Proposed Revision Request Detail Help
PRR Life Cycle****Recommendation Comment*****
PRR Details
PRR #
1587
Title Process for off grid charging indicator election
Date Submitted 8/22/2024 7:52 AM
PRR Category A
Priority Normal
Owner Martin, Michael (CAISO)
Status Recommendation Comment
Status End Date 10/15/2024 11:59 PM
Related BPM Market Operations
BPM Section 2.1.19.3 Business process for Co-Located Resources to elect Off Grid Charging Indicator (OGCI)
RSS Subscribe
Existing Language

​See Attached

Proposed Language

See Attached​

Reason For Revision

​Details the steps market participants, CAISO Regulatory Contracts and CAISO MasterFile teams execute to implement the Off Grid Charging Indicator constraint on a co-located resource.

Click here to view the Recommendation Details for this PRR
BPM PRR Submitter

Martin, Michael (CAISO)
Modified BPM language proposed by the PBM Chnage Management Coordinator

See modified laguage on recommendation.

 

Identification of the authorship of comments

NA
Action

Approve the BPM PRR as modified.

Modify to include WEIMs
Statement of apparent requirements of the BPM PRR

NA
Priority and rank for any BPM PRR requiring a CAISO system change

NA
Proposed effective date(s) of the BPM PRR

NA
Other recommended actions

NA
Announcements
No Announcements has been posted for this PRR.
Impact Analysis
Impact Analysis not available.
Initial Comments
You are correct, the function is not limited to CAISO only.  We will modify the language.  Please note that in order for the function to work for any WEIM entity, it requires all resources under the ACC to be participating resources.
9/9/2024 9:34 AM
Logged By - Martin, Michael (CAISO)
APS is wondering if this functionality is available to WEIM entities? If so, can you please edit the PRR language to capture specifications related to use of this functionality for WEIM participating resources?
8/30/2024 2:06 PM
Logged By - Brandon Holmes (Arizona Public Service Co.)
Recommendation Comments
No Recommendation Comments available for this PRR.
Attachments