<rss version="2.0" xmlns:a10="http://www.w3.org/2005/Atom"><channel><title>RSS Feed for Proposed Revision Request - 1656</title><link>https://bpmcm.caiso.com/_vti_bin/BPM/BPMRssService.svc/PRRRss/1656</link><description>This is a RSS feed for the BPM Proposed Revision Request - 1656</description><managingEditor>BPM@caiso.com</managingEditor><category>BPM</category><item><link>https://bpmcm.caiso.com/</link><title>PRR - 1656</title><description>Value cannot be null.&#xD;
Parameter name: stream</description></item><item><guid isPermaLink="false">1656-Comm-2376</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Initial Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;The description of the purpose for this PRR states that it is intended to clarify that distribution-level market participating resources with generation outages due to limitations set by the distribution utility that are unrelated to transmission or distribution equipment outages should use the “ambient due to fuel insufficiency” nature of work classification.  However, the PRR language changes shown at page 23 of the attachment to the PRR do not seem focused on resources at the distribution level, and the PRR does not explain why limitations set by the distribution utility should be characterized as “fuel insufficiency.”  The Six Cities request that the CAISO provide more explanation regarding applicability of the PRR revision (e.g., whether limited to distribution-level resources or not) and the basis for characterizing limitations set by distribution utilities as fuel insufficiency.&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Bonnie Blair (Cities of Anaheim, Azusa, Banning, Colton, Pasadena, and Riverside, CA) on Tuesday, December 9, 2025 12:53:52 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;&lt;b&gt;Response: &lt;/b&gt;Submitted for: &#xD;
Dinesh Das Gupta&#xD;
Policy Developer&#xD;
CAISO&#xD;
&#xD;
This PRR was driven by questions on distribution-level charging constraints.  This PRR applies to all storage resources with limitations to their charging abilities, including distribution-level charging constraints. &lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Williamson-Duffney, Joseph on Tuesday, December 16, 2025 10:30:50 AM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2025-12-16T10:30:50-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2379</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Initial Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;The ISO has received written comments from Don Tretheway from GDS Associates representing CESA. Please see 3 attachments. &lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Hines, Nicole on Tuesday, December 9, 2025 2:38:33 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;&lt;b&gt;Response: &lt;/b&gt;Submitted for: &#xD;
Dinesh Das Gupta&#xD;
Policy Developer&#xD;
CAISO&#xD;
&#xD;
The “Transmission Induced” nature of work generator outage is “to be used if Transmission equipment outage curtails a generator output, or distribution equipment outage in the case of distribution-connected generator,” as outlined in Outage Management BPM § 3.4. The “Transmission Induced” nature of work does not apply unless there is an outage on transmission or distribution equipment under the current nature of work definition.  This PRR proposes no edits to the “transmission induced” nature of work purpose.  As CESA states in comments, routine charging constraints faced by distribution-interconnected storage assets are not related to materialized transmission or distribution equipment failures. &#xD;
The driver behind routine charging constraints faced by distribution-interconnected storage assets is the agreement between the distribution utility and the resource upon interconnection. The “Technical Limitations not in Market Model” nature of work generator outage is to “provide notification that resource is unavailable due to technical limitations not captured in the CAISO market model and that result in infeasible dispatches because they are inconsistent with the resource’s design capabilities,” as outlined in Outage Management BPM § 3.4.  Resources agreed to interconnect with a level of service where the distribution utility can issue charging constraints as needed to ensure delivery of load.  These limitations are consistent with the “resource’s design capabilities,” and therefore the “technical limitations not in Market Model” nature of work does not apply.  &#xD;
CESA did not include why they believe the PRR is incomplete in its public comment.  In response to CAISO follow-up, the commenter mentioned to CAISO that they believe the BPM PRR is incomplete because it does not list the “impacts and benefits of the suggested changed on the CAISO Market structure, CAISO operations, and Market Participants, to the extent that the submitter may know this information,” as stated in BPM Change Management BPM § 2.4.  This PRR does not makes changes to CAISO Market structure, CAISO operations, or Market Participants.&#xD;
&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Williamson-Duffney, Joseph on Tuesday, December 16, 2025 10:30:14 AM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2025-12-16T10:30:14-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2381</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Initial Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;CAISO did not explain the details of removal of a distribution limitation. Can CAISO clarify the actions available to market participants when a distribution limitation ends and the periods to which they apply? Does this language apply in exactly the same way as other forced/planned outages?&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Alan Meck (PG&amp;E) on Tuesday, December 9, 2025 4:28:33 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;&lt;b&gt;Response: &lt;/b&gt;Submitted for: &#xD;
