Title: Policy Approaches
1Policy Approaches Incentivesin Financing
Gasification Plants
www.ClimateVISION.gov
A Risk Framework Approach
Presentation to APPA February 17, 2005
Larisa Dobriansky, Deputy Assistant Secretary,
DOE Policy Office David Berg, Chief Advisor, DOE
Policy Office Andrew Paterson, Principal,
Environmental Business International
2Presidents Climate VISION Initiative
- On February 14, 2002, President Bush set a goal
to reduce U.S. GHG emissions intensity. - Based on public private partnerships, engaging
a dozen industry groups. - Emphasizing voluntary actions and accelerated
commercial use of advanced technologies. - And achieving National Energy Policy goals.
My administration is committed to cutting our
nations green-house gas intensity over the next
10 years. -- February 14, 2002
www.ClimateVISION.gov
3Climate VISION Private-Sector Partners
- Alliance of Automobile Manufacturers
- Aluminum Association
- American Chemistry Council
- American Forest Paper Association
- American Iron Steel Institute
- American Petroleum Institute
- Association of American
- Railroads
- The Business
- Roundtable
- International Magnesium Association
- National Mining
- Association
- Portland Cement
- Association
- Power Partners
- Semiconductor Industry Association
4- Why Is DOE Interested in Gasification?
- (for Coal and Other Industrial Applications)
5Aging U.S. Coal Fleet 70 over 30 in 2010
In two years, over 50 of US total coal-fired
generating capacity will be 30 or more years old.
Environmental pressures and legislative reforms
could push many of these plants into retirement.
While excess capacity has caused plant
retirements and the postponing or canceling of
projects in some regions, other regions
remainand will continue to beshort of power.
(Source Platts)
6Advantages of Gasification
Next speaker, Jim Childress, will cover these
points
- Higher potential efficiency gt50 v. 40, if fuel
cells added later. - Removes S, Hg, and other contaminants before
combustion, eliminating scrubbers. - Wider range of feedstocks and variability in
feedstock quality. - Easier to capture by-products for sale
- Less input water use needed post-combustion flue
gas desulfurization is not needed, as with
conventional coal boilers to reduce SOx
emissions. - Less-cooling water discharge (-30) than
conventional coal. - Most gasifiers in operation today are used for
processing refinery wastes and making chemicals
(ammonia, syngas, methanol).
7Clean Coal Leading Questions
- Market factors and business risks have shifted
since 2000 to favor consideration of clean coal
(e.g., sharp spikes and volatility in natural gas
prices). - Yet, few IGCC plants being ordered. Is it
primarily a matter of elevated capital costs?
Other business risks? - Which risks most deter construction of commercial
clean coal plants? - Which policies could encourage commercial
adoption of clean coal gasification (e.g.,
environmental regulations, state federal
financial support)? - How can federal credit approaches be coupled with
state incentives to improve the prospects for
clean coal gasification plants?
8- Market Failures in Power Sector
- Trigger Evaluation of New Approaches
9Market Failures in Power Sector
- Advanced gasification systems for coal face
skepticism. - Owners of early plants face first mover
penalties (higher cost and technology risk, more
delays, than later movers). - Customers of early plants also face first mover
penalties from higher cost and lower reliability. - Classic externalities (e.g., pollution) hinder
action by prospective owner / operators and their
customers. - Regulatory bias in rates (defacto) impacts
technology choicePUCs allow generators to pass
through marginal fuel cost price spikes, but
restrict cost recovery of capital. - Regional differences are vast (fuel use, urban v.
rural) - Solving issues requires collaborative approach,
nationally.
10Why Are So Few IGCCs on Order?
Excerpts from interviews
DOE CCPI buys down demo plant cost by 40 to
50, so why are so few utilities considering IGCC
?
Utility Even if DOE puts up 500M on a 1
billion plant, we still have 500M at risk if the
gasifier fails to perform. Reliability is king in
our businesspower. We dont want to be guinea
pigs. Let someone else try first.
PUC commissioner What does gasification cost
per KW? Who stands behind the performance
guarantee to protect my rate payers?
Utility A gasifier looks (and smells) like a
chemical plant. We are not in the chemical
business.
IGCC technology vendor We make only a component
of the total plant and dont want to be liable
for delivering power. Our units make fuels and
by-products.
Lab Our research shows that IGCC may not be the
best choice for low-rank coals (sub-bituminous,
lignite with higher moisture).
?
