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FHP standards

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Title: FHP standards


1
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2
Liberalisation and Restructuring of Electricity
Markets in South East Asia
  • Michael Sonnenberg
  • October 2002

3
Overview
  • Introduction
  • Setting the scene and objectives
  • What is the significance of energy sector reform
    in South East Asia?

4
Overview (contd)
  • Why reform the ESI?
  • Why have reform of the energy sector?
  • Pluses and minuses of reform? If it aint broke,
    why fix it?
  • What types of reform are there? How can reform be
    structured best?
  • How to prepare for reform?
  • Ingredients for successful reform

5
Overview (contd)
  • Why reform the ESI?
  • Obstacles to deregulation
  • Modern power pools
  • Privatisation issues (as a consequence of
    restructure)
  • Process
  • Preparation
  • Due Diligence - vendor and purchaser
  • Financial issues/Bankability

6
Overview (contd)
  • Case studies of electricity reform in certain
    South East Asian countries
  • Further issues
  • Reform of other industries
  • Debunking the myth deregulation does not mean no
    regulation
  • The need for an independent regulator

7
Introduction
  • Setting the scene and the objective of this talk
  • Deregulation is a process which turns a fully
    government owned entity into a fully or partially
    publicly owned corporation, operating in a more
    competitive environment
  • Deregulation is the change in ownership and
    decision making
  • Deregulation is not necessarily a change in the
    degree of regulation

8
Introduction (contd)
  • Governments still make policy for the sector
  • The Process of Reform the ingredients for
    successful reform
  • The Reasons for Reform engine for growth
  • The Extent of Reform is privatisation always the
    best way forward?
  • The Reform of other Industries more than just
    electricity (eg gas, water, roads)

9
Introduction (contd)
  • What is the significance of energy sector reform
    in South East Asia?
  • The need of competition
  • The need for infrastructure provision
  • Reform will fuel growth
  • it lowers costs for consumer
  • allows for greater competition in electricity
    intensive industries

10
Introduction (contd)
  • Reform will fuel growth
  • produces better resources allocation
  • produces better service and more innovation
  • allows Government to apply its resources to other
    sectors of the economy

11
Why reform the ESI?
  • Pluses and minuses of reform? If it aint broke,
    why fix it?
  • What are the benefits of reform?
  • Lower costs and price per unit of production
  • More competition in energy intensive industries
  • Improved technical efficiency
  • More reliable power

12
Why reform the ESI? (contd)
  • What are the benefits of reform?
  • Better industrial relations behaviour
  • Creation of more infrastructure
  • Owner interests an important aspect
  • Minuses of reform
  • The negative effect of a poor model
  • High concentration of generation assets with less
    competition
  • Excessive regulation
  • Reformist must look at structural competition
    policies

13
Why reform the ESI? (contd)
  • What types of reform are there?
  • How can reform be structured best?
  • Basic models for electricity reform
  • Models for breaking up State-owned vertical
    monopoly
  • single buyer model
  • wholesale competition model
  • retail competition model

14
Why reform the ESI? (contd)
  • Corporatisation v Privatisation
  • Corporatisation
  • Privatisation
  • Is Privatisation always the best model?

15
What is the best way to reform an ESI?
  • Ingredients for reform
  • Planning issues
  • Long term preparation/the iceberg principle
  • Good model suited to specific country
    circumstances should be followed
  • Ongoing monitoring of reliability and measurement
    of progress

16
What is the best way to reform an ESI? (contd)
  • Political issues
  • Political will and long term support
  • Buy in by stakeholders
  • Structural issues
  • Legislation, Regulations and Industry Codes
  • Legal enforceability
  • Transparency
  • Provision of information

17
What is the best way to reform an ESI? (contd)
  • The right people
  • Good advisers
  • Champions for change
  • Dedicated team
  • Continuity

18
Obstacles to Deregulation
  • Union activity
  • Tenure of employment
  • Obligatory transfer of employees
  • Retrenchments
  • Strategic issues
  • Timing
  • Utility investment appetite/world conditions
  • Depth of capital markets/Bankability

19
Obstacles to Deregulation (contd)
  • Stakeholder aversion
  • Why change what works?
  • Can the private sector really do it better - and
    cheaper?
  • Regulatory risks
  • Vested interests/fiefdoms

20
Obstacles to Deregulation (contd)
  • Independent legal system
  • Without a reasonably sound legal system there is
    no real machinery to facilitate or support sale
  • Transparency
  • Access to courts for relief
  • Reputation and sanctity of contracts
  • Enforceability of remedies