Dinesh Das Gupta&#xD;
Policy Developer&#xD;
CAISO&#xD;
&#xD;
This language applies in the same way as other nature of works for generator outages.&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Williamson-Duffney, Joseph on Tuesday, December 16, 2025 3:34:21 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2025-12-16T15:34:21-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2382</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Initial Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;&#xD;
Submitted for:&#xD;
Sara Fitzsimon &#xD;
Policy Director &#xD;
Attorney at Law &#xD;
Independent Energy Producers Association &#xD;
&#xD;
RE: Dinesh Das Gupta, PRR #1656 &#xD;
The Independent Energy Producers Association (IEP) writes to respectfully protest the Proposed Revision Request (PRR) #1656, “Clarifying Nature of Work for generation outages related to distribution utility limitations.” IEP is California’s oldest trade association representing the interests of independent power generators, owners, and operators, including those with hybrid and storage resources at the sub-transmission level. IEP opposes the change proposed in PRR #1656 because it inadvertently subjects generators with storage and hybrid resources to Resource Adequacy Availability Incentive Mechanism (RAAIM) penalties. &#xD;
A generator at the sub-transmission level does not have control over the activities of the distribution utility and may be artificially forced into outage during high-load seasons until and unless a congestion management system (CMS) is put into place. Until a CMS system is in place, the generator with hybrid and storage resources is not allowed to charge during seasons of overall increased load under the assumption that an N-1 is taking place. Such restriction occurs even with sufficient power, “fuel”, on the system for charging—for example charging during the summer when the duck curve is at the bottom. With a CMS, a resource’s charging capability will be governed automatically to ensure that operations are curtailed in the event of an equipment failure. However, the placement of a CMS system is dependent on the distribution utility. Under this proposed PRR, a generator awaiting a CMS system will suffer RAAIM penalties for an outage labeled “ambient due to fuel insufficiency,” even though the resource could charge sufficiently and avoid an outage but for the assumption that there is a transmission outage and an N-1 event has occurred. &#xD;
As such to the extent the CAISO continues to pursue this change, the proposed language should be revised as follows (highlighted changes below): PO BOX 1287 • SLOUGHHOUSE, CA 95683 • OFFICE: 916-448-9499 • WWW.IEPA.COM &#xD;
&#xD;
This additional change would ensure that the resource does not suffer from lost revenue from a restriction on charging outside the generator’s control and a RAAIM penalty fee, meant to encourage generators to mitigate potential outages. &#xD;
Additionally, With the RAAIM incentive program up for debate at the California Public Utilities Commission’s Resource Adequacy proceeding (R.25-10-003) and the CAISO’s own Resource Adequacy Modeling and Program Design initiative development of an unforced capacity mechanism (UCAP), RAAIM’s relevance might soon diminish. To ensure generators who have proactively partnered with their distribution utility to install a CMS system are not penalized, and to maintain consistent outage tracking, generators who experience outages due to limitations set by the distribution utility should not have to report an outage as “ambient due to fuel insufficiency,” subjecting them to penalties that won’t elicit behavior change. Rather, IEP respectfully requests the outage be reported as a “transmission outage.” &#xD;
We appreciate your consideration of our protest, and we look forward to continued engagement. &#xD;
&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Williamson-Duffney, Joseph on Wednesday, December 10, 2025 7:12:02 AM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;&lt;b&gt;Response: &lt;/b&gt;Submitted for: &#xD;
Dinesh Das Gupta&#xD;
Policy Developer&#xD;
CAISO&#xD;
&#xD;
The “Transmission Induced” nature of work generator outage is “to be used if Transmission equipment outage curtails a generator output, or distribution equipment outage in the case of distribution-connected generator,” as outlined in Outage Management BPM § 3.4. The “Transmission Induced” nature of work does not apply unless there is an outage on transmission or distribution equipment under the current nature of work definition.  This PRR proposes no edits to the “transmission induced” nature of work purpose. Routine charging constraints faced by distribution-interconnected storage assets are not related to materialized transmission or distribution equipment failures. &#xD;
CAISO does not believe this outage should be reported as a “transmission outage” because the generator, not transmission, is on outage.  &#xD;
This PRR does not modify the Resource Adequacy Availability Incentive Mechanism (RAAIM) exemption status of existing natures of work.  &#xD;
&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Williamson-Duffney, Joseph on Tuesday, December 16, 2025 3:33:46 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2025-12-16T15:33:46-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2383</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Initial Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;Submitted for:&#xD;