11- Risk Profile of Clean Coal Technology
- Faces Market Failures,
- Suggesting the Importance of Risk-
- Targeted Assistance
12Risk Framework Built to Project Timeline
- Market failures require an assessment of risks.
- Risk framework approach is
- Not a technical framework, e.g., RDD roadmap.
- Not a regulatory framework, e.g., IPCC.
- Not biased toward any specific fuel source.
- Not based solely on economic analysis.
- Not another barriers study.
- Based on the analysis of business risks from
the perspective of project development and plant
owner.
13Overview of Risk Framework Approach
This diagram depicts the studys logic flow and
approach to the analysis.
Evaluation, Application of Risk Mitigation
Mechanisms
Power Plant Project Development Timeline
Risk Analysis of Coal Project Development Stages
Rating and Ranking of Risks by Stages
- Risk Analysis by Stage
- of Project Development
- Showstoppers
- Air regulatory issues?
- Tech performance and
- availability?
- PUC rate approval?
- Major Risk Category
- Technology / Design
- Development / Siting
- Regulatory
- Construction
- Operating performance
- Fuel price, supply
- Demand
- Dispatch
- Waste, byproducts
- Transmission
- Interview and Rating Approach .
- Design of survey instrument
- Work with industry groups for interview
candidates - Selection of interview candidates
- Contact of candidates
- Interviews, risk ratings
- Evaluation of risks
- Workshops with industry on results
- Evaluation of Mitigation Mechanisms
- Financial model and sensitivity analysis
(conducted by utilities) - Delineation of mechanisms
- Matching of possible mechanisms to risks
- Evaluation of risk coverage for each stage
- Determination of measures, legislation needed to
implement - Negotiations
- Timeline
- Evaluation .
- Delineation of key development stages for power
plant - Matching of development stages with financing
events
The risk framework approach builds on work done
for the Business Case for Nuclear Power
(www.nuclear.gov)
14Risk Questionnaire 33 Respondents
- Utilities, IPPs
- AEP
- Cinergy
- EPRI
- Excelsior Energy
- Tennessee Valley Authority
- Tri-State Generation
- Engineering Firms Energy Cos.
- Alstom
- Bechtel
- Burns McDonnell
- Conoco Energy
- CONSOL
- Eastman Chemical
- Technology Firms, Labs, DOE
- Air Products Chemicals
- ChevronTexaco Gasification
- Gas Technology Institute
- Gasification Technology Council
- Powerspan
- Siemens
- TMS
- DOE NETL
- Financial Community
- CS First Boston
- JP Morgan Chase
- EBI
- Rosenberg Associates
Global Energy Southern Co. Tampa Electric WE
Energy
Fluor Engineering Foster Wheeler USA Kennecott
Energy
15Risk Rating Recap Highest Risks
Clean coal systems offer public benefits, but are
not fully proven. High capital costs magnify
risks. State and national policies not yet
clear. Financing large plants poses challenges
Risk-informed credit-based assistance may help
address them effectively and efficiently.
16Risk Profile Too High Early in Plant Life
Tax credits dont provide enough lift early on,
and offer too much over life of plant.
17IGCC Risk Traits 1,2,3 Observations
- Industry rates technology risks of IGCC, other
advanced technologies as too high without
government support. - Top concerns
- Technical High capital cost and excessive
downtime, which make financing difficult.
Warranties appear to be inadequate. - Regulatory Potential for big advantage in CO2,
but owners remain skeptical of full valuation,
near term, of CO2 advantage. IGCCs have apparent
edge on capture of mercury, plus on water and
solid wastes. - Market Note that risk of decline in gas prices
rates as a low probability, high severity event.
Gas price rises make clean coal plants more
competitive.
18IGCC Risk Traits 1,2,3 Observations
(continued)
- Other observations
- State policy can help, but probably will be
insufficient in most states. PUC dispatch
preference, rate approval, or ROI assurance would
usefully mitigate risk. - Electricity competition is a concern due, in
part, to uncertainties about regional impacts of
market reforms. - If government accepts significant technology
risk, then adequate EPC warranties probably could
be negotiated. Also, government reliability
backing should reduce contingency in price of
plants by gt100 / kWe. - Workforce risks (for construction and operation)
rate low.
19- Designing Risk-Targeted Assistance
- for the Power Generation Sector
20New Financing Approaches Needed?
