1.
Please provide your organization’s feedback on the ISO’s proposal to remove the $1,000/MWh cap on Default Energy Bids (DEB):
The Public Advocates Office at the California Public Utilities Commission (Cal Advocates) is the state-appointed independent ratepayer advocate at the California Public Utilities Commission (CPUC). Our goal is to ensure that California ratepayers have affordable, safe, and reliable utility services while advancing the state’s environmental goals. Our efforts to protect ratepayers include energy, water, and communications regulation advocacy.
The Expedited Interim Solution for Summer 2024 is not Ready for Adoption and Creates Significant Cost Risks
The California Independent System Operator (CAISO) should not adopt the current proposal to remove the $1,000/megawatt-hour (MWh) cap on DEBs nor the proposal to allow energy storage resources to exceed the soft offer cap using a proxy value. Both proposals create uncertain and unstudied impacts to market power protections provided by the CAISO’s local market power mitigation mechanism and general market power protections granted by the Federal Energy Regulatory Commission’s (FERC) soft offer cap.
The CAISO and stakeholders (including Cal Advocates) agree that developing a solution allowing economic bids to preserve state of charge (SOC) is desirable;[1] however, the issue does not warrant the expediency that the CAISO has exercised in developing interim solutions. Scheduling coordinators and market operators have existing tools to help maintain a desired SOC, and these tools can be used as a reliability backstop until a long-term solution is developed in an appropriately paced manner.[2]
The CAISO has identified general risks to implementing solutions by Summer 2024 but has not explored specific risks or impacts.[3] Implementing solutions that would enable economic bids or DEBs to exceed the price cap for all hours of the day may also lead to undesirable price impacts, such as awarding dispatches up to $2,000,[4] during net peak hours when resources are intended to release their SOC through dispatches. Seven stakeholders—spanning multiple local regulatory authorities, investor-owned utilities, and a WEIM entity—oppose implementing changes by Summer 2024. These diverse stakeholders acknowledge that a solution to enable resources to maintain their SOC through bids should be developed but nonetheless recommend that the CAISO defer an interim solution until additional development can take place.[5]
Instead of adopting the current unvetted proposal, the CAISO should continue proposal development and analysis to manage resource SOC in the Price Formation Enhancements initiative with a 2025 implementation target.
Impacts to Existing Market Power Mitigation Tools have not been Investigated
The CAISO’s proposed interim solution to manage SOC through economic bids may result in the exercise of market power that would not be effectively mitigated by the CAISO’s local market power mitigation process. The CAISO’s local market power mitigation process can reduce a resource’s economic bid down to the resource’s DEB if the process determines that uncompetitive conditions exist in the region.[6] However, DMM notes that inaccurately high DEBs may reduce local market power mitigation effectiveness and could exacerbate bid cost recovery issues.[7] The CAISO states that revising the cap on DEBs “would have important impacts to bidding rules and market power mitigation”[8] but has not investigated if local market power mitigation would effectively address market power.[9]
The CAISO’s Draft Final Proposal development has also not considered whether market power controls are weakened by allowing the DEB to exceed the $1,000/MWh soft offer cap itself. The FERC has affirmed that bid caps are intended to protect against the exercise of market power.[10] More discussion and development is needed to determine whether allowing DEBs to exceed the soft offer cap will increase the potential for market power exercise.
[1] CAISO, Rules for bidding above the soft offer cap: Draft Final Proposal, May 2, 2024 (Draft Final Proposal) at 8-9. Available at: http://www.caiso.com/InitiativeDocuments/Draft-Final-Proposal-Price-Formation-Enhancements-May-2-2024.pdf.
[2] The CAISO Department of Market Monitoring (DMM) recommended:
In the interim, in order to ensure system reliability, the ISO can continue to rely on the tools it has to dispatch storage resources, such as enhanced exceptional dispatch ability and exceptional dispatch settlement rules for storage resources. DMM also notes that storage resources currently receive real-time bid cost recovery associated with buying back day-ahead schedules that are infeasible in real-time due to insufficient state of charge.
DMM, Comments on Price Formation Enhancements, April 30, 2024 at 6. Available at: https://stakeholdercenter.caiso.com/Common/DownloadFile/ac37ebba-8315-4320-8b2f-9052c1b3d7d5.
