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Craig L. Williams Market Interface Manager. Review of NAESB Items MIS & SIS Meetings December 15, 2011. North American Energy Standards Board, NAESB. Standards Development, WEQ Wholesale Electric Service Across Multiple Transmission Systems (SAMTS)

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Craig l williams market interface manager

Craig L. WilliamsMarket Interface Manager

Review of NAESB Items

MIS & SIS Meetings

December 15, 2011


North american energy standards board naesb
North American Energy Standards Board, NAESB

  • Standards Development, WEQ

    • Wholesale Electric Service Across Multiple Transmission Systems (SAMTS)

      • The SAMTS process allows the transmission customer to perform a true-up once all transmission providers complete their request evaluations.

      • SAMTS recommendation approved by WEQ on 7/8/2011. Ratified by NAESB WEQ membership on 8/11/2011. Filed with FERC on October 7th.

      • Link to SAMTS Filing with FERC


North american energy standards board naesb1
North American Energy Standards Board, NAESB

  • Standards Development

    • Network Integration Transmission Services (NITS) Standards

      • Moving beyond OASIS system support for point-to-point transmission service, the WEQ OASIS subcommittee continues to establish standards permitting OASIS to accommodate network integration transmission service as mandated by FERC Order No. 890. The most recent NITS recommendation was presented on Oct 27thto WEQ EC.


North american energy standards board naesb2
North American Energy Standards Board, NAESB

  • Standards Development

    • (NITS) Standards

      • Significant changes

        - New Templates – Network reservations will need to move to the new system.

        - New Network Customers will need to fill out an on-line application on OASIS.

        - Existing Network Customers will not have to make a new application on OASIS.


North american energy standards board naesb3
North American Energy Standards Board, NAESB

  • Standards Development

    • (NITS) Standards

      • Subcommittee completion is estimated in 4th Quarter 2011. Informal comments under review by the subcommittee. Very few substantive issues identified in informal comments.

      • Review is likely in 1st Quarter 2012 with FERC filing in ~2nd Quarter 2012. Due to the volume of information involved there was a motion made and adopted to allow a 60 day formal comment period upon posting.


North american energy standards board naesb4
North American Energy Standards Board, NAESB

  • Parallel Flow Visualization (Eastern Interconnection)

    • Approved Recommendation

      • The WEQ Executive Committee approved the recommended interim solution on 10/26/2010.

      • The Business Practices Subcommittee (BPS) is working on a permanent solution. White Paper from November 9thMtg

        - Hybrid Option: Tag all non-firm transactions within a BA and require upload of firmness of transmission service for each running generator every 15 minutes (Generator Prioritization)

        - BPS is still considering a two-tiered firm curtailment process (first-to-cut / last-to-cut). Policy change issue has been addressed. This would require coordination agreements between BA’s for loop flows to be granted last-to-cut priority.


North american energy standards board naesb5
North American Energy Standards Board, NAESB

  • Electric Industry Registry (EIR)

    - Transfers TSIN Registry from NERC to NAESB.

    - OATI will administer the registry for NAESB.

    - The New FAQ document will be modified and posted by end of business on Friday. The EIR page will be up and running shortly on the NAESB site.

    - TSIN data is not being ported to EIR, so re-registration will be necessary.

    - An annual fee will be required.

    - Current Q&A document


Naesb members fyi
NAESB Members - FYI

  • E-Tag and Dodd-Frank

    • Applies to anyone with an end-user derivative, farmers, co-ops, etc.,

    • It is strongly felt that the number of reports and their complexity is vastly underestimated by most groups.

    • The definition of a swap dealer is unclear, which may result in the inclusion of many parties that do not currently believe they are swap dealers.


Craig L. Williams

WECC

Market Interface Manager

[email protected]

w. 801.883.6846 c. 801.455.9812

Questions?


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