- Tax credits and co-funding are inefficient and
expensive for the federal budget. They are not
targeted to specific risks. - Compounded by tying tax credits to heat rate
for electricity or by allowing conventional
plants to qualify for tax benefits - Government (federal and state) risk-sharing with
advanced clean coal plant owner / operators could
offer more flexibility on financing and ownership
structures. - Could better allocate risks (e.g., higher capital
cost on first units, technical performance
uncertainties) - Federal credit process could force healthy
negotiation and independent credit analysisand
it would complement state actions. Credit
process would add rigor and improve project
quality, and it may dampen earmarking.
21 Risk-Targeted Assistance for IGCC
- Risk Area
- High capital cost
- Excessive downtime
- (poor availability)
- Lagging national policy
- Lagging state policy
- Lack of standardization
- Possible Assistance Targets
- Enhance financial returns
- Improve warrantees
- Backstop cash to avoid
- default
- Helpful national policies
- PUC, environmental roles
- Financial support for standardized designs
22Next Steps through Climate VISION
- For discussion
- Collaborate with states, NARUC, EPA, EPRI, CURC,
GTC, APPA and NCC on further risk analysis work. - Evaluate how to target potential assistance on
critical business risks that hinder orders of
early commercial plants. - Conduct sensitivity analysis of federal
assistance options, including credit. Review
results across DOE and with OMB, Treasury. - Consider complementing state incentives with
potential federal credit (or other) assistance.
www.ClimateVISION.gov
23FINISH
www.ClimateVISION.gov
Contact us Larisa Dobriansky
202-586-1524 Deputery Asst. Secretary, DOE Policy
Office David Berg 202-586-1117
david.berg_at_hq.doe.gov Chief Advisor, DOE,
National Energy Policy Office Andrew Paterson
619-807-3267 adpaterson_at_aol.com Principal,
Environmental Business International
24 25Beyond IGCC ?
- Many advanced energy technologies are reaching
commercialization, but most face market entry
difficulties. - These technologies improve energy efficiency,
electricity transmission, nuclear power, and
renewable energy. - NEP advocates rapid commercial use of a portfolio
of such advanced technologiesif, long term, they
can compete. - Market use of advanced energy technologies
developed with DOE support rewards taxpayer
support for applied RDD programsand advances
U.S. energy security. - Traditional government deployment assistance
tools are not targeted on key market risksand
they are expensive. - Negotiated federal credit tools, teamed with
state incentives, could address specific risks to
accelerate market adoption effectivelyat a lower
cost.
26The Climate VISION Challenge
- Climate VISION Challenges industries to make
voluntary commitments to adopt cost-effective
systems, technologies, and best practices to
reduce GHG emissions. - Commitments from 12 industries and Business
Roundtable thousands of companies nearly 45 of
U.S. GHG volume. - Climate VISION partnership
- Industries commit to make meaningful commitments
toward the 18 intensity reduction goal and to
report emissions in 1605(b) - Partners identify, implement cost-effective
solutions for reducing GHGs - Partners develop and use the tools to calculate,
inventory, and report GHG emissions reduction,
avoidance, and sequestration - Government recognizes voluntary mitigation
actions - Partners develop enabling strategies across the
economy to further reduce GHG emissions
27Climate VISION Enabling Initiatives
- Goal Garnering private actions to extend
voluntary commitments across entire economy. - Current focus Major energy end-use sectors,
such as transportation, buildings, and
electricity system. - DOE, industry exploring enabling initiatives in
key sectors - Efficiency in buildings, starting with new homes
- Advanced Clean Coal power generation
- Acceleration of renewables and bioenergy
- Others based on analysis
- Potential goal for new homes 50 market
penetration of energy efficient new homes by
2012. - Potential goal for clean coal power generation
Build first of several new plants in a series
starting in 2006 2007.
28Climate Vision Promotes Energy Security
Energy Security goals adapted from Energy
Challenges in NEP (May 2001)
Climate VISION approaches contribute to overall
energy security goals.
29Oil Gas Price Volatility Continued in 2004
Market volatility not being addressed.
Natural Gas Natural gas volatility, varying more
than 80 within a 12 month period, has aggravated
industries dependent on gas as a primary
feedstock or heating fuel, such as chemicals,
fertilizers, metalworking and cement. LNG
terminals are facing stakeholder resistance.
Crude Oil Ascent of crude oil prices in 2004 has
hindered full economic recovery, and provides a
painful reminder of U.S. commercial vulnerability
due to import of more than 60 of our crude oil,
the primary fuel for all transport modes.