Colin Orloff&#xD;
Market Analyst&#xD;
Wellhead Power eXchange&#xD;
&#xD;
Please see the Wellhead Comments on PRR 1656 Update below:&#xD;
&#xD;
Wellhead opposes using the “Ambient Due to Fuel Insufficiency” nature of work for charging limitations on distribution resources on a sub-transmission (&gt;50 kV) line. Specifically, those resources whose charging restrictions are caused by an N-1 transmission condition, and not a resource issue or congestion. In these conditions the Transmission Induced nature of work is the correct cause.&#xD;
 &#xD;
Resources with transmission interconnections are not subject to RAAIM penalties when their charging restriction are due to a N-1 condition, as they are allowed to use the “Transmission Induced” nature of work. We don’t see a valid reason that distribution resources under the same conditions should be treated differently.&#xD;
&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Williamson-Duffney, Joseph on Wednesday, December 10, 2025 7:14:17 AM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;&lt;b&gt;Response: &lt;/b&gt;Submitted for: &#xD;
Dinesh Das Gupta&#xD;
Policy Developer&#xD;
CAISO&#xD;
&#xD;
The “Transmission Induced” nature of work generator outage is “to be used if Transmission equipment outage curtails a generator output, or distribution equipment outage in the case of distribution-connected generator,” as outlined in Outage Management BPM § 3.4. The “Transmission Induced” nature of work does not apply unless there is an outage on transmission or distribution equipment under the current nature of work definition.  This PRR proposes no edits to the “transmission induced” nature of work purpose.  &#xD;
Resources with transmission interconnections are allowed to use the “Transmission Induced” nature of work only if equipment failure on the transmission system drove the charging restriction.  Distribution-level resources can also use the “Transmission Induced” nature of work only if equipment failure on the transmission or distribution system drove the charging restriction. Charging constraints related to the level of service agreed upon by the resource, even if modeled after an N-1 contingency, are not related to a transmission or distribution equipment outage that materialized.  &#xD;
&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Williamson-Duffney, Joseph on Tuesday, December 16, 2025 3:33:01 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2025-12-16T15:33:01-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2387</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Impact Analysis for PRR - 1656</title><description>&lt;span style='font-size:11px;color:gray'&gt; -By Hines, Nicole on Tuesday, December 23, 2025 3:55:46 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2025-12-23T15:55:46-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2388</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Recommendation Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;We have received written comments from Donald Tretheway on behalf of CESA on 1/8/26. Please see attached. &#xD;
&#xD;
CESA Supplemental Question/Comment received 1/9/26: A distribution interconnected storage resource with a static charging table has established standing outages to manage the charging constraint.  If storage resource’s SOC is 100%, why would it be subject to RAAIM penalties when it cannot charge because the resource was charged when there were no charging limitations?&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Madrigal, Radha on Thursday, January 8, 2026 10:49:07 AM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2026-01-12T10:42:28-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2389</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Recommendation Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;Strata welcomes the opportunity to provide input on PRR 1656. Our comments are focused on ensuring that outage classifications reflect the operational realities of the transmission system, particularly where charging restrictions are driven by transmission outages—whether actual or assumed. Our comments on the proposed changes can be found in the attached word document.  &lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By MichaelRuss (Strata Clean Energy) on Thursday, January 8, 2026 11:54:27 AM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2026-01-08T11:54:27-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2392</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Recommendation Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;We have received written comments from Siddhant Srivastava on behalf of Terra-Gen on 1/8/26. Please see attached. &lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Madrigal, Radha on Thursday, January 8, 2026 2:03:14 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2026-01-08T14:03:14-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2393</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Recommendation Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;Fullmark Energy (also known as Hecate Grid LLC) opposes PRR 1656. &lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Tosin Kasali (Fullmark Energy) on Thursday, January 8, 2026 2:06:25 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2026-01-08T14:06:25-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2394</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Recommendation Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;We have received the below comments from Colin Orloff on behalf of Wellhead Power eXchange on 1/8/26.