[3] Draft Final Proposal at 5. See also CAISO’s rating and categorization of risks associated with solution options at: CAISO, Rules for bidding above the soft offer cap: Feasibility Assessment and Straw Proposal, April 23, 2024 at 15-16, 23, 29, and 35. Available at: https://www.caiso.com/InitiativeDocuments/Price-Formation-Enhancements-Feasibility-Assessment-and-Straw-Proposal-Apr-22-2024.pdf.
[4] Staff from the California Public Utilities Commission’s Energy Division raised this concern during working group discussions. See: April 23, 2024 – Price Formation Enhancements, at 56:33 to 57:25 and 1:59:46 to 2:02:04 https://youtu.be/kFOX3HCfLFg.
[5] Cal Advocates, Comments on Feasibility Assessment and Straw Proposal, April 30, 2024; CAISO DMM, Comments on Price Formation Enhancements, April 30, 2024; Northern California Power Agency, Comments on Issue Paper and Stakeholder Recommendations, April 19, 2024; NV Energy, Comments on Feasibility Assessment and Straw Proposal, April 30, 2024; Pacific Gas and Electric Company, Comments on Feasibility Assessment and Straw Proposal, April 30, 2024; Six Cities, Comments on Feasibility Assessment and Straw Proposal, April 30, 2024; and Southern California Edison Company, Comments on Feasibility Assessment and Straw Proposal, April 30, 2024.
[6] CAISO, 2022 Annual Report on market Issues & Performance, July 11, 2023 at 159. Available at: https://www.caiso.com/Documents/2022-Annual-Report-on-Market-Issues-and-Performance-Jul-11-2023.pdf.
[7] DMM, Comments on Price Formation Enhancements: Rules for Bidding above the Soft Offer Cap Issue Paper, April 22, 2024 at 1-2. Available at: https://stakeholdercenter.caiso.com/Common/DownloadFile/f18f442c-585e-42d8-bddd-cab7152ebcff.
[8] Draft Final Proposal at 14.
[9] The CAISO performed counterfactual analysis of adjusting the DEB cap to judge the proposal’s effectiveness to enable bids to maintain SOC; however, the CAISO did not investigate impacts to the local market power mitigation program’s efficacy. Draft Final Proposal at 15-17.
[10] “Our decision to establish a $250/MWh bid cap together with the other mitigation measures is a careful balance of the need to provide incentive for market entry by new generation investment with the need to protect markets from the potential of market power abuse.” 100 FERC ¶ 61,060, Order on the California Comprehensive Market Redesign Proposal, July 17, 2002 at paragraph 51. See also: FERC Docket RM16-5-000 Final Rule, November 17, 2016 (FERC Order 831), paragraphs 83, 87, and 193.
2.
Please provide your organization’s feedback on the ISO’s proposal to modify the bid cap for energy storage resources to provide bidding flexibility using a proxy opportunity cost value:
Impacts to Market Power Need Further Study
Allowing energy storage resources to bid above the soft offer cap carries the same potential to reduce the effectiveness of the soft offer cap’s ability to mitigate market power as described above. The CAISO should not enable storage resources to exceed the soft offer cap without further study.
Allowing Storage to Exclusively Bid Above the Soft Offer Cap is Likely to Increase the Wholesale Price of Energy
The CAISO’s proposal to allow storage resource economic bids to exceed the soft price cap enables storage resources to bid above any other resource technology’s economic bid in the day-ahead and real-time market.[1] Exemption from the soft bid cap may grant the fleet of storage resources the ability to categorically bid as pivotal suppliers when load is high, supply is scarce, and the proposed “proxy cost” is above $1,000/MWh.[2] Such a situation is most likely to occur in summer when the CAISO needs to dispatch storage as well as much of the rest of the fleet. The CAISO should further investigate the potential effects on the wholesale price of energy of allowing storage resources to bid above the soft offer cap.
It is also unclear how allowing storage resources to bid above the soft offer cap at all hours of the day for the day-ahead market (DAM) and real-time market (RTM), especially during peak price periods, enables storage to maintain its SOC. Cal Advocates agrees with DMM comments that an hourly DEB solution may be appropriate and that proposed solutions “should not be applied all day, particularly for resources able to recharge throughout the day, and should not apply during the highest priced hours when the intra-day opportunity costs are lowest.”[3] While Cal Advocates acknowledges and appreciates that the CAISO is aiming to prevent premature dispatch of use-limited resources “prior to the critical net load peak evening hours,”[4] there is no purpose in applying solutions to those net load peak evening hours, when the resources are expected to discharge. Doing so introduces substantial risks associated with loosening bid limits and decreasing market power mitigation through DEBs during net load peak hours.