30Competitiveness in U.S. Chemical Sector
- Letter to the President (Nov. 19, 2004)
- Mr. President, we believe that the high and
volatile price of natural gas is the number one
threat to our ability to compete in global
markets. All consumers are paying a terrible - price. Solving this problem will require
committed leadership on the part of the next
Energy Secretary. I urge you to select an Energy
Secretary who will champion the cause of the
consumer and tackle the problem of high and
volatile natural gas prices head on. - Thomas E. Reilly, Jr.
- President and CEO
- American Chemistry Council
National Petroleum Council The NPC calls for
increased energy efficiency, greater flexibility
in industrial and residential fuel choices,
immediate development of new sources of supply,
and enhanced infra-structure investment. (gas
report, 2003)
31Coals Leading Role in Power Sector
EIA forecast for U.S. Electricity Generation,
2002 2020 (AEO 2004)
- By 2020, EIA forecasts that U.S. will still use
coal for 45 50 of U.S. electricity - Climate VISION
- How do we best use coal to economically sustain
industrial competitive-ness and energy security
with minimal environmental impact?
32IGCC Risk Study 1 Questions
Risks are evaluated based on probability of
occurrence and severity of impact, if risk is
realized.
- TECHNOLOGY OPERATIONS RISKS (system
performance) - Risk Electric price is materially higher for
IGCC due to high capital costs. - Lack of competitiveness of electricity due to
higher labor or operating costs. - Excessive IGCC breakdown, downtime, non-routine
engineering repair costs. - Poor technical performance of IGCC relative to
specs (e.g., higher heat rate). - Lack of standardized IGCC systems (higher costs
or reduced performance). - Lack of skilled workforce to build IGCC plants to
specifications. - Lack of skilled operators to properly run IGCC
plants to specifications. - Lack of materials and engineering progress keep
system costs high (gt1,500/KWe). - Acute accidents generate penalties or severely
damage the plant. - EPC or vendor fails to provide adequate support
of IGCC to maintain performance after startup. - Waste disposal risk (e.g., price of disposal
rises sharply or location is closed).
33IGCC Risk Ratings 1 Technical
33 ratings
34IGCC Risk Study 2 Questions
- REGULATORY POLICY RISKS (differentiation for
IGCC) - Risk State-level air permitting delays fail to
deter conventional coal plant orders. - Federal mercury regulations favor conventional
coal (e.g., PC) plants. - Federal SOx and NOx regulatory delays favor
conventional coal plants. - Economic value of carbon capture fails to
materialize, reducing advantage of IGCC. - Risk that IGCC is regulated (by states or EPA)
based on NGCC performance. - Cost of carbon sequestration for PC plants
approximates that for IGCC. - Regional and state policies fail to provide any
or sufficient incentives for IGCC - National policies provide insufficient rewards,
incentives for IGCC (e.g., tax, NSR, etc.).
35IGCC Risk Ratings 2 Regulatory
33 ratings
36IGCC Risk Study 3 Questions
- MARKET FINANCE RISKS (dynamics of demand and
supply) - Long-term electricity demand (for utilities,
IPPs) fails to grow as fast as forecast. - Erosion of coal transportation infrastructure
raises delivered cost of coal over time. - Competing old coal generation reduces dispatch
of IGCC, thereby curbing revenues. - Low natural gas prices make NGCC more competitive
(reducing dispatch). - Coal prices rise markedly, inflating IGCC
electricity generation costs. - Interest rates rise in the medium term,
penalizing new capital-intensive projects. - State PUC does not approve long-term contract or
rate review to cover IGCC costs. - Financing of IGCC is difficult, or requires lots
of equity, even at low interest rates. - Revenues of IGCC by-products (e.g., sulfur, slag)
fail to materialize as forecast. - Customer of IGCC suffers significant losses and
cancels IGCC project midway.
37IGCC Risk Ratings 3 Market
33 ratings
38Example Terms Three Risk Mitigants
39Power Project Timeline
Different risks arise at each phase of power
projects value in matching appropriate tools to
particular risks.
40Timing of Mitigants Combined
1a) Interest Coverage
1
1
Standby Credit Facility for Regulatory
Commissioning Risk Debt Equity 1a) Coverage of
interest payments in downtime 1b) Loan guarantees
for debt coverage (established before close of
financing) 2) Direct Loan for Engineering
Construction
1b) Loan guarantees
Possible early downtime
Repayment of government credit from future
revenues
Scheduled rampup
Close Financing
Industry Investment
Government Credit
3
3) Power production incentive for X years
Development
Direct Loan
2
Shakedown
Power Project Timeline ?
Regulatory Approval
Engineering
Construction
Operation (or delay)