21
Modern power tools
  • Australia
  • National Electricity Market (NEM)
  • Single dispatch process determines a merit order
    for the dispatch of generation based on a 5
    minute dispatch cycle and half hourly trading
    intervals
  • Maximum spot price is set under a National
    Electricity Code (NEC)
  • Pool operated by National Electricity Market
    Management Company (NEMMCO)

22
Modern power tools (contd)
  • New Zealand
  • New Zealand Energy Market (NZEM)
  • Price is established for each of 48 half-hour
    trading periods every day, at 250 grid connection
    points around New Zealand
  • Electricity priced at market clearing levels and
    the price is not capped
  • NZEM has a voluntary, self-regulated electricity
    market
  • Operates within the NZEM Rules

23
Modern power tools (contd)
  • Norway
  • International pool for Nordic country
    participants
  • No legal monopoly on arranging transactions
    competes against a non-centralised bilateral
    market
  • Pool owned by a profit-making corporation

24
Modern power tools (contd)
  • United Kingdom
  • United Kingdom Power Exchange (UKPX)
  • Spot market which allows trading up to one hour
    ahead of dispatch (delivery) of the electricity
    contract
  • System operation - National Grid Company
  • Full integrated exchange and clearing house. UKPX
    guarantees all contracts against counterparty
    credit default

25
Modern power tools (contd)
  • Others
  • Spain
  • Argentina
  • Chile
  • Colombia
  • Bolivia
  • United States (various examples)

26
Privatisation issues
  • Process
  • Competitive tendering process
  • Expert advisers
  • Dedicated team
  • Risk allocation and management
  • Quick process
  • Bid evaluation
  • Probity and transparency

27
Privatisation issues (contd)
  • Preparation
  • The Iceberg principle
  • Due Diligence
  • Financial issues/Bankability

28
Case studies of electricity reform in certain
South East Asian countries
  • Levels of deregulation
  • Total or Near Semi-Deregulation None or
    Minimal Total Deregulation Deregulation
  • Australia China (Hong Kong) China
  • New Zealand Japan Indonesia
  • United States Malaysia Philippines
  • Korea (later) Taiwan
  • Singapore Thailand
  • Vietnam

29
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Singapore
  • Current status
  • Mainly state ownership in generation
  • Separate state utility responsible for
    transmission and distribution
  • Public monopoly in retail supply to small
    customers, competition for larger customers

30
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Singapore
  • Future direction
  • The Governments plan was for Government owned
    generation assets to be sold, and all consumers
    to have choice of supplier by 2003. However this
    has been delayed due to technical problems.
  • The Government may also be delaying because of
    likely poor sales due to a slump in the utilities
    market

31
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Australia
  • Current status
  • Generation separate from network functions in
    most states
  • Mixed private and public ownership
  • Compulsory wholesale pool, third party access and
    retail competition in the national market
    (southern and eastern states)

32
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Australia
  • Current status
  • Independent regulators
  • Future direction
  • Full retail competition in the national market by
    2003

33
Case studies of electricity reform in certain
South East Asian countries (contd)
  • New Zealand
  • Current status
  • Competing private and public generators
  • Single public transmission company
  • 29 independent distributors with mixed ownership
  • Five major competing retailers, four of which are
    significantly integrated with generation, and
    five smaller retailers

34
Case studies of electricity reform in certain
South East Asian countries (contd)
  • New Zealand
  • Current status
  • Voluntary wholesale market
  • Lighthanded regulation
  • Future direction
  • New governance board to be established
  • New regulatory powers for the Minister for Energy

35
Case studies of electricity reform in certain
South East Asian countries (contd)
  • New Zealand
  • NOTE In New Zealand (unlike Australia),
    ownership of the poles and wires business was
    legally separated from ownership of retail
    businesses by legislation

36
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Malaysia
  • Current status
  • Mixed private and public ownership in generation
    (IPPs account for around a third of total
    capacity)
  • Vertically integrated public utilities with
    regional monopoly in transmission, distribution
    and retailing
  • Tariffs regulated by an independent authority

37
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Malaysia
  • Future direction
  • More IPPs and open bidding for new power plant
    projects
  • Structural separation of the main public utility
  • Retail competition to be adopted progressively