Impacts to the Day-Ahead Market Have Not Been Considered
Additionally, the Draft Final Proposal introduced a major change at the last minute by extending the proposal into the DAM as well.[5] Up until the Draft Final Proposal, stakeholders—including the Market Surveillance Committee[6]—have been evaluating changes that were limited to the RTMs. Cal Advocates was already concerned about implementing this proposal in the RTMs but extending it to day-ahead market substantially amplifies the potential effects and risks to ratepayers. Enabling the DEB and storage bids to exceed the soft offer cap at the DAM significantly increases risk of additional ratepayer costs since the DAM transacts significantly more volume of energy than the RTM. Cal Advocates opposes extending the proposal into the DAM due to the substantial potential consequences and the divergence from the normal stakeholder development process.
[1] Draft Final Proposal at 18.
[2] Storage resources would be able to bid up to the 4th highest calculated hourly value of the maximum import bid price (MIBP) or highest cost-verified bid under the CAISO’s proposal. Draft Final Proposal at 18.
[3] DMM, Comments on Price Formation Enhancements, April 30, 2024 at 2.
[4] Draft Final Proposal at 5.
[5] Draft Final Proposal at 14.
[6] Market Surveillance Committee Meeting General Session, Price formation enhancements: rules for bidding above the soft offer cap straw proposal discussion, April 24, 2024. Available at: https://www.caiso.com/Documents/PFE-rules-for-bidding-above-the-soft-offer-cap-straw-proposal-presentation-apr24_2024.pdf.
4.
Please provide any additional feedback:
The CAISO’s proposals to remove the DEB cap and to allow storage resources to bid above the soft bid cap risk adverse market interactions with the potential dispatch of Strategic Reliability Reserve (SRR) resources. These SRR resources include several large long-start once-through-cooling (OTC) gas-fired generation units, as well as 263.5 megawatts (MWs) of fast-start SRR resources.[1]
With respect to long-start SRR resources, the prospect of bids from RA resources as high as $2,000/MWh may encourage the CAISO to commit long-start SRR resources more often, and/or to delay executing Exceptional Dispatch orders to end long-start SRR resource operations.[2] Such outcomes would unnecessarily increase the dispatch of the OTC units, with local criteria pollutant emissions, including in disadvantaged communities.
With respect to fast-start SRR resources, the CAISO’s emergency operations procedure state that these resources “may submit bids for all hours in the real-time market for the next trade date, limit[ing] availability of the resources using an outage card with the Environmental Restrictions nature of work category” – i.e., not the DAM. To the extent that day-ahead bids from resource adequacy (RA) resources as high as $2,000/MWh result in an Energy Emergency Alert (EEA) Watch, the fast-start SRR resources’ bids would be made available to the market.[3] The participation of fast-start SRR resources in the CAISO’s RTM may mitigate the high day-ahead prices. However, because the fast-start SRR resource participation is triggered by the EEA Watch, high day-ahead prices are not necessary to achieve this benefit. Instead, the high day-ahead prices create divergence with real-time prices, sending inefficient signals associated with the lack of fast-start SRR capacity. Moreover, if RA resources continue to submit high energy bids in the RTM, then the availability of fast-start SRR resources in RTM, at likely lower bids, would result in SRR resource dispatch before RA resources with high bids. Such an outcome would be antithetical to the purpose of the SRR, which is to augment rather than supplant RA fleet dispatch,[4] and would increase the negative attributes of SRR dispatch, such as greenhouse gas and local criteria pollutant emissions.
[1] Department of Water Resources, Progress Report: Electricity Supply Reliability Reserve Fund, December 2023 at 8 and 11. Available at: https://water.ca.gov/-/media/DWR-Website/Web-Pages/Programs/Electricity-Supply-and-Strategic-Reserve-Office/202312-ESRRFJLBC-Progress-ReportFINAL.pdf
[2] CAISO, Operating Procedure 4420: System Emergency, Version 15.6, at 6 and 19. Available at: https://www.caiso.com/Documents/4420.pdf
[3] CAISO, Operating Procedure 4420: System Emergency, Version 15.6, at 6. Available at https://www.caiso.com/Documents/4420.pdf.
[4] California Department of Water Resources, Progress Report: Electricity Supply Reliability Reserve Fund, December 2023 at 1-2. Available at: https://water.ca.gov/-/media/DWR-Website/Web-Pages/Programs/Electricity-Supply-and-Strategic-Reserve-Office/202312-ESRRFJLBC-Progress-ReportFINAL.pdf.