Title: Implementation of AB32 for the Electric Sector
1Implementation of AB32 for the Electric Sector
Kristin Ralff Douglas California Public
Utilities Commission Division of Strategic
Planning November 13, 2007
2Californias Greenhouse Gas Emissions
Source CA Energy Commission
3Californias Electricity-Related Greenhouse Gas
Emissions
Source CA Energy Commission Emissions Inventory
4CPUC AB32 Activities
- General agreement that CPUC proceeding is venue
to develop guidelines for CARB adoption for
electricity and natural gas sectors - Comprehensive in scope (investor-owned utilities
and publicly-owned utilities treated comparably) - Utility sectors will be integrated into CARB
overall structure for California - Currently conducting proceeding, in conjunction
with with California Energy Commission (CEC) and
in cooperation CARB, to establish a GHG emissions
cap for electricity sector - Also plan to address capping natural gas sector
5GHG Cap Implementation Issues
- Likely to proceed over next two years (in
R.06-04-009) - Reporting requirements (in cooperation with the
California Climate Registry and Air Resources
Board) - Baseline development
- Structure (size and slope) of cap ratchet
- Market design and flexible compliance mechanisms
- Modeling of costs and benefits specific to energy
sector - Point of regulation
- Integration with energy markets (MRTU)
6Baseline Allocations
- 1990 Baseline
- CARB will determine what the baseline target is
- CARB will then determine what the electric sector
obligation is (which may or may not exceed their
1990 baseline) - Allowance Allocation
- Three current proposals historical, load, and
environmental performance standard/benchmark - Auction or freely allocate? Or both?
7Point of Regulation
- Load-based
- Developed by the PUC as a way to promote the
loading order (energy efficiency, renewables,
other generation), deal with leakage from
imports, and promote a portfolio approach - Means LSEs get the allowances and manage their
carbon budget through purchases - First-Seller
- Proposed by the Market Advisory Committee as a
compromise between load-based and source-based - Means in-state generators monitored at their
source and responsible for having allowances to
cover emissions for out of state power, the
first seller into California is responsible for
the allowances, regardless of how many
transactions happen before or after it crosses
into CA - Others
- We are also considering a hybrid approach, a pure
source-based approach, and a deferment approach
(regional and national systems)
8MRTU and Day Ahead Markets
- Interaction with CAISO
- MRTU developed after energy crisis to develop
day ahead markets - Some parties are concerned that low-carbon
generators will form bilateral contracts, and
high-carbon generators will sell into the pool - MRTU operates on a cost-priority basis, and its
difficult to understand how low-GHG priority can
be integrated - MRTU governed by FERC rules
9Market Mechanisms
- What will the rules be?
- Governors preference is a cap and trade system
legislature allowed for market mechanisms - Will capped entities be able to trade between
sectors? Will they be able bank or borrow? - What will the role of offsets be? Will there be
quantitative or geographical limits? - What will the compliance period be? How do you
account for high and low hydro years? - Will we implement price ceilings or price floors?
10AB32 Integration Issues
- Regulatory Programs
- Energy Efficiency
- Renewables Portfolio Standard
- Environmental Risk Adder
- GHG Emissions Performance Standard
- Market-based
- Load-based GHG emissions cap
11CPUC Policy Priorities
- Energy Action Plan I II set policies
- Energy Efficiency
- Renewables
- Greenhouse Gas (GHG) Regulation
- Environmental risk adder
- Emissions Performance Standard (EPS)
- Load-Based Emissions Cap
12Energy Efficiency
- Energy Efficiency goals (2004-2013)
- 26,506 GWh/year
- 5,000 MW off-peak
- 444 Million therms/year
- Eliminates need for 10 new power plants
- Eliminates 9 million tons of CO2 emissions
(equal to 1.8 million cars) - 10 billion in net savings to consumers
13Current EE Program Cycle
- 2006-08
- 2 billion in funding for 3 years
- Annual funding of 150 million from utility
procurement budgets and 280 million from the
Public Goods Charge - Levelized cost of 3 cents/kWh and 21 cents/therm
- 2.7 billion in net savings to consumers over 3
years - Beginning planning now for 2009-2011 cycle
14Renewable Portfolio Standard
- IOUs must meet 20 by 2010
- Several bills in the legislature suggesting an
increase to 33 by 2020 - POUs
- 20 by 2010
- LADWP goal is 35 by 2020
The GHG Performance Standard Policy Statement is
posted at www.cpuc.ca.gov/word_pdf/REPORT/50432.d
oc
15Environmental Risk Adder
- aka carbon adder
- CPUC requires utilities to include an 8/CO2 ton
proxy for carbon based resources when evaluating
procurement choices. - First step to require utilities to internalize
carbon cost.
16GHG Emissions Performance Standard
- Facility-based emissions standard requires new
commitments to be as clean as natural gas.
Applies to - New baseload contracts or facilities
- Commitments of more than 5 years
- Designed to prevent backsliding from current
levels - CPUC developed standard for investor-owned
utilities CEC to developed for municipal
utilities - CPUC regulations required by February 1, 2007
The GHG Performance Standard Policy Statement is
posted at www.cpuc.ca.gov/word_pdf/REPORT/50432.d
oc
17Emissions Reductions from Existing CPUC Programs
18Emissions Reductions from Future CPUC Programs
19Emissions Reductions from Electric Gas Sector
Programs
- PUC Programs
- 12.22 from existing programs
- 30.10 from future programs
- Muni Programs
- 18 from existing and future programs
- Total
- 60.32
- Total Obligation of Electric Sector
- - One third of 174 is 58 MMT CO2 equivalent
- How do we assure that we meet our programmatic
goals? What additional tons do we need and where
will they come from?
20Questions? Answers?Contact
- Kristin Ralff Douglas
- Division of Strategic Planning
- California Public Utilities Commission
- Phone (415) 703-2826
- Email krd_at_cpuc.ca.gov
- Web site www.cpuc.ca.gov
21Challenges of integrating GHG and Energy
Efficiency Policies
- Evaluation, measurement verification
- Methodological/mathematical question of how to
count GHG reductions associated with energy
efficiency - Start by asking utilities to report estimates of
GHG reductions and show assumptions - Necessary to help support trading regimes where
efficiency participates - Who owns the efficiency gains?
- Accomplishments come through mix of public and
private investment
22Interaction of Load-Based Cap with Other Policy
Initiatives
More EE
Voluntary EE
Represents GHG emissions limit
Voluntary RPS
Emissions Reductions
Mandatory RPS
Mandatory EE Programs
Time
Current System
Initial GHG Cap
GHG Cap Ratchet