38
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Philippines
  • Current status
  • Mixed private and state ownership in generation
  • State generator, National Power Corporation
    (NPC), is also monopoly supplier of transmission
    services
  • Private utilities have regional monopolies in
    distribution and retailing

39
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Philippines
  • Current status
  • NPC is also a regulator
  • Currently there is an investigation being
    conducted into the legitimacy of the set of IPPs,
    but so far no problems have been found

40
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Philippines
  • Future direction
  • NPC to be separated and privatised, with
    transmission likely to be privatised first
  • However, at present, further reform is being
    delayed

41
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Korea
  • Current status
  • Corporatisation of generation functions April
    2001
  • Creation of wholesale power pool operated by KPX
    April 2001
  • Transmission, distribution and retail remain
    vertically integrated and are operated by the
    majority (51) state owned Korea Electricity
    Power Company (KEPCO)

42
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Korea
  • Current status
  • No privatisation yet apart from limited IPPs
    (around 6 of generating capacity)
  • Future direction
  • Competition in generation through sale of KEPCO
    assets and entry of IPPs
  • Distribution system to be privatised
  • Full contestability in retail supply after 2009

43
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Thailand
  • Current status
  • Mainly state ownership in generation
  • Separate state utility responsible for
    transmission and distribution
  • Public monopoly in retail supply to small
    customers, competition for larger customers

44
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Thailand
  • Future direction
  • Competition between private generators and
    corporatised subsidiaries of EGAT
  • Distribution open to private companies and
    consumers to choose retailer, post 2003
  • Independent regulator to be established
  • Unlikely that a gross power pool will be created,
    more likely it will be a net power pool, similar
    to the current UK (NETA) model

45
Case studies of electricity reform in certain
South East Asian countries (contd)
  • Indonesia
  • Current status
  • State owned vertically integrated utility (PLN)
    involved in all stages
  • Some self generation and IPPs. IPPs must sell to
    PLN
  • Future direction
  • IPP share to increase
  • Unbundling of PLN
  • Transmission to be opened to private companies

46
Further issues
  • Other industries
  • What can other industries teach us about the ESI?
  • What can ESI teach us about other industries?
  • A new frontier The possibility of a South-East
    Asian transnational electricity grid

47
Further issues (contd)
  • Debunking the myth Deregulation doesnt mean no
    regulation
  • Deregulation is a change in ownership
  • Considerable regulation is required
  • The need for an Independent Regulator (NOT
    VICTORIA)
  • What is the function of a regulator?
  • Why does a deregulated industry need one?

48
Further issues (contd)
  • The need for an Independent Regulator
  • What does a good regulator need?
  • Independence is full independence possible? Is
    semi-independence enough?
  • Clear objectives
  • Clear powers
  • Special purpose legislation
  • Mechanism for review
  • Judicial review
  • Administrative review

49
Case Study 1 Korea
  • RISKS/ISSUES RELEVANT TO FIRST SALE
  • Financial issues
  • Revenue certainty for Gencos not yet firmly
    established
  • Depth shallowness of Korean capital markets
  • Balance Sheet of KOSEPCO debt issues
  • No tariff order (or equivalent) in place yet for
    monopoly services (distribution and transmission)
  • No clarity regarding monopoly pricing resets
    (over period)

50
Case Study 1 Korea (contd)
  • RISKS/ISSUES RELEVANT TO FIRST SALE
  • Other issues
  • Non-independent regulator
  • Power market not yet fully developed (Cost Based
    Pool - leading to Price Based Pool)
  • Risk Government may discontinue sales program
    after first sale
  • Incomplete reform program (eg no retail
    deregulation timetable yet)
  • Distribution not yet separated from rest of
    utility

51
Case Study 1 Korea (contd)
  • RISKS/ISSUES RELEVANT TO FIRST SALE
  • Other issues
  • Vesting/Transitional contract regime not yet in
    place (but being developed)
  • Risks of litigating in Korea
  • Trade union activity against program / Protection
    for workers on sale of KOSEPCO
  • Joint and several liability - issues as
    consequence of reform program

52
Case Study 1 Korea (contd)
  • RISKS/ISSUES RELEVANT TO FIRST SALE
  • Other issues
  • Fuel purchasing issues - implications for KOSEPCO
  • KOSEPCO plans under construction
  • Potential market power of nuclear Genco (KHNP)
    and the impact on KOSEPCO
  • Foreign ownership issues - limit on ownership
    in Gencos