“Wellhead continues to oppose using the “Ambient Due to Fuel Insufficiency” nature of work for charging limitations on distribution resources on a sub-transmission (&gt;50kV) line. Specifically, those resources whose charging restrictions are caused by an N-1 transmission condition, and not a resource issue or congestion. Under these conditions the Transmission induced nature of work is the correct cause code.
One of the primary justifications CAISO has continued to use is that the resources impacted by this change chose As-Available and as such chose to be subject to this classification. The issue with that justification is that it just isn’t accurate. The idea that a restriction on the charging capability of a resource because of a N-1 condition, would be subject to RAAIM penalties was never considered.

The primary reason it was never considered is because resources interconnected to the transmission system under these same conditions are not subject to RAAIM and there was no justification or expectation that these resources should be treated any differently. To date we haven’t gotten a justifiable reason as to why these resources should be treated differently.

A secondary reason RAAIM penalties for Charging Restrictions wasn’t considered is due to the nature of original agreement. The original agreement was for As-Available charging managed by an automated system (Contingency Management System, CMS). Static charging tables were only going to be used during times when the CMS system could not for one reason or another properly manage current conditions. The CMS system is currently expected to go live in 2027 at which point these very outages become modeled by a system and therefore no longer necessary to ensure the market correctly manages these resources. Penalizing resources now when the very same situation a year from now won’t even be considered by the RAAIM system is illogical.

Ultimately, this process has revealed a disconnect in understanding by all parties as to the implementation and justification for this PRR. Wellhead believes it to be in the best interest of all parties for this PRR to be withdrawn at this time and for this discussion to be continued in a stakeholder initiative until justification is agreed upon.”

Colin Orloff
Market Analyst
Wellhead Power eXchange
 &lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Madrigal, Radha on Thursday, January 8, 2026 3:24:29 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2026-01-08T15:24:29-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2395</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Recommendation Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;We received written comments from Margaret Miller on behalf of Engie on 1/9/26. Please see attached. &lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Madrigal, Radha on Monday, January 12, 2026 10:36:45 AM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2026-01-12T10:36:45-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2398</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Recommendation Comment for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;See attached for CAISO response to stakeholder comments. &lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Madrigal, Radha on Tuesday, January 27, 2026 10:50:30 AM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2026-01-27T10:50:30-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2399</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Announcement for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;This PRR has been placed on hold to allow additional time to review and consider the comments received.&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Madrigal, Radha on Monday, February 2, 2026 9:32:31 AM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2026-02-02T09:32:31-08:00</a10:updated></item><item><guid isPermaLink="false">1656-Comm-2445</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Announcement for PRR - 1656</title><description>&lt;b&gt;Description: &lt;/b&gt;This PRR has been withdrawn. Please refer to the posted notice for more information: https://www.caiso.com/notices/business-practice-manual-revision-update-withdrawal-of-proposed-revision-requests-1656-1658-and-1659&lt;br /&gt;&lt;span style='font-size:11px;color:gray'&gt; -By Madrigal, Radha on Tuesday, March 31, 2026 4:08:33 PM&lt;/span&gt;&lt;br /&gt;&lt;br /&gt;</description><a10:updated>2026-03-31T16:08:33-07:00</a10:updated></item><item><guid isPermaLink="false">1656-Recomm-1662</guid><link>https://bpmcm.caiso.com/pages/viewprr.aspx?IsDlg=1&amp;PRRID=1656</link><title>Recommendation for PRR - 1656</title><description>&lt;b&gt;Proposed Language: &lt;/b&gt;&lt;div class="ExternalClassD0A1ED2327034893909DC46B19D6B154"&gt;&lt;p&gt;​Approve as modified.&amp;#160;&lt;br&gt;&lt;/p&gt;&lt;/div&gt;&lt;br /&gt;&lt;b&gt;Action: &lt;/b&gt;Approve the BPM PRR as modified.&lt;br /&gt;&lt;b&gt;Effective Date: &lt;/b&gt;01/01/0001&lt;br /&gt;</description><a10:updated>2025-12-23T15:56:46-08:00</a10:updated></item></channel></rss>