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Title: Nevada RPS Author: John Nimmons Last modified by: John Nimmons Created Date: 2/23/2005 8:28:20 PM Document presentation format: On-screen Show – PowerPoint PPT presentation

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Title: Legal


1
Legal Regulatory Considerations for Waste Heat
Development
  • Current landscape future prospects

Presented by John Nimmons, J.D.
Waste Heat-to-Power Workshop University of
California Irvine March 2, 2005
John Nimmons Associates Mill Valley,
California 415.381.7310
2
Topics
  • Why legal / regulatory issues matter
  • Characterizing waste heat its functions
  • Selling waste-heat-generated power to utilities
  • Federal state support for waste heat
    development
  • Conclusions
  • Useful next steps

3
Why legal/regulatory issues matter
  • Sensible legal regulatory treatment can
  • expand markets for electricity from waste heat
  • improve economics of waste heat recovery through
    grants, loans, rebates, tax benefits, etc.
  • raise awareness promote consideration
    adoption of waste heat options
  • reduce transactional barriers cost of waste
    heat projects
  • reduce regulatory barriers to waste heat
    conversion use
  • minimize environmental impacts
  • support efficient sustainable resource use

4
Characterizing waste heatFish, fowl or ?
  • Waste
  • Federal (PURPA benefits)
  • residual heat
  • heat from exothermic reactions
  • States some define, many dont. Definitions
    differ. E.g.
  • energy otherwise lost (Nevada)
  • energy otherwise released to the environment
    (Washington)
  • produced but unused (Oregon)
  • Conservation CA Pollution Control Fin. Auth.
    (CPCFA), OR, MT
  • Efficiency improvement OH, OR
  • Alternative energy ILL, MT
  • Pollution control CPCFA
  • Renewable CPCFA, CO, FL, OR, VT, WA

5
Why it matters Federal PURPA benefits
  • Facilities producing electricity from waste heat
    can qualify for PURPA benefits, including
  • interconnection with serving utility
  • power sales to serving utility at its avoided
    cost
  • transmission to another utility for purchase
  • non-discriminatory backup service from utility

6
Why it matters Federal PURPA benefits
  • Qualifying cogeneration facility
  • Topping cycle operating efficiency standards
    apply
  • 5 useful thermal output
  • 42.5 efficiency, if natural gas or oil input
    (45 if thermal output lt 15)
  • Bottoming cycle 45 efficiency (if gas or oil
    supplemental firing otherwise no efficiency
    requirement))
  • Qualifying small power production facility
  • waste - including residual heat - is an
    eligible energy source
  • no operating or efficiency standards
  • 80 MW limit at a single site

7
Why it matters Federal production investment
credits
  • Production credit for electricity from some
    renewables
  • 1.5 / kWh credit for electricity sold, for 10
    years
  • Qualified energy resources now include (among
    others)
  • most biomass resources
  • closed loop organic material planted
    exclusively for electricity
  • open loop livestock manure bedding, forest
    residues, landscape trimmings
  • geothermal energy
  • solar energy
  • municipal solid waste combustion
  • available until 12/31/05 (but has been renewed
    before)
  • 10 investment tax credit for certain energy
    property
  • solar electric thermal
  • geothermal

8
Why it matters State local examples
  • Direct financial incentives
  • grants, loans, rebates e.g., CA Pollution
    Control Financing Authority, SGIP
  • tax benefits (credits, exemptions,
    reimbursements, etc.) at least 7 states
  • Other market support mechanisms
  • renewable portfolio standards 12 states
    mandatory, 3 voluntary
  • net metering about 40 states
  • green pricing 32 states, over 500 utilities
    (.56.0 /kWh premium, avg. 5.50/mo.)
  • public agency mandates (planning, design,
    life-cycle costing, etc.) at least 3 states
  • regulatory exemptions some explicit, most
    through cogen exemptions
  • RDD, planning, /or promotion at least 5
    states
  • education, training assistance at least 1
    state
  • emissions efficiency credits work in progress
  • local zoning preferences at least 1 state

9
State Portfolio Standards
  • Many states have adopted portfolio standards
  • Purpose to stimulate markets for clean,
    efficient resources
  • Mechanism utilities other electricity
    providers must generate or acquire an increasing
    annual percentage of electricity from favored
    resources until target is reached
  • Standards generally focus on renewables, but
    states define eligible resources differently

10
State Portfolio Standards(potential waste heat
resources)
Solar Thermal Biomass Geothermal Landfill Gas Digester Gas Fuel Cells Waste, incl heat MSW Qualified Energy Recovery Process Other
No. of States 11 12 8 8 6 6 6 3 1 3
11
Nevada RPS
  • A qualified energy recovery process means
  • a system that converts otherwise lost energy
    from
  • exhaust heat from engines, or manufacturing or
    industrial processes
  • or
  • pressure reduction in water or gas pipelines
    (before distribution)
  • to electricity, without additional fossil fuel or
    combustion
  • up to 15 MW
  • Excludes systems that use energy (lost or
    otherwise) from electric generation
  • For RPS, not renewable energy as such, but a
    distinct type of renewable energy system

12
State Net Metering Programs
  • Utilities normally buy power at wholesale, sell
    to customers at retail
  • Net metering allows self-generators to offset
    their excess production (otherwise valued at
    wholesale) against their retail purchases
  • Essentially self-executing minimizes
    transaction costs for customers utilities
  • States limit eligible system size
  • range 10kW 2 MW
  • typical 25 kW 100kW
  • States define eligible resource types customers

13
State Net Metering Programseligible resource
types
Solar Thermal Biomass Geothermal Landfill Gas Digester Gas MSW Fuel Cells Microturbines Cogeneration
No. of States 21 24 13 5 2 10 17 5 8
14
Conclusions
  • Legal regulatory treatment will strongly affect
    the direction value of waste heat development
  • Waste heat is characterized in diverse ways,
    without clearly articulated policy rationale
  • Waste heat projects appear eligible for important
    financial market incentives already in place,
    but largely untested so far in the waste heat
    context
  • Developing coherent, consistent defensible
    regulatory policy will simplify the work of waste
    heat proponents, catalyze more widespread
    resource development

15
Useful Next Steps
  • Develop a more comprehensive understanding of
    the existing legal regulatory landscape
  • Develop a coherent policy rationale for treatment
    of waste heat-to-power
  • Develop model legislation regulatory approach
    to enhance certainty for providers customers
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