53
Case Study 1 Korea (contd)
  • ISSUES CONCERNING AN INDEPENDENT REGULATOR FOR
    KOREA
  • Why would an independent regulator help in Korea?
  • Attraction for investors from jurisdictions used
    to independent regulator
  • Good selling point providing high level of
    comfort
  • Adoption of appropriate models for ESI regulation
    - customers, Government Interference

54
Case Study 1 Korea (contd)
  • ISSUES CONCERNING AN INDEPENDENT REGULATOR FOR
    KOREA
  • What would be necessary for the KEC to be truly
    independent?
  • Change in legislation
  • Change in culture/political attitude

55
Case Study 1 Korea (contd)
  • ISSUES CONCERNING AN INDEPENDENT REGULATOR FOR
    KOREA
  • Is it realistic to expect Korea to adopt the
    (truly) independent regulator model?
  • Not at this stage
  • Korea has had the debate and feels it cannot
    adopt this model at this time

56
Case Study 1 Korea (contd)
  • ISSUES CONCERNING AN INDEPENDENT REGULATOR FOR
    KOREA
  • What are the obstacles?
  • Mainly political
  • Some cultural
  • Some ESI-related
  • But mainly not wanting to let go of some control

57
Case Study 2 The Victorian system (the Essential
Services Commission)
  • Established by the Essential Services Commission
    Act 2001 (the Act) and having commenced
    operations on 1 January 2002, the Commission has
    subsumed the Office of the Regulator-General and
    its work builds on the regulatory foundation laid
    by that Office

58
Case Study 2 The Victorian system (the Essential
Services Commission) (contd)
  • Objectives
  • The Act establishes the following objectives for
    the ESC
  • to protect the long-term interests of Victorian
    consumers with regard to the price, quality and
    reliability of essential services
  • to promote a more certain and stable regulatory
    framework which is conducive to longer-term
    infrastructure investment and to maintain the
    financial viability of regulated utility
    industries

59
Case Study 2 The Victorian system (the Essential
Services Commission) (contd)
  • to have regard to relevant health, safety,
    environmental and social legislation in its
    decision-making
  • to be consultative and transparent in its
    processes and to publish a Charter of
    Consultation and Regulatory Practice
  • to co-ordinate formally with other regulators to
    avoid duplication and to achieve more integrated
    decisions and outcomes

60
Case Study 2 The Victorian system (the Essential
Services Commission) (contd)
  • Functions of the ESC
  • Makes price determinations and approves prices
    for various essential services provided by
    natural monopoly utility businesses
  • Sets standards for natural monopoly services
    through enforceable codes of conduct, and sets
    financial and other incentives for regulated
    businesses to meet key performance standards

61
Case Study 2 The Victorian system (the Essential
Services Commission) (contd)
  • Functions of the ESC
  • Issues guidelines that detail how it interprets
    specific licence or code obligations and approves
    market rules to assist customers to exercise
    choice in newly competitive markets
  • Ensures that utility customers have an effective
    consumer protection framework and access to fair
    and efficient external dispute resolution
    processes

62
Case Study 2 The Victorian system (the Essential
Services Commission) (contd)
  • Functions of the ESC
  • Issues licences to new entrants and existing
    suppliers of essential services that set out
    licensees rights and obligations
  • Monitors, audits and enforces compliance with
    regulatory obligations in licences and other
    statutory and regulatory arrangements and
    published reports on the financial and service
    performance of licensed businesses

63
Case Study 2 The Victorian system (the Essential
Services Commission) (contd)
  • Functions of the ESC
  • Makes binding decisions on access disputes about
    the terms on which a potential user has been
    offered the use of natural monopoly
    infrastructure services

64
Case Study 2 The Victorian system (the Essential
Services Commission) (contd)
  • Powers
  • s32 - Price regulation
  • s33 - Price determinations
  • s37 - General power to obtain information and
    documents
  • s40 - Inquiry by Commission (and power to make
    summons s44)
  • s53 - Enforcement orders

65
Case Study 2 The Victorian system (the Essential
Services Commission) (contd)
  • Structure
  • Governing law Essential Services Commission Act
    2001 (the Act)
  • Fully independent
  • S12 Except as provided by or under this Act or
    any other Act, the Commission is not subject to
    the direction or control of the Minister in
    respect of any determination, report or inquiry

66
Case Study 2 The Victorian system (the Essential
Services Commission) (contd)
  • Structure
  • ESC shares responsibilities with ACCC
  • Mechanism for review
  • Appeal Panel
  • Judicial review

67
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