed language provides additional clarification as to when the DOT may result in a neg SUPP value based on market offers submitted by the EIR, but any additional detail that the CAISO can provide would be greatly appreciated. Ideally, the BPM language would clearly describe how one can determine, based on the DOT and Neg Supp values, when an EIR is dispatched based on the market optimization and submitted offers.
5/18/2021 3:16 PM
Logged By - Gridwell Consulting for WPTF (Western Power Trading Forum)
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Please see the attached updated document with comments.
7/6/2021 9:34 AM
Responded By - Batakji, Jamal (CAISO)
PG&E does not agree with the proposed changes. The negative SUPP is used whenever the Dispatch Instruction is less than the forecast. The Dispatch Instruction may be less than the forecast for reasons other than submitted energy offers from the resource.
5/5/2021 4:00 PM
Logged By - Mark Tiemens (PG&E)
Recommendation Comments
No Recommendation Comments available for this PRR.
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Attachments